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PHT Insights ā€” Fourth Quarter 2009
                                                Inspectors and Auditors Require Comprehensive ePRO Archives


Why the PHT ePRO Archive                                  The PHT ePRO Archive: Sophisticated Technology
Remains the Standard                                      By deļ¬nition, the PHT Study Archive is a stable record, not a live system.
                                                          It was developed by scientists trained at MIT and Stanford with assistance
and 100% Successful                                       from former FDA staff members, and is protected by several US Government
                                                          patents: 5,778,882; 6,095,985; 6,282,441; 6,440,069; 6,640, 134.
Sponsors and regulators rely on their trial archive
                                                          PHT Archive components include:
to prove that trial data are attributable and accurate;
and that the trial can be reconstructed at any            ā€¢ READ ME FIRST                                 ā€¢   Media Speciļ¬cation
time. Any omissions can risk regulatory warnings,         ā€¢ Roadmap                                       ā€¢   Trial Documentation
ļ¬ndings and possible data rejection.                      ā€¢ Archive Certiļ¬cation Letter                   ā€¢   Electronic Case Report Forms
                                                          ā€¢ Archive Certiļ¬cation Report                   ā€¢   XML Data ļ¬les
All PHT products meet the requirements of
                                                          ā€¢ Archive Orientation Letter                    ā€¢   Metadata ļ¬les
regulatory agencies including the United States
                                                          ā€¢ Security and Privacy Provisions               ā€¢   Adobe Acrobat Application
Food and Drug Administration (FDA), the European
                                                            for Sponsors                                  ā€¢   Metadata Viewer
Medicines Agency (EMEA), the European Union (EU),
                                                          ā€¢ PHT Systems and the Record                    ā€¢   SAS Viewer (as needed)
the International Conference on Harmonisation of
                                                            Keeping Requirements Under
Technical Requirements for Registration of                  21CFR312.62
Pharmaceuticals for Human Use (ICH) and the
Pharmaceuticals and Medical Devices Agency
in Japan (PMDA).
                                                                                         The PHT ePRO Archive
This issue describes the PHT ePRO Archive and
explains how and why it exceeds regulatory                                                   READ ME FIRST
requirements and industry guidelines.
                                                                  Trial Document                  Support                      Trial Data
                                                                      Archive                      Tools                        Archive
                     Contents                                 Pre-Deployment Documents            SAS Viewer
                                                                Requirements & Other
                                                                                               Meta Data Viewer                    eCRFs
  The PHT ePRO Archive Contents                 p.1             Speciļ¬cations
                                                                  ā€¢ LogPad Requirements     Adobe Acrobat Reader 5.0             XML Data
  How the PHT Archive Enables Full Trial        p.2               ā€¢ Speciļ¬cation
                                                                                                                                 Metadata
  Reconstruction                                               Trial System Validation
                                                               Documents
  PHT Experience with Site Investigations       p.3              ā€¢ Validation Plan             The Study
                                                               Important Forms & Lists                                 eClinical Trial Data
  New FDA Guidance for Investigators            p.3              ā€¢ Electronic Signature          Archive               (raw data on server)
                                                                 ā€¢ Agreements
                                                                                                                       Clinical: Subject diaries
  How the PHT Archive Would Have Prevented      p.4            User Documentation              is a stable             Operational: Battery level/
  Recent FDA Warning Letters                                    ā€¢ LP Quick Reference
                                                                                                                         time zones
                                                                  Guide                          record,
  How PHT Helps Sites Fulļ¬ll Their Regulatory   p.5             ā€¢ Site Manual                                          Administration: Users,
  Responsibilities                                             Post Deployment                  not a live               roles privileges
                                                               Documents                                               Metadata: Deļ¬nition of data
  Should You Purchase FDA Guidance              p.5             ā€¢ Data Change
                                                                  Authorizations
                                                                                                 system.
  Documents?                                                    ā€¢ Final Data Transfer

  More PHT Archive Details                      p.6
2
PHT Insights ā€“ Second Quarter 2009
Inspectors and Auditors Require Comprehensive ePRO Archives




Interview with Nancy Carlson
PHT Quality Documentation Manager


How the PHT Archive Enables Full Trial Reconstruction
                            Nancy Carlson joined PHT in 2003.
                            Together with Richard LaFleur who
                            was then PHTā€™s Director of Quality
                            Compliance and Stephen Raymond,
                            Ph.D, PHTā€™s Founder, Chief Scientiļ¬c
                            and Quality Ofļ¬cer, Nancy developed
                            the standards and reporting functions
                            for the PHT Archive which enable every
                            sponsor and CRO to reconstruct their
                            respective trial.

