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“So You Think You Know GCP ...”



        Northern California Chapter ACRP

                   March 21, 2013


1
Presenter


    Paul Below, MS, CCRA
     •   Clinical Project Leader, American Medical Systems
     •   Trainer for ACRP
     •   Former President Minnesota Chapter ACRP (2004, 2010)
     •   Adjunct instructor for the St. Cloud State University
         Master’s Degree Program in Applied Clinical Research
     •   Recipient of ACRP’s Leadership in Clinical Research as a
         CRA Award in May 2011
     •   Recipient of ACRP’s Top Speaker Award for the
         2012 Global Conference
2
Disclosure


    • Paul has no relevant
      financial relationship
      in relation to this
      educational activity




3
Background


    • This presentation was developed to correct
      numerous errors and myths about Good Clinical
      Practice overheard by the presenter throughout
      his clinical
      research career




4
Are you sure this
    Yes, you have to do        is right? I’ve
     it this way. It’s an   never been asked
     FDA requirement.         to document it
                             this way before.




5
I never heard of this FDA
                  requirement before but it
                     must be true. He is the
                     monitor and he should
                            know …



    I wouldn’t
    count on it




6
Learning Objectives


    • Define Good Clinical Practice (GCP)
    • Differentiate between GCP requirements (stated in
      regulation) and recommendations (stated in
      guidance documents) in several key areas
    • Identify several circumstances where “industry
      best practices” exist that go above and beyond
      what the FDA requires or even recommends


7
What is Good Clinical Practice (GCP)?


    • Good Clinical Practice (GCP) is a unified standard
      for designing, conducting, recording, and
      reporting trials that involve human subjects
    • GCP is composed of many
      parts that cannot be found
      in any one book or place



8
Other Federal
                               Regulations
         FDA Regulations
            (21 CFR)                          FDA Guidance
                                               Documents




    State Law
                             GCP                    International
                                                      Standards


          SampleLaw
            Local Title
          (Institutional                      Sponsor
          Sample Text
         and IRB Policies)                      SOPs
                               Industry
                             Best Practices
9
Other Federal
                                 Regulations
           FDA Regulations
              (21 CFR)                           FDA Guidance
                                                  Documents


     • Informed Consent (21 CFR 50)
     • State Law
     •
                                 GCP
       Institutional review boards (21 CFR 56)
         Financial disclosure (21 CFR 54)
                                                         International
                                                           Standards
     • Electronics records and signatures (21 CFR 11)
     • Investigational new drugs (21 CFR 312) and application to
            SampleLaw
               Local Title
             (Institutional
       market a new drug (21 CFR 314)           Sponsor
            Sample Text
            and IRB Policies)                     SOPs
     • Investigational device exemptions (21 CFR 812) & premarket
                                 Industry
       approval of medical devicesPractices 814)
                               Best (21 CFR
10
Other Federal
                              Regulations
           FDA Regulations
              (21 CFR)                            FDA Guidance
                                                   Documents
     • Nuclear Regulatory Commission regulations for the medical
       use of radioactive substances (10 CFR 35 and 21 CFR 361)
     • Department of Transportation regulations for the shipment
       State Law
                              GCP
        of hazardous materials (49 CFR)               International
                                                        Standards
     • HIPAA Privacy Rule (45 CFR 160-164) for the use and
       disclosure of protected health information
            SampleLaw
               Local Title
     • “Common Rule” (45 CFR 46) - Human subjects protection
             (Institutional                 Sponsor
       rulesSamplefederally funded research
              for Text
           and IRB Policies)                  SOPs
                                Industry
                              Best Practices
11
Other Federal
                                Regulations
          FDA Regulations
             (21 CFR)                           FDA Guidance
                                                 Documents


       • FDA Information Sheets
     State Law
                              GCP
       • ICH Guidelines for Good Clinical Practice (1997)
                                                     International
                                                         Standards
       • Investigator Responsibilities (2009)
       • Adverse Event Reporting to IRBs (2009)
          Local Law
           Sample Title
       • Sample Text the Form FDA 1572 (2010) Sponsor
          (Institutional
         FAQs on
          and IRB Policies)                       SOPs
       • Risk-Based ApproachIndustry
                             to Monitoring (Draft, 2011)
                              Best Practices
12
Other Federal
                                       Regulations
                 FDA Regulations
                    (21 CFR)                          FDA Guidance
     • Ethical Doctrines:                              Documents
         Declaration of Helsinki
         Nuremberg Code
     • Clinical Research Guidelines:
           State Law
         ICH Guidelines for GCP (E6)
                                     GCP                   International
                                                             Standards
         ICH Guidelines for Safety Reporting (E2A)
         ISO 14155 – Medical Devices
                  SampleLaw
                    Local Title
     • EU Directives Text
                 (Institutional
                Sample
                                                      Sponsor
                 and IRB Policies)                      SOPs
     • Country-Specific Requirements
                                   Industry
                                     Best Practices
13
Other Federal
                                 Regulations
         FDA Regulations
            (21 CFR)    •    Age of consent       FDA Guidance
                                                   Documents
                         • Legally authorized representatives
                         • Clinical research registration
                         • Medical records privacy
     State Laws
                         •
                               GCP
                             Gene research              International
                                                          Standards
                         • STD/HIV reporting

          SampleLaw • Gifts to practitioners
            Local Title
          (Institutional                         Sponsor
          Sample Text
         and IRB Policies)                         SOPs
                                 Industry
                               Best Practices
14
• Institutional Policies:
         Internal Protocol Review Committee Approval
         Investigational ProductOther Federal
                                 Storage / Dispensing
                                  Regulations
         Personnel Training Requirements
                FDA Regulations
     •   IRB Policies: CFR)
                    (21                             FDA Guidance
                                                     Documents
           Protocol Deviation Reporting Requirements
           SAE Reporting Requirements
           Frequency of Continuing Review and Reporting Format
           State Law
                                  GCP
           Informed Consent Requirements               International
                                                             Standards

