Title: Department: Approved by:



Similar documents
AAHRPP DOCUMENT # 84 UNIVERSITY OF ALABAMA HUMAN RESEARCH PROTECTIONS PROGRAM FORM: NOTIFICATION TO IRB OF EMERGENCY USE OF A TEST ARTICLE

Information Sheet Guidance For IRBs, Clinical Investigators, and Sponsors

Investigational Drugs: Investigational Drugs and Biologics

Guidance on IDE Policies and Procedures

Guidance for Industry Information Program on Clinical Trials for Serious or Life-Threatening Diseases and Conditions

Guidance for Industry

Guidance for Industry Investigator Responsibilities Protecting the Rights, Safety, and Welfare of Study Subjects

Principal Investigator and Sub Investigator Responsibilities

Guidance for Clinical Investigators, Sponsors, and IRBs

Use of Electronic Health Record Data in Clinical Investigations

Guidance for Industry and Investigators Safety Reporting Requirements for INDs and BA/BE Studies- Small Entity Compliance Guide

Guidance for Sponsors, Investigators, and Institutional Review Boards. Questions and Answers on Informed Consent Elements, 21 CFR 50.

PREP Course #27: Medical Device Clinical Trial Management

Guidance for IRBs, Clinical Investigators, and Sponsors

Emergence of Compassionate Use programmes

Guidance for IRBs, Clinical Investigators, and Sponsors. Considerations When Transferring Clinical Investigation Oversight to Another IRB

12.0 Investigator Responsibilities

Information Sheet Guidance For IRBs, Clinical Investigators, and Sponsors

Human Research Protection Program Good Clinical Practice Guidance for Investigators Investigator & Research Staff Responsibilities

Department of Defense INSTRUCTION

Guidance for Industry

Guidance for Sponsors, Institutional Review Boards, Clinical Investigators and FDA Staff

INVESTIGATOR MANUAL. Table of Contents

Information Sheet Guidance for Sponsors, Clinical Investigators, and IRBs

Coverage Analysis: The Cornerstone of Clinical Research Billing Presented by: Mary L. Veazie, CPA, MBA, CHC, CHRC Executive Director, Clinical

Role of the Investigational Drug Services (IDS) in the Management of Investigational Drugs

ORACLE CONSULTING GROUP

PARTNERS HEALTHCARE GRADUATE TRAINEE MOONLIGHTING POLICY Policy regarding professional activities outside the scope of the educational program

Good Clinical Practice 101: An Introduction

Pre-Questions. Mastering Clinical Research July 29, 2015

Guidance for Clinical Trial Sponsors

MASSACHUSETTS GENERAL HOSPITAL Department of Nursing

Vertex Investigator-Initiated Studies Program Overview

Notice of Imposition of Civil Money Penalty for Medicare Advantage-Prescription Drug Contract Number: H5985

This policy applies to research administrators, investigators, research staff, Human Investigation Committee (HIC) members and HIC staff.

APPENDIX I-A: INFORMED CONSENT BB IND Protocol CDC IRB #4167

NEW YORK STATE EXTERNAL APPEAL

Guidance for Industry

Guidance for Industry Independent Consultants for Biotechnology Clinical Trial Protocols

Study Start-Up SS STANDARD OPERATING PROCEDURE FOR Site Initiation Visit (SIV)

THE FOOD AND DRUG ADMINISTRATION S OVERSIGHT

INVESTIGATOR HANDBOOK

IOWA STATE UNIVERSITY Institutional Review Board. Reporting Adverse Events and Unanticipated Problems Involving Risks to Subjects or Others

Ask Us About Clinical Trials

The Beginner Research Assistant/Coordinator (CRC) Track Basic Level

Guidance for Clinical Investigators, Industry, and FDA Staff Financial Disclosure by Clinical Investigators

Regulatory Pathways for Licensure and Use of Ebola Virus Vaccines During the Current Outbreak FDA Perspective

Subject: No. Page PROTOCOL AND CASE REPORT FORM DEVELOPMENT AND REVIEW Standard Operating Procedure

Medical Billing and Agency Formal Disputes

Guidance on Reviewing and Reporting Unanticipated Problems Involving Risks to Subjects or Others and Adverse Events