What is included in the PHT Archive?
The PHT Archive features a data section and a document
section; and clearly demonstrates that the trial data collection
and preservation process was secure, approved, designed,
and validated in compliance with GCP1, 21 CFR Part 112, HIPAA3,
and other personal data collection rights, as afļ¬rmed in the
Universal Declaration of Human Rights ā€“ Article 12, and the
Convention for the Protection of Human Rights and
Fundamental Freedoms ā€“ Article 8; and able to pass
all FDA and international regulatory inspection.

What is the PHT Archive Data Section?
The data section of the PHT Archive includes the eSource data         What is the PHT Archive Documentation Section?
collected from patients in native (XML) format, certiļ¬ed as a         The documentation section of the PHT Archive includes all trial
true copy of the original trial database. XML is only ā€œhuman-         documents and document standards, so that the Archive is
readableā€ format meaning that people ļ¬‚uent in the language            able to pass all FDA and international regulatory inspection.
can read it as text instead of binary code. It can be confusing to    The PHT Archive includes a ā€œā€¦copy of original information that
the layperson, but examples include                                   has been veriļ¬ed, as indicated by dated signature, as an exact
  XML format                 English Translation                      copy having all of the same attributes and information as the
  SUChangedIn krPT=          ā€œLPPT23.12438.2ā€                         originalā€4 so it can be used as an aid in study reconstruction.
  krSU=                      ā€œAssignmentā€                             What is your current role?
  krSE=                      ā€œLogPadā€
  krPROT=                    ā€œV1ā€                                     As Quality Documentation Manager, Iā€™m responsible for
                                                                      ensuring the all of PHTā€™s policies and standard operating
The PHT Archive includes a second data presentation - electronic      procedures are documented and approved, that those
Case Report Forms (eCRF). eCRF-formatted data are reviewable          documents are reviewed on schedule and revised as needed,
in the StudyWorksā„¢ (PHT portal) forms format, with a complete         and that PHTā€™s employees comply with those policies and
audit trial for each form/ļ¬eld entry. All eCRF data collected for a   procedures. I continuously audit core product and trial
patient are combined in a single PDF ļ¬le (readable with Acrobat       documentation to assess compliance with approved procedures.
Reader). Because the patient eCRF PDFs are generated from             As the ļ¬nal reviewer of all PHT Archives immediately prior to
the certiļ¬ed XML, they are also a true copy the original trial        shipment, I enforce the compliance standards that I created in
database ā€“ a regulatory requirement.                                  my prior position as Archive Project Manager.
3
PHT Insights ā€“ Second Quarter 2009
Inspectors and Auditors Require Comprehensive ePRO Archives