                 Local Law
               (Institutional                      Sponsor
              and IRB Policies)                      SOPs
                                    Industry
                                  Best Practices
15
• CRF Completion Guidelines
                              • Other Reporting Requirements
                                 SAE Federal
                                 Regulations
          FDA Regulations
                              • Regulatory Document Organization
             (21 CFR)         • Sponsor-Specific Form Completion
                                                 FDA Guidance
                                                   Documents
                              • Source Documentation Practices
                              • Investigator Signature Requirements
     State Law
                               GCP
                              • Investigational Product Storage and
                                                        International
                                Accountability Requirements
                                                           Standards


           SampleLaw
             Local Title
                                                 Sponsor
            (Institutional
           Sample Text
          and IRB Policies)                       SOPs
                                 Industry
                               Best Practices
16
• Good Documentation Practices
                         Other Federal
                            Regulations
       • GCP Training Requirements
           FDA Regulations
       •    Site SAE Reporting Requirements
              (21 CFR)                          FDA Guidance
                                                 Documents
       • Investigational Product Storage
       • Handling Lost to Follow-Up Subjects


       •
                            GCP Agreement
         • Curriculum Vitae Requirements
     State Law

            Form 1572 and Clinical Investigator
                                                      International
                                                        Standards
            Requirements
               Local Law
             (Institutional                     Sponsor
            Sample Text
           and IRB Policies)     Industry         SOPs
                               Best Practices
17
Other Federal
                                Regulations
          FDA Regulations
             (21 CFR)                          FDA Guidance
                                                Documents




     State Law
                              GCP                    International
                                                       Standards


           SampleLaw
             Local Title
           (Institutional                      Sponsor
           Sample Text
          and IRB Policies)                      SOPs
                                Industry
                              Best Practices
18
Learning all of the parts of GCP can take some
     time and may seem daunting to those new to the
                 clinical research industry




19
Time to Test Your GCP
          Knowledge




20
• The following slides are a series of questions to
       test your knowledge of GCP
     • You will be able to
       submit your answers
       by text messaging or
       through the web
     • All answers are
       anonymous (no one
       is identified by name or phone number)

21
How to Vote by Text Message


     Example Question: What is your favorite color?
     • Red                 3544
     • Blue                3545
     • Green               3546
     • Orange              3546

     To vote, text the corresponding keyword to 22333
       NOTE: Standard carrier text messaging rates apply but there are no additional
22
       fees to participate in the quiz
Informed
      Consent
     Questions



23
Question



     FDA Regulations (21 CFR 50) specify the following:
     Question                                                          Keyword
     The ICF must be signed and dated by the subject                   624626
     The ICF must be signed and dated by the person obtaining          624627
     consent

     The ICF must be signed and dated by the Principal Investigator    624628

     The ICF must be signed by a child subject if the IRB determines   624651
     that assent is required

     All of the above                                                  624655



24
Question



     FDA Regulations (21 CFR 50) specify the following:
     Question                                                          Keyword
     The ICF must be signed and dated by the subject                   624626
     The ICF must be signed and dated by the person obtaining          624627
     consent

     The ICF must be signed and dated by the Principal Investigator    624628

     The ICF must be signed by a child subject if the IRB determines   624651
     that assent is required

     All of the above                                                  624655

                   Text your answer (keyword) to 22333
25
Answer



     FDA Regulations (21 CFR 50) specify the following:
     Question                                                          Keyword
     The ICF must be signed and dated by the subject                   624626
     The ICF must be signed and dated by the person obtaining          624627
     consent        Specified in 21 CFR 50.27a
     The ICF must be signed and dated by the Principal Investigator    624628

     The ICF must be signed by a child subject if the IRB determines   624651
     that assent is required

     All of the above                                                  624655



26
Explanation



     • The ICF must be signed and dated by the person
       obtaining consent – Specified by ICH GCP (4.8.8).
     • The ICF must be signed and dated by the Principal
       Investigator – Not specified by FDA Regulation or
       Guidance but sometimes required by IRBs.
     • The ICF must be signed by a child subject if the IRB
       determines that assent is required – The method of
       documenting assent is determined by the IRB (21
       CFR 50.55) and does not necessarily have to be by
       child signature.

27
Question


     FDA Guidance (Guide to Informed Consent Info Sheet
     & ICH GCP) specifies the following:
     Question                                                            Keyword
     The ICF should be written at a 6th grade reading level              624669
     When it is anticipated that consent interviews will be              624727
     conducted in a foreign language, a translated ICF should be
     prepared
     A subject who can understand and comprehend spoken                  624773
     English, but is physically unable to talk or write, should not be
     enrolled in a clinical trial
     All study personnel involved in the informed consent process        624774
     should be trained in Human Subjects Protection
     All of the above                                                    624775
28
Answer


     FDA Guidance (Guide to Informed Consent Info Sheet
     & ICH GCP) specifies the following:
     Question                                                     Keyword
     The ICF should be written at a 6th grade reading level        624669

     When it is anticipated that consent interviews will be        624727
     conducted in a foreign language, a translated ICF should
     be prepared
      A subject who can understand and comprehend spoken             624773
     However,isthe Guide to Informed Consent indicates that
      English, but physically unable to talk or write, should not be
     if a non-Englishtrial
      enrolled in a clinical speaking subject is unexpectedly
     All study personnel involved in the informed consent process
     encountered, investigators will not have a written           624774
     should be trained in Human Subjects Protection
     translation of the ICF and must rely on oral translation.
     All of the above                                              624775
29
Explanation



     • The ICF should be written at a 6th grade reading level
       – No specific grade level requirement is defined.
       Instead, the FDA Information Sheets say:
           “The IRB should ensure that technical and scientific
           terms are adequately explained or that common terms
           are substituted. The IRB should ensure that the
           informed consent document properly translates complex
           scientific concepts into simple concepts that the typical
           subject can read and comprehend.”

       Similarly, ICH (4.8.6) specifies that the consent
       language should be “as non-technical as practical and
       should be understandable to the subject.”
30
Explanation



     • A subject who can understand and comprehend
       spoken English, but is physically unable to talk or
       write, should not be enrolled in a clinical trial – They
       can be enrolled if an impartial witness is present
       during the entire informed consent discussion.
     • All study personnel involved in the informed consent
       process should be trained in Human Subjects
       Protection – Required for NIH studies but not
       currently specified by FDA.