IND Process and Review Procedures (Including Clinical Holds) CONTENTS

ST. MICHAEL S HOSPITAL Guidelines for Reporting Serious Adverse Events / Unanticipated Problems to the SMH Research Ethics Board (REB) July 09, 2014

Guidance for Industry Computerized Systems Used in Clinical Investigations

Formal FDA Meeting Request: Guidance and Template

Guidance for Industry

ROLE OF THE RESEARCH COORDINATOR Study Start-up Best Practices

Medical College of Georgia SOP NUMBER: 03 INVESTIGATIONAL DRUG HANDLING Version Number: 1.0, 1.1 Effective Date: 09/12/06, 08/02/10, 3/2/11

HIPAA Notice of Privacy Practices - Sample Notice. Disclaimer: Template Notice of Privacy Practices (45 C.F.R )

Understanding Clinical Trial Recruitment Rules

Recall Communication: Medical Device Model Press Release Ron Brown

River Valley Therapy & Sports Medicine, Inc. Notice of Privacy Practices

I. INTRODUCTION DEFINITIONS AND GENERAL PRINCIPLE

Health Insurance Portability and Accountability Policy 1.8.4

The Regulatory Binder/Trial Master File: Essential Records for the Conduct of a Clinical Trial

Clinical Trial Protocol Development. Developed by Center for Cancer Research, National Cancer Institute Endorsed by the CTN SIG Leadership Group

Cancer Clinical Trials: In-Depth Information

Contents: Centers for Medicare/Medicaid (CMS) Clinical Trials Policy (CTP) Training. CMS CTP Background, Definitions and Requirements

Guidance for Industry

THE HIPAA PRIVACY RULE AND THE NATIONAL HOSPITAL CARE SURVEY

Summary of Advisory Council on Blood Stem Cell Transplantation: Recommendations and Status

Breakthrough Therapy Program U.S. Food and Drug Administration (FDA)

Guidance on Withdrawal of Subjects from Research: Data Retention and Other Related Issues

Guidance for Industry Formal Meetings Between the FDA and Sponsors or Applicants

Medical Billing Human Research Studies Seminar Notes

The Study Site Master File and Essential Documents

Challenges in the Regulation of Pediatric Clinical Trials

Adverse Events in Clinical Trials: Definitions and Documentation

Singapore Clinical Trials Register. Foo Yang Tong Director Clinical Trials Branch Health Products Regulation Group HEALTH SCIENCES AUTHORITY

Expanded Access Programs. Richard Klein Office of Special Health issues Food and Drug Administration

Guidance Medication Guides Distribution Requirements and Inclusion in Risk Evaluation and Mitigation Strategies (REMS)

Partners HealthCare Financial Assistance Policy and Uninsured Patient Discount Policy

RE: Human Research Subject Protections Under Multiple Project Assurance (MPA) M- 1073

Guidance for Industry FDA Approval of New Cancer Treatment Uses for Marketed Drug and Biological Products

Northwest Cardiology Associates 400 W. Northwest Hwy Barrington, IL Fax HIPAA Notice of Privacy Practices ( Notice )

NIH Genomic Data Sharing (GDS) Policy Guidance Memo #2 1

House of Representatives

Formulary Management

OFFICE OF INSPECTOR GENERAL

DRAFT GUIDANCE. This guidance document is being distributed for comment purposes only.

GENERAL INFORMATION. Adverse Event (AE) Definition (ICH GUIDELINES E6 FOR GCP 1.2):

Transcription:

Title: Department: Emergency Use of an Investigational Drug or Biological Product, or Unapproved Medical Device Human Research Affairs Policy Type: Partners System-wide Partners System-wide Template Partners HealthCare Partners HealthCare Departmental Institution Applies to: Approved by: Employees, Professional Staff or Other Agents of Brigham and Women s Hospital (BWH), Faulkner Hospital (FH), Massachusetts General Hospital (MGH), McLean Hospital (McLean), and North Shore Medical Center (NSMC) Chief Academic Officer Original Approval Date: June 4, 2007 Original Effective Date: June 4, 2007 Revision Approval Date(s): December 6, 2007; September 8, 2010; March 7, 2014; August 16, 2015 Current Revision Effective Date: August 16, 2015 Next Review Date: August 16, 2018 Contact Person: Director, Human Research Review and Compliance KEYWORDS: IRB, Institutional Review Board PURPOSE: The purpose of this policy is to define the applicability of the Food and Drug Administration (FDA) emergency exemption from prospective IRB approval for use of an investigational drug or biological product, or unapproved medical device with a human subject in a life-threatening situation in which no standard acceptable treatment is available and in which there is not sufficient time to obtain IRB approval [21 CFR 56.102(d)] and the procedures for reporting such emergency uses to the Partners Human Research Committees (PHRC) and to the Food and Drug Administration (FDA). DEFINITIONS: See Definition of Human-Subjects Research Emergency use of an investigational drug or biologic product as defined by FDA means the use of an investigational drug or biological product with a human subject in a life-threatening situation in which no standard acceptable treatment is available and in which there is not sufficient time to obtain IRB approval.

Emergency use of an unapproved device as defined by FDA means the use of an unapproved medical device with a human subject in a life-threatening situation in which no standard acceptable treatment is available. Life-threatening as defined by FDA means diseases or conditions where the likelihood of death is high unless the course of the disease is interrupted and diseases or conditions with potentially fatal outcomes, where the end point of clinical trial analysis is survival. The criteria for life-threatening do not require the condition to be immediately life-threatening or to immediately result in death. Rather, the subjects must be in a life-threatening situation requiring intervention before review at a convened meeting of the IRB is feasible. Severely debilitating as defined by FDA means diseases or conditions that cause major irreversible morbidity. Examples of severely debilitating conditions include blindness, loss of arm, leg, hand or foot, loss of hearing, paralysis or stroke. POLICY STATEMENT: The FDA regulations allow for the emergency use of an investigational drug or biological product, or unapproved medical device with a human subject in a life-threatening situation in which no standard acceptable treatment is available and in which there is not sufficient time to obtain IRB approval. The emergency use of an investigational drug or biological product, or unapproved medical device does not meet the DHHS definition of research involving human subjects; however, the emergency use of a drug or biological product meets the FDA definition of clinical investigation. As such, the patient is a participant, and the FDA may require data form an emergency use to be reported in a marketing application. Medical staff, not residents, fellows, or trainees, who propose to use an investigational drug or biological product, or unapproved medical device, must comply with all applicable FDA regulations. Whenever possible, investigators should notify the PHRC of a proposed emergency use of an investigational drug or biological product, or unapproved medical device prior to such emergency use; however such notifications do not constitute PHRC approval. When it is not possible for the investigator to notify the PHRC before the emergency use of the investigational drug or biological product, or unapproved medical device, the investigator must notify the PHRC of such use within 5 working days. PROCEDURES: When a member of the medical staff of the applicable Partners-affiliated entities, not including residents, fellows, or trainees, proposes to use an investigational drug or biological product, or unapproved medical device, he/she must comply with FDA regulations and institutional policies and procedures, as described below: Whenever possible, the investigator proposing to use an investigational drug or biological product, or unapproved medical device in an emergency situation should contact the Partners Human Research Office for guidance. Whenever possible prior to the proposed use, the investigator should complete and submit the Insight/eIRB Emergency Use Form to the Partners Human Research Office to document in writing the emergency exemption from prospective IRB approval for use of an investigational drug or biological product, or unapproved medical device with a human subject in a life-threatening situation in which no standard acceptable treatment is available and in which there is not sufficient time to obtain IRB approval.