                                                                                               PHT Experience with Site Inspections
Interview with Nancy Carlson, continued
                                                                                               PHT Quality Assurance representatives and archive specialists
                                                                                               stand ready to help sites who face regulatory inspections.
                                                                                               Such inspections are scheduled, and it can be valuable to site
How quickly is an archive delivered to the sponsor or CRO?
                                                                                               investigators (and sponsors) to have PHT consults available
The PHT Statement of Work signed by PHT and the Sponsor or                                     during inspections.
CRO states that PHT will deliver the Archive within 90 days of
signed (sponsor) acceptance of the ļ¬nal data transfer.                                         Here are the facts:
                                                                                               ā€¢ PHT experts have been on call for more than ten site inspections
Why do some ePRO vendors require sponsors or CROs to                                             since January 2008, where the PHT ePRO System had provided
maintain the server that contains their archiveā€¦ and not PHT?                                    Primary Endpoint Data in support of a NDA.
Itā€™s curious why other ePRO vendors would require sponsors                                     ā€¢ Therapeutic areas included pain, respiratory and
or CROs to maintain an active server, since the study archive is                                 sleep disorders.
static, not ļ¬‚uid.
                                                                                               ā€¢ PHT has never been asked during any inspection to provide
The PHT Archive is delivered on DVDs for sponsors and CROs                                       a document that is not part of the current PHT Archive.
and CDs for investigator sites. The sponsor and CRO receive all
                                                                                               Site endpoint data collection inspections are common among
trial documentation and the data from all investigator sites.
                                                                                               domestic and international FDA inspectors. PHT experts
Each site receives its own data only, and a subset of the trial                                remain available to support such inspections.
documentation. All recipients are advised of the applicable
record retention requirements, and PHT retains copies of all
sponsor and CRO and investigator sites archives in a secure
off-site storage facility.
                                                                                               New FDA Guidance for Investigator
WARNING: If the sponsor or investigator sites have not backed
up their archive onto a server and they canā€™t locate the media                                 Responsibilities
copy due to misļ¬ling or personnel turnover, they are likely to
                                                                                               An updated FDA Guidance entitled ā€˜Guidance for Industry:
be out of compliance with record retention regulations. For
                                                                                               Investigator Responsibilities ā€” Protecting the Rights, Safety,
a fee, PHT will replace lost archives, but immediate access to
                                                                                               and Welfare of Study Subjectsā€™ was published in October
trial data is delayed.
                                                                                               2009. This is a supplement, rather than a replacement, of
What changes do you anticipate within the future of clinical                                   responsibilities found in 21 C.F.R. Ā§312 and 21 C.F.R. Ā§812.
trial archives?                                                                                This Guidance was originally released as draft in May 2007.
                                                                                               This is the ļ¬nal version.
Future content enhancements to the PHT Archive will mostly be
driven by expansion of the regulatory requirements for designing                               Full text available at http://www.fda.gov/RegulatoryInforma-
the computerized systems used in clinical investigations, with                                 tion/Guidances/ucm127697.htm
ongoing feedback from the FDA and PHTā€™s broad customer base.                                   Two statements worth noting:
                                                                                               ā€¢ Investigators ā€œshould be particularly cautious where
                                                                                                 documentation needed to comply with the investigatorā€™s
                                                                                                 regulatory responsibilities is developed and maintained by
1
 Good Clinical Practice as deļ¬ned by the US FDA. http://www.fda.gov/ScienceResearch/
SpecialTopics/RunningClinicalTrials/default.htm                                                  [site management organization (SMO)] staff (e.g., source
2
 US FDA, US Department of Health and Human Services, CHAPTER I--FOOD AND DRUG                    documents, case report forms, drug storage and account-
ADMINISTRATION, TITLE 21--FOOD AND DRUGS, SUBCHAPTER Aā€”GENERAL, PART 11                          ability records, institutional review board correspondence).
Electronic Records: Electronic Signatures. http://www.accessdata.fda.gov/scripts/cdrh/
cfdocs/cfcfr/CFRSearch.cfm?CFRPart=11                                                            A sponsor who retains an SMO shares responsibility for the
3
 The Health Insurance Portability and Accountability Act of 1996 (HIPAA) Privacy Rule by the     quality of the work performed by the SMO.ā€
U.S. Department of Health & Human Services. http://www.hhs.gov/ocr/privacy/
                                                                                               ā€¢ Investigators should be available to subjects during studies by
4
 Guidance for Industry: Computerized Systems Used in Clinical Investigations, U.S.
Department of Health and Human Services, Food and Drug Administration (FDA), Ofļ¬ce of            phone or other electronic communications. Contact should
the Commissioner (OC). May 2007 www.fda.gov/OHRMS/DOCKETS/98fr/04d-0440-gdl0002.pdf              be available ā€œ24 hours a day.ā€
4
PHT Insights ā€“ Second Quarter 2009
Inspectors and Auditors Require Comprehensive ePRO Archives




Recent FDA Warning Lettersā€¦
and How the PHT Archive Would Have Prevented These Letters
There were two warning letters against sites that speciļ¬cally concerned patient eDiary data. PHT was not the
ePRO vendor in either case. The PHT Archive would have satisļ¬ed the conditions leading to the warning in both
cases, and would have made the warnings unnecessary.