31
Financial
     Disclosure
     Question



32
Question



     FDA Regulations (21 CFR 54) specify the following:
     Question                                                            Keyword
     Part- or full-time employees of the sponsor may not participate     624803
     as Clinical Investigators in that sponsor’s trials

     Clinical Investigators may not have a proprietary interest (i.e.,   624804
     patents, royalties) in the tested product in a trial
     Clinical Investigators may not receive more than $25,000 a year     624812
     in “payments of other sorts” (i.e., grants, consulting fees,
     speaker honoraria)
     In general, financial disclosure is not required for large open     624813
     safety studies conducted at multiple sites

     None of the above                                                   625046

33
Answer



     Specified in 21 CFR 54.2e. 54) specify the following:
     FDA Regulations (21 CFR Financial disclosure
     applies to any study of a drug or device in
      Question                                                    Keyword
     humans submitted inof the sponsor may not participate 624803
      Part- or full-time employees a marketing application
     that theInvestigators inor FDA relies on to establish
      as Clinical applicant that sponsor’s trials
     efficacy or any study in which a single (i.e.,
      Clinical Investigators may not have a proprietary interest   624804
     investigator makestested product in acontribution
      patents, royalties) in the
                                 a significant trial
     to theInvestigators may not receive more than $25,000 a year 624812
      Clinical demonstration of safety.
     in “payments of other sorts” (i.e., grants, consulting fees,
     speaker honoraria)
     In general, financial disclosure is not required for large     624813
     open safety studies conducted at multiple sites
     None of the above                                              625046

34
Explanation



     • Part- or full-time employees of the sponsor may not
       participate as Clinical Investigators in that sponsor’s
       trials – This is allowed but financial disclosure is
       required.
     • Clinical Investigators may not have a proprietary
       interest (i.e., patents, royalties) in the tested product
       in a trial – Same as above.
     • Clinical Investigators may not receive more than
       $25,000 a year in “payments of other sorts” (i.e.,
       grants, consulting fees, speaker honoraria) – Same as
       above.
35
Explanation



     • Sponsors may include individuals as Investigators
       who have these financial interests but they have to
       explain any steps taken to minimize the potential for
       bias resulting from any of the disclosed
       arrangements, interests, or payments (21 CFR 54.4a)
     • FDA then decides if the steps are adequate to ensure
       the reliability of the study (21 CFR 54.5a)
     • Interestingly, there is no requirement for financial
       disclosure by monitors or other sponsor personnel
       who have the capacity to bias the data

36
IRB
     Question




37
Question



     FDA Regulations (21 CFR 56) specify the following:
     Question                                                           Keyword
     An IRB must be composed of five (5) members                        625047

     An IRB must have at least one female member                        625048
     If an IRB regularly reviews research involving prisoners, a        625049
     prisoner representative should be included on the board

     An IRB member that has a conflicting interest in a project under   625076
     review may not participate in the IRB's review proceedings

     None of the above                                                  625077


38
Answer



     FDA Regulations (21 CFR 56) specify the following:
     Question                                                           Keyword
     An IRB must be composed of five (5) members                        625047

     An IRB must have at least one female member                        625048
     If an IRB regularly reviews research involving prisoners, a        625049
     prisoner representative should be included on the board

     An IRB member that has a conflicting interest in a project under   625076
     review may not participate in the IRB's review proceedings

     None of the above                                                  625077


39
Explanation



     • An IRB must be composed of five (5) members –
       Must have at least 5 members (21 CFR 56.107a).
     • An IRB must have at least one female member – The
       FDA Regulations (21 CFR 56.107b) specify:
          “Every nondiscriminatory effort will be made to ensure
          that no IRB consists entirely of men or entirely of women,
          including the institution's consideration of qualified
          persons of both sexes, so long as no selection is made to
          the IRB on the basis of gender.”




40
Explanation



     • If an IRB regularly reviews research involving
       prisoners, a prisoner representative should be
       included on the board – Consideration shall be given
       to the inclusion of one or more individuals who are
       knowledgeable about and experienced in working
       with those subjects (21 CFR 56.107a).

     • An IRB member that has a conflicting interest in a
       project under review may not participate in the IRB's
       review proceedings – These individuals can
       participate in order to provide information
       requested by the IRB (21 CFR 56.107e).

41
Monitoring
      Question




42
Question



     FDA Guidance (ICH GCP) specifies the following:
     Question                                                           Keyword
     A monitoring report should be submitted to the sponsor after       627475
     each site visit or trial-related communication
     Monitors should not make any notations or corrections on the       627539
     CRF pages
     Monitors should ensure that all corrections to the CRF are         627540
     completed with a single line through the incorrect entry and
     initiated and dated by the completer
     Monitors should attempt to meet in person with the                 627541
     Investigator at every visit to discuss the progress of the trial
     All of the above                                                   627542

43
Answer



     FDA Guidance (ICH GCP) specifies the following:
     Question                                                           Keyword
     A monitoring report should be submitted to the sponsor             627475
     after each site visit or trial-related communication
     Monitors should not make any notations or corrections on the       627539
     CRF pages Specified in ICH 5.18.6a
     Monitors should ensure that all corrections to the CRF are         627540
     completed with a single line through the entry and are initiated
     and dated by the completer
     Monitors should attempt to meet in person with the                 627541
     Investigator at every visit to discuss the progress of the trial
     All of the above                                                   627542

44
Explanation



     • Monitors should not make any notations or
       corrections on the CRF pages – Sponsors should
       have written procedures to assure that changes or
       corrections in CRFs made by sponsor's designated
       representatives are documented, are necessary, and
       are endorsed by the investigator (ICH 4.9.3).

     • Monitors should ensure that all corrections to the
       CRF are completed with a single line through the
       entry and are initiated and dated by the completer –
       Any change or correction to a CRF should be dated,
       initialed, and explained (if necessary) and should
       not obscure the original entry (ICH 4.9.3).
45
Explanation



     • Monitors should attempt to meet in person with the
       Investigator at every visit to discuss the progress of
       the trial – There are several sections of ICH that
       address the monitors responsibility to communicate
       with the Investigator but the frequency of these
       communications is not specified (ICH 5.18.4). This is
       often specified in sponsor SOPs.