The reviewing PHRC Chairperson is responsible for either concurring with the emergency exemption or for finding that the proposed use does not meet the criteria for an emergency exemption from prospective IRB approval. The reviewing PHRC Chairperson may request additional information or review by an independent physician when determining whether or not the criteria for an emergency exemption are met. The reviewing PHRC Chairperson is responsible for informing the investigator of his/her concurrence or disagreement with the emergency exemption. When the reviewing PHRC Chairperson disagrees with the emergency exemption, the proposed use will be scheduled for review at the next available convened meeting of the PHRC. When time is not sufficient for the investigator to notify the PHRC of the proposed use, the investigator must notify the PHRC within 5 working days after the use of the investigational drug or biological product, or unapproved medical device. All emergency uses are reported to the PHRC at a convened meeting, at which time the PHRC reviews and determines whether the FDA requirements for emergency exemption from prospective IRB approval were met and, when appropriate, requires additional follow-up information. The Partners Human Research Office is responsible for notifying the investigator of PHRC review of the reported emergency use. The notification includes the requirement for prospective PHRC review and approval of any subsequent use of the investigational drug or biological product, or unapproved medical device. Although the FDA requires prospective IRB review and approval prior to subsequent uses of the investigational drug or biological product, or unapproved medical device, the FDA acknowledges that it would be inappropriate to deny emergency treatment to a second individual if the only obstacle is that the IRB has not had sufficient time to convene a meeting to review the protocol. 1. Investigational Drugs or Biological Products FDA regulations permit a physician to treat a patient with an investigational drug or biological product if he/she concludes that: the subject has a disease or condition which is life-threatening (e.g., the likelihood of death is high) or severely debilitating (e.g., may cause irreversible morbidity, such as blindness, loss of limb, loss of hearing, paralysis or stroke); the subject's disease or condition requires intervention with the investigational drug or biologic before review at a convened meeting of the IRB is feasible; and no standard acceptable treatment is available. In such cases, the physician (also referred to as the investigator ) is responsible for contacting the manufacturer to determine whether the investigational drug or biological product can be provided under an existing IND. When the investigational drug or biological product is not available under an existing IND, the investigator is responsible for contacting the FDA to obtain an emergency IND. Once an IND is in place, the investigator may administer the investigational drug or biological product with the informed consent of the subject or the subject s legally authorized representative.

An exception to the requirement for informed consent may be made if both the investigator and a physician who is not otherwise participating in the clinical investigation certify in writing all of the following: The subject is confronted by a life-threatening (or severely debilitating) situation necessitating the use of the investigational drug or biologic; Informed consent cannot be obtained because of an inability to communicate with, or obtain legally effective consent from, the subject; Time is not sufficient to obtain consent from the subject s legal representative; and No alternative method of approved or generally recognized therapy is available that provides an equal or greater likelihood of saving the life of the subject. If, in the investigator s opinion, immediate use of the investigational drug or biological product is required to preserve the subject s life, and if time is not sufficient to obtain an independent physician s determination that the four conditions above apply, the investigator should make the determination and, within 5 working days after the use of the investigational drug or biological product have the determination reviewed and evaluated in writing by a physician who is not participating in the clinical investigation. The investigator is responsible for alerting the relevant pharmacy of the proposed emergency use and arrangements for drug shipment. 2. Unapproved Medical Devices FDA regulations permit a physician to treat a patient with an unapproved medical device in an emergency situation if he/she concludes that: The patient has a life-threatening condition that needs immediate treatment; No generally acceptable alternative treatment for the condition exists; and Because of the immediate need to use the device, there is no time to use existing procedures to get FDA approval for the use. FDA expects investigators to follow as many of the patient protection procedures listed below as possible: Informed consent from the patient or a legal representative; Clearance from the institution; Concurrence of the IRB chairperson; An assessment from a physician who is not participating in the study; and Authorization from the IDE sponsor, if an IDE exists for the study. When an unapproved medical device is not available under an existing IDE, the investigator is responsible for reporting the emergency use to the FDA Center for Devices and Radiological Health (CDRH) or Center for Biologics Evaluation and Research (CBER) within 5 working days of the use. The report should contain a summary of the conditions constituting the emergency, patient outcome information, and the patient protection measures that were followed (e.g., informed consent from the patient or the patient s legal representative; clearance from the institution as specified by institutional policies; concurrence of the IRB chairperson; and an assessment from a physician who is not participating in the study. When applicable, the investigator is responsible for alerting the operating room or other facility of the proposed emergency use and arrangements for device shipment. REFERENCE: 21 CFR 50, 56, 312, 812

DEVELOPMENT AND CONSULTATION Human Research Office Office of the General Counsel Reviewed by: Original Review Date: Revision Approval Dates: Dennis A. Ausiello, MD, Chief Scientific Officer December 16, 2010 Anne Klibanski, MD, Chief Academic Officer May 5, 2015