9-April-2009 Warning Letter                                         20-April-2009 Warning Letter
ā€˜Two diaries were present which recorded the number and             ā€˜The electronic eDiary information for Subject 3511-007 was
severity of [(b)(4)] between the periods of June 14 and June 21,    not retrieved in a timely manner, such that the information was
2006. It is unclear why the subject completed two diaries for       not available for review during the FDA inspection. A Note to
this period of time. Furthermore, these two diaries are not in      File, dated March 1, 2007, indicates that missing data from
agreement with each other in terms of number and severity of        November 1, 2006 to December 4, 2006 was not available
[(b)(4)]. Two CRFs were completed to report these [(b)(4)]. These   due to the failure of the study coordinator to print the eDiary
CRFs were not in agreement with each other, and one of the          readings from the website, which was later rendered inacces-
CRFs did not agree with the data reported in either eDiary. In      sible. Nonetheless, as clinical investigator, you are required
addition, a handwritten log of [(b)(4)] that did not agree with     to maintain adequate and accurate study records. We note
either CRF in number or severity was observed in the subjectā€™s      that you did not speciļ¬cally address this observation in your
records. These multiple discrepancies make it impossible to         response letters.ā€™
determine the actual number/severity of [(b)(4)] experienced by
this subject.ā€™                                                      Full text available at http://www.fda.gov/foi/warning_letters/
                                                                    s7168c.pdf
ā€˜The FDA investigatorā€™s review of the electronic CRFs (eCRFs)
for the {xxx} study revealed discrepancies. When the FDA            How the PHT Archive Would Have Resolved these Issues:
investigator requested hard copies of the eCRFs, you were
                                                                    1. The PHT web portal (StudyWorks) is available via the Internet
unable to provide copies of the eCRFs. Your study coordinator
                                                                       for every study until database lock, when access is cut off so no
informed our investigator that the eCRFs were maintained by
                                                                       further changes can be made during archive generation.
another ļ¬rm and that you had no access to that eCRF database.
Accordingly, you could not show that you prepared and               ā€¢ Read-only access CAN be granted upon request.
maintained adequate and accurate case histories.ā€™
                                                                    ā€¢ Once the archive is delivered to the site, access to the website
Full Text available at http://www.fda.gov/foi/warning_letters/        is no longer necessary because the site has all of source data
s7158c.pdf                                                            pertaining to the subjects of
                                                                      that site.
How the PHT Archive would have solved this problem:
1. Each PHT eEDiary is assigned to one trial subject.               2. The PHT Archive supports
                                                                      study data and contextual
ā€¢ The eCRFā€™s in the PHT Archive are generated from the source         retention for mandated
  data and include an audit trail.                                    periods.

ā€¢ Sequence controls prevent multiple eDiaries appearing for
  the same date if the protocol and requirements design for the
  study stipulate that only one eEDiary is to be done for a
  given day by any one subject.
5
PHT Insights ā€“ Fourth Quarter 2009
Inspectors and Auditors Require Comprehensive ePRO Archives




Interview with Steve Raymond, Ph.D.
PHT Founder, Chief Scientiļ¬c and Quality Ofļ¬cer