46
Source
     Documentation
       Question



47
Question



     FDA Regulations (21 CFR 312/812) specify the following:
     Question                                                            Keyword
     It is prohibited to use CRFs (other than questionnaires) directly   625078
     as source documents
     Each subject’s case history should document that informed           625079
     consent was obtained prior to participation in the study
     All source documents must be signed by the completer                625089
     If a site uses electronic medical records as source documents,      625090
     the EMR system must be compliant with 21 CFR part 11
     All of the above                                                    625091



48
Answer



     FDA Regulations (21 CFR 312/812) specify the following:
     Question                                                            Keyword
     It is prohibited to use CRFs (other than questionnaires) directly   625078
     as source documents
     Each subject’s case history should document that informed           625079
     consent was obtained prior to participation in the study

     Specified in bothmust CFR 312.62bcompleter
      All source documents
                            21 be signed by the and 812.140a.            625089

     “Case uses electronic medical records as source documents,
      If a site histories” include CRFs, signed and dated                625090
      the EMR system must be compliant with 21 CFR part 11
     consent forms, and medical records (physician
      All of the above                                                   625091
     progress notes, individual's hospital chart and
     the nursing notes)
49
Explanation



     • It is prohibited to use CRFs (other than
       questionnaires) directly as source documents –
       There is no regulation preventing this practice or
       from using copies of CRFs as source documents.
     • All source documents must be signed by the
       completer – There is no requirement for this but
       several FDA Guidances do specify that data should
       be “attributable.”




50
Explanation



     • If a site uses electronic medical records as source
       documents, the EMR system must be compliant with
       21 CFR part 11 – There is currently no FDA
       Regulation or Guidance specifying this. However, a
       recent FDA Draft Guidance does indicate:
          “For those who use electronic signatures based upon the
          use of identification codes in combination with
          passwords, the clinical site must employ controls to
          ensure the security and integrity of the authorized user
          names and passwords (21 CFR 11.300a).”
          Draft Guidance on Electronic Source Documentation in Clinical Investigations
          (December 2010)


51
Investigator
     Responsibilities
        Question



52
Question


     FDA Guidance specifies the following:
     Question                                                                Keyword
     A Trial Delegation List should identify the training that               625092
     individuals have received that qualifies them to perform
     delegated tasks
     In device studies, the field clinical engineer’s activities should be   625093
     described in the protocol and informed consent (if face-to-face
     contact with subjects)
     Investigators should develop a plan for the oversight of the            625096
     clinical trial that might include the creation of specific SOPs
     Investigators conducting studies of drugs with potentially fatal        625097
     toxicity should be readily available 24 hours/day and in
     reasonably close proximity to study subjects
     All of the above                                                        625098
53
Answer


     FDA Guidance specifies the following:
     Question                                                                Keyword
     A Trial Delegation List should identify the training that               625092
     individuals have received that qualifies them to perform
     delegated tasks
     In device studies, the field clinical engineer’s activities should be   625093
     described in the protocol and informed consent (if face-to-face
     contact with subjects)
     Investigators should develop a plan for the oversight of the            625096
     clinical trial that might include the creation of specific SOPs
     Investigators conducting studies of drugs with potentially fatal        625097
     toxicity should be readily available 24 hours/day and in
     reasonably close proximity to study subjects
     All of the above                                                        625098
54
Study Records
        Storage
       Question



55
Question


     FDA Regulations (21 CFR 312/812) and Guidance (ICH
     GCP) specify the following:
     Question                                                              Keyword
     It is the Investigator’s responsibility to inquire with the sponsor   625099
     when study records no longer need to be retained
     In general, study records should be obtained indefinitely             625114
     because it is never certain when product development will be
     permanently discontinued by the sponsor
     Sponsors should pay for the costs of records storage by               625115
     Investigators
     For device studies, an Investigator may transfer custody of study     625116
     records to anyone who will accept responsibility for them
     None of the above                                                     625117
56
Answer


     FDA Regulations (21 CFR 312/812) and Guidance (ICH
     GCP) specify the following:
      Question                                                              Keyword
      It is the Investigator’s responsibility to inquire with the sponsor   625099
      when study records no longer need to be retained
      In general, study records should be obtained indefinitely             625114
      because it is never certain when product development will be
      permanently discontinued by the sponsor
     Specified in 21 CFR 812.140e (however, there is
     no comparable language inrecords312) by
      Sponsors should pay for the costs of
      Investigators                        Part storage                     625115

      For device studies, an Investigator may transfer custody              625116
      of study records to anyone who will accept responsibility
      for them
      None of the above                                                     625117
57
Explanation



     • It is the Investigator’s responsibility to inquire with
       the sponsor when study records no longer need to
       be retained – Per ICH 4.9.5, it is sponsor’s
       responsibility to do so. In addition, ICH 5.5.12,
       indicates:
           “The sponsor should inform the investigators/ institutions
           in writing of the need for record retention and should
           notify the investigators/institutions in writing when the
           trial related records are no longer needed.”




58
Explanation



     • In general, study records should be obtained
       indefinitely because it is never certain when product
       development will be permanently discontinued by
       the sponsor – The FDA Regulations and ICH GCP
       both have criteria for retention that are well
       defined. The current reality is that sites and
       sponsors usually plan to hold onto records for many
       decades.




59
Explanation



     • Sponsors should pay for the costs of records storage
       by Investigators – There is no FDA Regulation or
       Guidance that address this but many experienced
       sites now demand this as a line item in their Clinical
       Trial Agreements.




60
In Conclusion


       Yes, you have to do      That doesn’t sound
        it this way. It’s an    right to me. Where
        FDA requirement.       exactly is that listed in
                                      the CFR?




61
In Conclusion

          Well, uh …
      OK, maybe it’s not a     That still doesn’t
       regulation but it’s    sound right. What
         what the FDA        guidance document
           expects.              is that from?