How PHT ePRO Systems Help Site Personnel Fulļ¬ll Their Regulatory Responsibilities
                            Are regulatory inspections of sites       PHT provides PIs with proof of ePRO report and monitoring via
                            on the upswing?                           reports from the PHT web portal (StudyWorks). Further, PHT
                           Yes! The increase in regulatory            includes messages within device shipments which remind each
                           scrutiny at the site level is a real and   site of the importance of using the PHT system to fulļ¬ll their
                           important trend.                           regulatory responsibilities. This last element ā€” encouraging
                                                                      the sites to use StudyWorks so that they will have evidence of
                           Why do you suppose regulatory              fulļ¬lling their obligation to ā€œprepareā€ and ā€œmaintainā€ ā€” arguably
                           inspections are increasing?                exceeds the formal obligation of a technology provider.
                          Increasing emphasis on the scrutiny of      PHT provides guidance and proof beyond that which is currently
ePRO collected at sites appears to have the effect the regulatory     required by the global regulatory agencies. The capacity of the
scientists want: It makes subjects more compliant with eDiary         PHT ePRO system to support site review is a regulatory requirement,
completion, which in turn increases the amount of data and            and most providers will have some way of supporting this.
strengthens the conclusiveness of a trial.                            But the cumulative encouragement and support to each site
                                                                      for performing their own obligation with ease of access, data
What is the responsibility of an ePRO provider to each site           summaries, reminders, emphasis and training at Investigator
that collects primary or secondary endpoint data for claim            Meetings, content of the Study Support Guide, and other site
submission?                                                           materials are above and beyond current requirements.
It is the essential duty of every ePRO provider to ensure that
every site has the capacity to access the web portal, that their      NOTE: PHT Quality Assurance representatives and archive
connections are functional, and that they have a valid login that     specialists stand ready to help sites who face regulatory
is secure.                                                            inspections. Such inspections are scheduled, and it can be
                                                                      valuable to site investigators (and sponsors) to have PHT
What is the regulatory responsibility of each siteā€™s                  consults during inspections.
Principal Investigator?
Each Siteā€™s Principal Investigator (PI) is required by regulatory
authorities to prove that they ā€œprepareā€ and ā€œmaintainā€ eDiary
records; that they are actively monitoring and reviewing the              Is it Necessary to Purchase FDA Guideline Documents?
ePRO portion of each subjectā€™s participation.                             The short answer is NO!
Compare this to the historical days of using paper diaries: it is         Various for-proļ¬t organizations are selling products
unlikely that proof of review ā€” preparation and maintenance of            purported to help sponsors and CROs create formal
diary records ā€” was anywhere near as compelling as it now is              processes to quickly address and solve FDA violations.
with ePRO. Verifying site review of paper diaries was probably            Documents entitled ā€˜FDA Inspectionsā€™, ā€˜FDA Inspections
not an important part of regulatory inspections because the paper         of Clinical Sitesā€™, ā€˜FDA Inspections of Sponsor Sitesā€™
diary was usually not central to the objectives of the trials.            and ā€˜FDA Warning Lettersā€™ are being aggressively
How can PIs prove that they are actively monitoring and                   marketed as to reduce your companyā€™s risk and
reviewing the ePRO data?                                                  jeopardy with regulatory agencies.
One method of proof would be for the PI or site personnel to              The Investigations Operations Manual is available at
print out the eCRFs of the subjectsā€™ diaries, and sign them. This         no charge on the FDA website: http://www.fda.gov/
is considered very conservative and impractical. Another proof            ICECI/Inspections/IOM/default.htm
method would be for either to generate a report that shows the
history of their usage of the web portal.
6




Need More Detailed PHT Archive Information?
Contact your PHT
Account Executive for
more comprehensive
information
Value of eSignatures.
ā€¢ What happens when an Inspector ļ¬nds an eCRF of a
  primary efļ¬cacy questionnaire completed by a subject
  that was supposed to have been completed by an
  examiner at the site?

Common and avoidable missteps
by site personnel.                                                    Electronic Patient Reported Outcome
ā€¢ CRF issues, training circumstances, and the regulatory              (ePRO) Solutions
  need for an extensive Site Reference Manual.                        LogPad System
                                                                      SitePad Tablet
Call: 1-877-360-2910
                                                                      StudyWorks
                                                                      eSenseā„¢ Sensors
                                                                      ePRO Designer
                                                                      Study Archive
                                                                      PROVision Scientiļ¬c Services
                                                                      Trial Success Programā„¢ (TSP)
                                                                      PHT System Support Center
                                                                      Scientiļ¬c Review and Validation
                                                                      Site Telecom Assessments
                                                                      Technology Transfer



PHT SitePad Tablet ā€“ The mobile touch-screen PC tablet for                PHT LogPadĀ® ā€“ The mobile
ePRO collected at sites                                                  Hand Held for home eDiaries




PHT Corporation                                              info@phtcorp.com
500 Rutherford Avenue                                        www.phtcorp.com
Boston, MA 02129 USA                                         Copyright Ā© 2009 PHT Corporation   Rev 12.09.8

Toll-Free: 877-360-2901

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ePRO Archives

  • 1. PHT Insights ā€” Fourth Quarter 2009 Inspectors and Auditors Require Comprehensive ePRO Archives Why the PHT ePRO Archive The PHT ePRO Archive: Sophisticated Technology Remains the Standard By deļ¬nition, the PHT Study Archive is a stable record, not a live system. It was developed by scientists trained at MIT and Stanford with assistance and 100% Successful from former FDA staff members, and is protected by several US Government patents: 5,778,882; 6,095,985; 6,282,441; 6,440,069; 6,640, 134. Sponsors and regulators rely on their trial archive PHT Archive components include: to prove that trial data are attributable and accurate; and that the trial can be reconstructed at any ā€¢ READ ME FIRST ā€¢ Media Speciļ¬cation time. Any omissions can risk regulatory warnings, ā€¢ Roadmap ā€¢ Trial Documentation ļ¬ndings and possible data rejection. ā€¢ Archive Certiļ¬cation Letter ā€¢ Electronic Case Report Forms ā€¢ Archive Certiļ¬cation Report ā€¢ XML Data ļ¬les All PHT products meet the requirements of ā€¢ Archive Orientation Letter ā€¢ Metadata ļ¬les regulatory agencies including the United States ā€¢ Security and Privacy Provisions ā€¢ Adobe Acrobat Application Food and Drug Administration (FDA), the European for Sponsors ā€¢ Metadata Viewer Medicines Agency (EMEA), the European Union (EU), ā€¢ PHT Systems and the Record ā€¢ SAS Viewer (as needed) the International Conference on Harmonisation of Keeping Requirements Under Technical Requirements for Registration of 21CFR312.62 Pharmaceuticals for Human Use (ICH) and the Pharmaceuticals and Medical Devices Agency in Japan (PMDA). The PHT ePRO Archive This issue describes the PHT ePRO Archive and explains how and why it exceeds regulatory READ ME FIRST requirements and industry guidelines. Trial Document Support Trial Data Archive Tools Archive Contents Pre-Deployment Documents SAS Viewer Requirements & Other Meta Data Viewer eCRFs The PHT ePRO Archive Contents p.1 Speciļ¬cations ā€¢ LogPad Requirements Adobe Acrobat Reader 5.0 XML Data How the PHT Archive Enables Full Trial p.2 ā€¢ Speciļ¬cation Metadata Reconstruction Trial System Validation Documents PHT Experience with Site Investigations p.3 ā€¢ Validation Plan The Study Important Forms & Lists eClinical Trial Data New FDA Guidance for Investigators p.3 ā€¢ Electronic Signature Archive (raw data on server) ā€¢ Agreements Clinical: Subject diaries How the PHT Archive Would Have Prevented p.4 User Documentation is a stable Operational: Battery level/ Recent FDA Warning Letters ā€¢ LP Quick Reference time zones Guide record, How PHT Helps Sites Fulļ¬ll Their Regulatory p.5 ā€¢ Site Manual Administration: Users, Responsibilities Post Deployment not a live roles privileges Documents Metadata: Deļ¬nition of data Should You Purchase FDA Guidance p.5 ā€¢ Data Change Authorizations system. Documents? ā€¢ Final Data Transfer More PHT Archive Details p.6
  • 2. 2 PHT Insights ā€“ Second Quarter 2009 Inspectors and Auditors Require Comprehensive ePRO Archives Interview with Nancy Carlson PHT Quality Documentation Manager How the PHT Archive Enables Full Trial Reconstruction Nancy Carlson joined PHT in 2003. Together with Richard LaFleur who was then PHTā€™s Director of Quality Compliance and Stephen Raymond, Ph.D, PHTā€™s Founder, Chief Scientiļ¬c and Quality Ofļ¬cer, Nancy developed the standards and reporting functions for the PHT Archive which enable every sponsor and CRO to reconstruct their respective trial. What is included in the PHT Archive? The PHT Archive features a data section and a document section; and clearly demonstrates that the trial data collection and preservation process was secure, approved, designed, and validated in compliance with GCP1, 21 CFR Part 112, HIPAA3, and other personal data collection rights, as afļ¬rmed in the Universal Declaration of Human Rights ā€“ Article 12, and the Convention for the Protection of Human Rights and Fundamental Freedoms ā€“ Article 8; and able to pass all FDA and international regulatory inspection. What is the PHT Archive Data Section? The data section of the PHT Archive includes the eSource data What is the PHT Archive Documentation Section? collected from patients in native (XML) format, certiļ¬ed as a The documentation section of the PHT Archive includes all trial true copy of the original trial database. XML is only ā€œhuman- documents and document standards, so that the Archive is readableā€ format meaning that people ļ¬‚uent in the language able to pass all FDA and international regulatory inspection. can read it as text instead of binary code. It can be confusing to The PHT Archive includes a ā€œā€¦copy of original information that the layperson, but examples include has been veriļ¬ed, as indicated by dated signature, as