62
In Conclusion

        I’m not sure but it
       doesn’t matter. It’s a
        requirement of my
        sponsor company.




63
In Conclusion
            OK, that’s fine. Why didn’t you just say so in
             the first place? I’m happy to do it to satisfy
            your company policy. You didn’t have to use
              those FDA excuses to justify your request.




64
Learning Objectives


     • Define Good Clinical Practice (GCP)
     • Differentiate between GCP requirements (stated in
       regulation) and recommendations (stated in
       guidance documents) in several key areas
     • Identify several circumstances where “industry
       best practices” exist that go above and beyond
       what the FDA requires or even recommends


65
Closing Thoughts


     • Much of what we do in clinical research is driven
       by our own industry best practices and not by
       FDA requirements or even recommendations
     • It takes a serious effort to understand all of the
       component parts of GCP and to stay up-to-date
       with changes
     • As sponsor representatives, we often act as
       trainers for new site staff and they rely
       on us to provide accurate information
66
Closing Thoughts


     • Be careful when telling an investigator site, “You
       have to do this because the FDA requires it”
       unless you are certain that it is specified
       by regulation – it can seem like a very heavy
       handed play if you are wrong




67
Thank You


     • Thanks for the Northern California Chapter for
       the invitation to present
     • Thanks also to the chapter leadership for all that
       they do for ACRP and the local research
       community
     • Consider volunteering with the outstanding group
       – it is well worth the time!


68
• Paul Below, CCRA
         paul@pbelow-consulting.com
         612-643-5598




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So you think you know GCP ...