an exact XML format English Translation copy having all of the same attributes and information as the SUChangedIn krPT= ā€œLPPT23.12438.2ā€ originalā€4 so it can be used as an aid in study reconstruction. krSU= ā€œAssignmentā€ What is your current role? krSE= ā€œLogPadā€ krPROT= ā€œV1ā€ As Quality Documentation Manager, Iā€™m responsible for ensuring the all of PHTā€™s policies and standard operating The PHT Archive includes a second data presentation - electronic procedures are documented and approved, that those Case Report Forms (eCRF). eCRF-formatted data are reviewable documents are reviewed on schedule and revised as needed, in the StudyWorksā„¢ (PHT portal) forms format, with a complete and that PHTā€™s employees comply with those policies and audit trial for each form/ļ¬eld entry. All eCRF data collected for a procedures. I continuously audit core product and trial patient are combined in a single PDF ļ¬le (readable with Acrobat documentation to assess compliance with approved procedures. Reader). Because the patient eCRF PDFs are generated from As the ļ¬nal reviewer of all PHT Archives immediately prior to the certiļ¬ed XML, they are also a true copy the original trial shipment, I enforce the compliance standards that I created in database ā€“ a regulatory requirement. my prior position as Archive Project Manager.
  • 3. 3 PHT Insights ā€“ Second Quarter 2009 Inspectors and Auditors Require Comprehensive ePRO Archives PHT Experience with Site Inspections Interview with Nancy Carlson, continued PHT Quality Assurance representatives and archive specialists stand ready to help sites who face regulatory inspections. Such inspections are scheduled, and it can be valuable to site How quickly is an archive delivered to the sponsor or CRO? investigators (and sponsors) to have PHT consults available The PHT Statement of Work signed by PHT and the Sponsor or during inspections. CRO states that PHT will deliver the Archive within 90 days of signed (sponsor) acceptance of the ļ¬nal data transfer. Here are the facts: ā€¢ PHT experts have been on call for more than ten site inspections Why do some ePRO vendors require sponsors or CROs to since January 2008, where the PHT ePRO System had provided maintain the server that contains their archiveā€¦ and not PHT? Primary Endpoint Data in support of a NDA. Itā€™s curious why other ePRO vendors would require sponsors ā€¢ Therapeutic areas included pain, respiratory and or CROs to maintain an active server, since the study archive is sleep disorders. static, not ļ¬‚uid. ā€¢ PHT has never been asked during any inspection to provide The PHT Archive is delivered on DVDs for sponsors and CROs a document that is not part of the current PHT Archive. and CDs for investigator sites. The sponsor and CRO receive all Site endpoint data collection inspections are common among trial documentation and the data from all investigator sites. domestic and international FDA inspectors. PHT experts Each site receives its own data only, and a subset of the trial remain available to support such inspections. documentation. All recipients are advised of the applicable record retention requirements, and PHT retains copies of all sponsor and CRO and investigator sites archives in a secure off-site storage facility. New FDA Guidance for Investigator WARNING: If the sponsor or investigator sites have not backed up their archive onto a server and they canā€™t locate the media Responsibilities copy due to misļ¬ling or personnel turnover, they are likely to An updated FDA Guidance entitled ā€˜Guidance for Industry: be out of compliance with record retention regulations. For Investigator Responsibilities ā€” Protecting the Rights, Safety, a fee, PHT will replace lost archives, but immediate access to and Welfare of Study Subjectsā€™ was published in October trial data is delayed. 2009. This is a supplement, rather than a replacement, of What changes do you anticipate within the future of clinical responsibilities found in 21 C.F.R. Ā§312 and 21 C.F.R. Ā§812. trial archives? This Guidance was originally released as draft in May 2007. This is the ļ¬nal version. Future content enhancements to the PHT Archive will mostly be driven by expansion of the regulatory requirements for designing Full text available at http://www.fda.gov/RegulatoryInforma- the computerized systems used in clinical investigations, with tion/Guidances/ucm127697.htm ongoing feedback from the FDA and PHTā€™s broad customer base. Two statements worth noting: ā€¢ Investigators ā€œshould be particularly cautious where documentation needed to comply with the investigatorā€™s regulatory responsibilities is developed and maintained by 1 Good Clinical Practice as deļ¬ned by the US FDA. http://www.fda.gov/ScienceResearch/ SpecialTopics/RunningClinicalTrials/default.htm [site management organization (SMO)] staff (e.g., source 2 US FDA, US Department of Health and Human Services, CHAPTER I--FOOD AND DRUG documents, case report forms, drug storage and account- ADMINISTRATION, TITLE 21--FOOD AND DRUGS, SUBCHAPTER Aā€”GENERAL, PART 11 ability records, institutional review board correspondence). Electronic Records: Electronic Signatures. http://www.accessdata.fda.gov/scripts/cdrh/ cfdocs/cfcfr/CFRSearch.cfm?CFRPart=11 A sponsor who retains an SMO shares responsibility for the 3 The Health Insurance Portability and Accountability Act of 1996 (HIPAA) Privacy Rule by the quality of the work performed by the SMO.