  • 1. “So You Think You Know GCP ...” Northern California Chapter ACRP March 21, 2013 1
  • 2. Presenter Paul Below, MS, CCRA • Clinical Project Leader, American Medical Systems • Trainer for ACRP • Former President Minnesota Chapter ACRP (2004, 2010) • Adjunct instructor for the St. Cloud State University Master’s Degree Program in Applied Clinical Research • Recipient of ACRP’s Leadership in Clinical Research as a CRA Award in May 2011 • Recipient of ACRP’s Top Speaker Award for the 2012 Global Conference 2
  • 3. Disclosure • Paul has no relevant financial relationship in relation to this educational activity 3
  • 4. Background • This presentation was developed to correct numerous errors and myths about Good Clinical Practice overheard by the presenter throughout his clinical research career 4
  • 5. Are you sure this Yes, you have to do is right? I’ve it this way. It’s an never been asked FDA requirement. to document it this way before. 5
  • 6. I never heard of this FDA requirement before but it must be true. He is the monitor and he should know … I wouldn’t count on it 6
  • 7. Learning Objectives • Define Good Clinical Practice (GCP) • Differentiate between GCP requirements (stated in regulation) and recommendations (stated in guidance documents) in several key areas • Identify several circumstances where “industry best practices” exist that go above and beyond what the FDA requires or even recommends 7
  • 8. What is Good Clinical Practice (GCP)? • Good Clinical Practice (GCP) is a unified standard for designing, conducting, recording, and reporting trials that involve human subjects • GCP is composed of many parts that cannot be found in any one book or place 8
  • 9. Other Federal Regulations FDA Regulations (21 CFR) FDA Guidance Documents State Law GCP International Standards SampleLaw Local Title (Institutional Sponsor Sample Text and IRB Policies) SOPs Industry Best Practices 9
  • 10. Other Federal Regulations FDA Regulations (21 CFR) FDA Guidance Documents • Informed Consent (21 CFR 50) • State Law • GCP Institutional review boards (21 CFR 56) Financial disclosure (21 CFR 54) International Standards • Electronics records and signatures (21 CFR 11) • Investigational new drugs (21 CFR 312) and application to SampleLaw Local Title (Institutional market a new drug (21 CFR 314) Sponsor Sample Text and IRB Policies) SOPs • Investigational device exemptions (21 CFR 812) & premarket Industry approval of medical devicesPractices 814) Best (21 CFR 10
  • 11. Other Federal Regulations FDA Regulations (21 CFR) FDA Guidance Documents • Nuclear Regulatory Commission regulations for the medical use of radioactive substances (10 CFR 35 and 21 CFR 361) • Department of Transportation regulations for the shipment State Law GCP of hazardous materials (49 CFR) International Standards • HIPAA Privacy Rule (45 CFR 160-164) for the use and disclosure of protected health information SampleLaw Local Title • “Common Rule” (45 CFR 46) - Human subjects protection (Institutional Sponsor rulesSamplefederally funded research for Text and IRB Policies) SOPs Industry Best Practices 11
  • 12. Other Federal Regulations FDA Regulations (21 CFR) FDA Guidance Documents • FDA Information Sheets State Law GCP • ICH Guidelines for Good Clinical Practice (1997) International Standards • Investigator Responsibilities (2009) • Adverse Event Reporting to IRBs (2009) Local Law Sample Title • Sample Text the Form FDA 1572 (2010) Sponsor (Institutional FAQs on and IRB Policies) SOPs • Risk-Based ApproachIndustry to Monitoring (Draft, 2011) Best Practices 12
  • 13. Other Federal Regulations FDA Regulations (21 CFR) FDA Guidance • Ethical Doctrines: Documents  Declaration of Helsinki  Nuremberg Code • Clinical Research Guidelines: State Law  ICH Guidelines for GCP (E6) GCP International Standards  ICH Guidelines for Safety Reporting (E2A)  ISO 14155 – Medical Devices SampleLaw Local Title • EU Directives Text (Institutional Sample Sponsor and IRB Policies) SOPs • Country-Specific Requirements Industry Best Practices 13
  • 14. Other Federal Regulations FDA Regulations (21 CFR) • Age of consent FDA Guidance Documents • Legally authorized representatives • Clinical research registration • Medical records privacy State Laws • GCP Gene research International Standards • STD/HIV reporting SampleLaw • Gifts to practitioners Local Title (Institutional Sponsor Sample Text and IRB Policies) SOPs Industry Best Practices 14
  • 15. • Institutional Policies:  Internal Protocol Review Committee Approval  Investigational ProductOther Federal Storage / Dispensing Regulations  Personnel Training Requirements FDA Regulations • IRB Policies: CFR) (21 FDA Guidance Documents  Protocol Deviation Reporting Requirements  SAE Reporting Requirements  Frequency of Continuing Review and Reporting Format State Law GCP  Informed Consent Requirements International Standards Local Law (Institutional Sponsor and IRB Policies) SOPs Industry Best Practices 15
  • 16. • CRF Completion Guidelines • Other Reporting Requirements SAE Federal Regulations FDA Regulations • Regulatory Document Organization (21 CFR) • Sponsor-Specific Form Completion FDA Guidance Documents • Source Documentation Practices • Investigator Signature Requirements State Law GCP • Investigational Product Storage and International Accountability Requirements Standards SampleLaw Local Title Sponsor (Institutional Sample Text and IRB Policies) SOPs Industry Best Practices 16
  • 17. • Good Documentation Practices Other Federal Regulations • GCP Training Requirements FDA Regulations • Site SAE Reporting Requirements (21 CFR) FDA Guidance Documents • Investigational Product Storage • Handling Lost to Follow-Up Subjects • GCP Agreement • Curriculum Vitae Requirements State Law Form 1572 and Clinical Investigator International Standards Requirements Local Law (Institutional Sponsor Sample Text and IRB Policies) Industry SOPs Best Practices 17
  • 18. Other Federal Regulations FDA Regulations (21 CFR) FDA Guidance Documents State Law GCP International Standards SampleLaw Local Title (Institutional Sponsor Sample Text and IRB Policies) SOPs Industry Best Practices 18
  • 19. Learning all of the parts of GCP can take some time and may seem daunting to those new to the clinical research industry 19
  • 20. Time to Test Your GCP Knowledge 20
  • 21. • The following slides are a series of questions to test your knowledge of GCP • You will be able to submit your answers by text messaging or through the web • All answers are anonymous (no one is identified by name or phone number) 21
  • 22. How to Vote by Text Message Example Question: What is your favorite color? • Red 3544 • Blue 3545 • Green 3546 • Orange 3546 To vote, text the corresponding keyword to 22333 NOTE: Standard carrier text messaging rates apply but there are no additional 22 fees to participate in the quiz
  • 23. Informed Consent Questions 23
  • 24. Question FDA Regulations (21 CFR 50) specify the following: Question Keyword The ICF must be signed and dated by the subject 624626 The ICF must be signed and dated by the person obtaining 624627 consent The ICF must be signed and dated by the Principal Investigator 624628 The ICF must be signed by a child subject if the IRB determines 624651 that assent is required All of the above 624655 24
  • 25. Question FDA Regulations (21 CFR 50) specify the following: Question Keyword The ICF must be signed and dated by the subject 624626 The ICF must be signed and dated by the person obtaining 624627 consent The ICF must be signed and dated by the Principal Investigator 624628 The ICF must be signed by a child subject if the IRB determines 624651 that assent is required All of the above 624655 Text your answer (keyword) to 22333 25
  • 26. Answer FDA Regulations (21 CFR 50) specify the following: Question Keyword The ICF must be signed and dated by the subject 624626 The ICF must be signed and dated by the person obtaining 624627 consent Specified in 21 CFR 50.27a The ICF must be signed and dated by the Principal Investigator 624628 The ICF must be signed by a child subject if the IRB determines 624651 that assent is required All of the above 624655 26
  • 27. Explanation • The ICF must be signed and dated by the person obtaining consent – Specified by ICH GCP (4.8.8). • The ICF must be signed and dated by the Principal Investigator – Not specified by FDA Regulation or Guidance but sometimes required by IRBs. • The ICF must be signed by a child subject if the IRB determines that assent is required – The method of documenting assent is determined by the IRB (21 CFR 50.55) and does not necessarily have to be by child signature. 27
  • 28. Question FDA Guidance (Guide to Informed Consent Info Sheet & ICH GCP) specifies the following: Question Keyword The ICF should be written at a 6th grade reading level 624669 When it is anticipated that consent interviews will be 624727 conducted in a foreign language, a translated ICF should be prepared A subject who can understand and comprehend spoken 624773 English, but is physically unable to talk or write, should not be enrolled in a clinical trial All study personnel involved in the informed consent process 624774 should be trained in Human Subjects Protection All of the above 624775 28
  • 29. Answer FDA Guidance (Guide to Informed Consent Info Sheet & ICH GCP) specifies the following: Question Keyword The ICF should be written at a 6th grade reading level 624669 When it is anticipated that consent interviews will be 624727 conducted in a foreign language, a translated ICF should be prepared A subject who can understand and comprehend spoken 624773 However,isthe Guide to Informed Consent indicates that English, but physically unable to talk or write, should not be if a non-Englishtrial enrolled in a clinical speaking subject is unexpectedly All study personnel involved in the informed consent process encountered, investigators will not have a written 624774 should be trained in Human Subjects Protection translation of the ICF and must rely on oral translation. All of the above 624775 29
  • 30. Explanation • The ICF should be written at a 6th grade reading level – No specific grade level requirement is defined. Instead, the FDA Information Sheets say: “The IRB should ensure that technical and scientific terms are adequately explained or that common terms are substituted. The IRB should ensure that the informed consent document properly translates complex scientific concepts into simple concepts that the typical subject can read and comprehend.” Similarly, ICH (4.8.6) specifies that the consent language should be “as non-technical as practical and should be understandable to the subject.” 30
  • 31. Explanation • A subject who can understand and comprehend spoken English, but is physically unable to talk or write, should not be enrolled in a clinical trial – They can be enrolled if an impartial witness is present during the entire informed consent discussion. • All study personnel involved in the informed consent process should be trained in Human Subjects Protection – Required for NIH studies but not currently specified by FDA. 31
  • 32. Financial Disclosure Question 32
  • 33. Question FDA Regulations (21 CFR 54) specify the following: Question Keyword Part- or full-time employees of the sponsor may not participate 624803 as Clinical Investigators in that sponsor’s trials Clinical Investigators may not have a proprietary interest (i.e., 624804 patents, royalties) in the tested product in a trial Clinical Investigators may not receive more than $25,000 a year 624812 in “payments of other sorts” (i.e., grants, consulting fees, speaker honoraria) In general, financial disclosure is not required for large open 624813 safety studies conducted at multiple sites None of the above 625046 33
  • 34. Answer Specified in 21 CFR 54.2e. 54) specify the following: FDA Regulations (21 CFR Financial disclosure applies to any study of a drug or device in Question Keyword humans submitted inof the sponsor may not participate 624803 Part- or full-time employees a marketing application that theInvestigators inor FDA relies on to establish as Clinical applicant that sponsor’s trials efficacy or any study in which a single (i.e., Clinical Investigators may not have a proprietary interest 624804 investigator makestested product in acontribution patents, royalties) in the a significant trial to theInvestigators may not receive more than $25,000 a year 624812 Clinical demonstration of safety. in “payments of other sorts” (i.e., grants, consulting fees, speaker honoraria) In general, financial disclosure is not required for large 624813 open safety studies conducted at multiple sites None of the above 625046 34
  • 35. Explanation • Part- or full-time employees of the sponsor may not participate as Clinical Investigators in that sponsor’s trials – This is allowed but financial disclosure is required. • Clinical Investigators may not have a proprietary interest (i.e., patents, royalties) in the tested product in a trial – Same as above. • Clinical Investigators may not receive more than $25,000 a year in “payments of other sorts” (i.e., grants, consulting fees, speaker honoraria) – Same as above. 35
  • 36. Explanation • Sponsors may include individuals as Investigators who have these financial interests but they have to explain any steps taken to minimize the potential for bias resulting from any of the disclosed arrangements, interests, or payments (21 CFR 54.4a) • FDA then decides if the steps are adequate to ensure the reliability of the study (21 CFR 54.5a) • Interestingly, there is no requirement for financial disclosure by monitors or other sponsor personnel who have the capacity to bias the data 36
  • 37. IRB Question 37
  • 38. Question FDA Regulations (21 CFR 56) specify the following: Question Keyword An IRB must be composed of five (5) members 625047 An IRB must have at least one female member 625048 If an IRB regularly reviews research involving prisoners, a 625049 prisoner representative should be included on the board An IRB member that has a conflicting interest in a project under 625076 review may not participate in the IRB's review proceedings None of the above 625077 38
  • 39. Answer FDA Regulations (21 CFR 56) specify the following: Question Keyword An IRB must be composed of five (5) members 625047 An IRB must have at least one female member 625048 If an IRB regularly reviews research involving prisoners, a 625049 prisoner representative should be included on the board An IRB member that has a conflicting interest in a project under 625076 review may not participate in the IRB's review proceedings None of the above 625077 39
  • 40. Explanation • An IRB must be composed of five (5) members – Must have at least 5 members (21 CFR 56.107a). • An IRB must have at least one female member – The FDA Regulations (21 CFR 56.107b) specify: “Every nondiscriminatory effort will be made to ensure that no IRB consists entirely of men or entirely of women, including the institution's consideration of qualified persons of both sexes, so long as no selection is made to the IRB on the basis of gender.” 40
  • 41. Explanation • If an IRB regularly reviews research involving prisoners, a prisoner representative should be included on the board – Consideration shall be given to the inclusion of one or more individuals who are knowledgeable about and experienced in working with those subjects (21 CFR 56.107a). • An IRB member that has a conflicting interest in a project under review may not participate in the IRB's review proceedings – These individuals can participate in order to provide information requested by the IRB (21 CFR 56.107e). 41
  • 42. Monitoring Question 42
  • 43. Question FDA Guidance (ICH GCP) specifies the following: Question Keyword A monitoring report should be submitted to the sponsor after 627475 each site visit or trial-related communication Monitors should not make any notations or corrections on the 627539 CRF pages Monitors should ensure that all corrections to the CRF are 627540 completed with a single line through the incorrect entry and initiated and dated by the completer Monitors should attempt to meet in person with the 627541 Investigator at every visit to discuss the progress of the trial All of the above 627542 43
  • 44. Answer FDA Guidance (ICH GCP) specifies the following: Question Keyword A monitoring report should be submitted to the sponsor 627475 after each site visit or trial-related communication Monitors should not make any notations or corrections on the 627539 CRF pages Specified in ICH 5.18.6a Monitors should ensure that all corrections to the CRF are 627540 completed with a single line through the entry and are initiated and dated by the completer Monitors should attempt to meet in person with the 627541 Investigator at every visit to discuss the progress of the trial All of the above 627542 44
  • 45. Explanation • Monitors should not make any notations or corrections on the CRF pages – Sponsors should have written procedures to assure that changes or corrections in CRFs made by sponsor's designated representatives are documented, are necessary, and are endorsed by the investigator (ICH 4.9.3). • Monitors should ensure that all corrections to the CRF are completed with a single line through the entry and are initiated and dated by the completer – Any change or correction to a CRF should be dated, initialed, and explained (if necessary) and should not obscure the original entry (ICH 4.9.3). 45
  • 46. Explanation • Monitors should attempt to meet in person with the Investigator at every visit to discuss the progress of the trial – There are several sections of ICH that address the monitors responsibility to communicate with the Investigator but the frequency of these communications is not specified (ICH 5.18.4). This is often specified in sponsor SOPs. 46
  • 47. Source Documentation Question 47
  • 48. Question FDA Regulations (21 CFR 312/812) specify the following: Question Keyword It is prohibited to use CRFs (other than questionnaires) directly 625078 as source documents Each subject’s case history should document that informed 625079 consent was obtained prior to participation in the study All source documents must be signed by the completer 625089 If a site uses electronic medical records as source documents, 625090 the EMR system must be compliant with 21 CFR part 11 All of the above 625091 48
  • 49. Answer FDA Regulations (21 CFR 312/812) specify the following: Question Keyword It is prohibited to use CRFs (other than questionnaires) directly 625078 as source documents Each subject’s case history should document that informed 625079 consent was obtained prior to participation in the study Specified in bothmust CFR 312.62bcompleter All source documents 21 be signed by the and 812.140a. 625089 “Case uses electronic medical records as source documents, If a site histories” include CRFs, signed and dated 625090 the EMR system must be compliant with 21 CFR part 11 consent forms, and medical records (physician All of the above 625091 progress notes, individual's hospital chart and the nursing notes) 49
  • 50. Explanation • It is prohibited to use CRFs (other than questionnaires) directly as source documents – There is no regulation preventing this practice or from using copies of CRFs as source documents. • All source documents must be signed by the completer – There is no requirement for this but several FDA Guidances do specify that data should be “attributable.” 50
  • 51. Explanation • If a site uses electronic medical records as source documents, the EMR system must be compliant with 21 CFR part 11 – There is currently no FDA Regulation or Guidance specifying this. However, a recent FDA Draft Guidance does indicate: “For those who use electronic signatures based upon the use of identification codes in combination with passwords, the clinical site must employ controls to ensure the security and integrity of the authorized user names and passwords (21 CFR 11.300a).” Draft Guidance on Electronic Source Documentation in Clinical Investigations (December 2010) 51
  • 52. Investigator Responsibilities Question 52
  • 53. Question FDA Guidance specifies the following: Question Keyword A Trial Delegation List should identify the training that 625092 individuals have received that qualifies them to perform delegated tasks In device studies, the field clinical engineer’s activities should be 625093 described in the protocol and informed consent (if face-to-face contact with subjects) Investigators should develop a plan for the oversight of the 625096 clinical trial that might include the creation of specific SOPs Investigators conducting studies of drugs with potentially fatal 625097 toxicity should be readily available 24 hours/day and in reasonably close proximity to study subjects All of the above 625098 53
  • 54. Answer FDA Guidance specifies the following: Question Keyword A Trial Delegation List should identify the training that 625092 individuals have received that qualifies them to perform delegated tasks In device studies, the field clinical engineer’s activities should be 625093 described in the protocol and informed consent (if face-to-face contact with subjects) Investigators should develop a plan for the oversight of the 625096 clinical trial that might include the creation of specific SOPs Investigators conducting studies of drugs with potentially fatal 625097 toxicity should be readily available 24 hours/day and in reasonably close proximity to study subjects All of the above 625098 54
  • 55. Study Records Storage Question 55
  • 56. Question FDA Regulations (21 CFR 312/812) and Guidance (ICH GCP) specify the following: Question Keyword It is the Investigator’s responsibility to inquire with the sponsor 625099 when study records no longer need to be retained In general, study records should be obtained indefinitely 625114 because it is never certain when product development will be permanently discontinued by the sponsor Sponsors should pay for the costs of records storage by 625115 Investigators For device studies, an Investigator may transfer custody of study 625116 records to anyone who will accept responsibility for them None of the above 625117 56
  • 57. Answer FDA Regulations (21 CFR 312/812) and Guidance (ICH GCP) specify the following: Question Keyword It is the Investigator’s responsibility to inquire with the sponsor 625099 when study records no longer need to be retained In general, study records should be obtained indefinitely 625114 because it is never certain when product development will be permanently discontinued by the sponsor Specified in 21 CFR 812.140e (however, there is no comparable language inrecords312) by Sponsors should pay for the costs of Investigators Part storage 625115 For device studies, an Investigator may transfer custody 625116 of study records to anyone who will accept responsibility for them None of the above 625117 57
  • 58. Explanation • It is the Investigator’s responsibility to inquire with the sponsor when study records no longer need to be retained – Per ICH 4.9.5, it is sponsor’s responsibility to do so. In addition, ICH 5.5.12, indicates: “The sponsor should inform the investigators/ institutions in writing of the need for record retention and should notify the investigators/institutions in writing when the trial related records are no longer needed.” 58
  • 59. Explanation • In general, study records should be obtained indefinitely because it is never certain when product development will be permanently discontinued by the sponsor – The FDA Regulations and ICH GCP both have criteria for retention that are well defined. The current reality is that sites and sponsors usually plan to hold onto records for many decades. 59
  • 60. Explanation • Sponsors should pay for the costs of records storage by Investigators – There is no FDA Regulation or Guidance that address this but many experienced sites now demand this as a line item in their Clinical Trial Agreements. 60
  • 61. In Conclusion Yes, you have to do That doesn’t sound it this way. It’s an right to me. Where FDA requirement. exactly is that listed in the CFR? 61
  • 62. In Conclusion Well, uh … OK, maybe it’s not a That still doesn’t regulation but it’s sound right. What what the FDA guidance document expects. is that from? 62
  • 63. In Conclusion I’m not sure but it doesn’t matter. It’s a requirement of my sponsor company. 63
  • 64. In Conclusion OK, that’s fine. Why didn’t you just say so in the first place? I’m happy to do it to satisfy your company policy. You didn’t have to use those FDA excuses to justify your request. 64
  • 65. Learning Objectives • Define Good Clinical Practice (GCP) • Differentiate between GCP requirements (stated in regulation) and recommendations (stated in guidance documents) in several key areas • Identify several circumstances where “industry best practices” exist that go above and beyond what the FDA requires or even recommends 65
  • 66. Closing Thoughts • Much of what we do in clinical research is driven by our own industry best practices and not by FDA requirements or even recommendations • It takes a serious effort to understand all of the component parts of GCP and to stay up-to-date with changes • As sponsor representatives, we often act as trainers for new site staff and they rely on us to provide accurate information 66
  • 67. Closing Thoughts • Be careful when telling an investigator site, “You have to do this because the FDA requires it” unless you are certain that it is specified by regulation – it can seem like a very heavy handed play if you are wrong 67
  • 68. Thank You • Thanks for the Northern California Chapter for the invitation to present • Thanks also to the chapter leadership for all that they do for ACRP and the local research community • Consider volunteering with the outstanding group – it is well worth the time! 68
  • 69. • Paul Below, CCRA paul@pbelow-consulting.com 612-643-5598 You are welcome to use these slides for your own internal training purposes but they remain the 69 copyrighted property of the presenter. Please contact Paul for permission to reuse.