ā€ U.S. Department of Health & Human Services. http://www.hhs.gov/ocr/privacy/ ā€¢ Investigators should be available to subjects during studies by 4 Guidance for Industry: Computerized Systems Used in Clinical Investigations, U.S. Department of Health and Human Services, Food and Drug Administration (FDA), Ofļ¬ce of phone or other electronic communications. Contact should the Commissioner (OC). May 2007 www.fda.gov/OHRMS/DOCKETS/98fr/04d-0440-gdl0002.pdf be available ā€œ24 hours a day.ā€
  • 4. 4 PHT Insights ā€“ Second Quarter 2009 Inspectors and Auditors Require Comprehensive ePRO Archives Recent FDA Warning Lettersā€¦ and How the PHT Archive Would Have Prevented These Letters There were two warning letters against sites that speciļ¬cally concerned patient eDiary data. PHT was not the ePRO vendor in either case. The PHT Archive would have satisļ¬ed the conditions leading to the warning in both cases, and would have made the warnings unnecessary. 9-April-2009 Warning Letter 20-April-2009 Warning Letter ā€˜Two diaries were present which recorded the number and ā€˜The electronic eDiary information for Subject 3511-007 was severity of [(b)(4)] between the periods of June 14 and June 21, not retrieved in a timely manner, such that the information was 2006. It is unclear why the subject completed two diaries for not available for review during the FDA inspection. A Note to this period of time. Furthermore, these two diaries are not in File, dated March 1, 2007, indicates that missing data from agreement with each other in terms of number and severity of November 1, 2006 to December 4, 2006 was not available [(b)(4)]. Two CRFs were completed to report these [(b)(4)]. These due to the failure of the study coordinator to print the eDiary CRFs were not in agreement with each other, and one of the readings from the website, which was later rendered inacces- CRFs did not agree with the data reported in either eDiary. In sible. Nonetheless, as clinical investigator, you are required addition, a handwritten log of [(b)(4)] that did not agree with to maintain adequate and accurate study records. We note either CRF in number or severity was observed in the subjectā€™s that you did not speciļ¬cally address this observation in your records. These multiple discrepancies make it impossible to response letters.ā€™ determine the actual number/severity of [(b)(4)] experienced by this subject.ā€™ Full text available at http://www.fda.gov/foi/warning_letters/ s7168c.pdf ā€˜The FDA investigatorā€™s review of the electronic CRFs (eCRFs) for the {xxx} study revealed discrepancies. When the FDA How the PHT Archive Would Have Resolved these Issues: investigator requested hard copies of the eCRFs, you were 1. The PHT web portal (StudyWorks) is available via the Internet unable to provide copies of the eCRFs. Your study coordinator for every study until database lock, when access is cut off so no informed our investigator that the eCRFs were maintained by further changes can be made during archive generation. another ļ¬rm and that you had no access to that eCRF database. Accordingly, you could not show that you prepared and ā€¢ Read-only access CAN be granted upon request. maintained adequate and accurate case histories.ā€™ ā€¢ Once the archive is delivered to the site, access to the website Full Text available at http://www.fda.gov/foi/warning_letters/ is no longer necessary because the site has all of source data s7158c.pdf pertaining to the subjects of that site. How the PHT Archive would have solved this problem: 1. Each PHT eEDiary is assigned to one trial subject. 2. The PHT Archive supports study data and contextual ā€¢ The eCRFā€™s in the PHT Archive are generated from the source retention for mandated data and include an audit trail. periods. ā€¢ Sequence controls prevent multiple eDiaries appearing for the same date if the protocol and requirements design for the study stipulate that only one eEDiary is to be done for a given day by any one subject.
  • 5. 5 PHT Insights ā€“ Fourth Quarter 2009 Inspectors and Auditors Require Comprehensive ePRO Archives Interview with Steve Raymond, Ph.D. PHT Founder, Chief Scientiļ¬c and Quality Ofļ¬cer How PHT ePRO Systems Help Site Personnel Fulļ¬ll Their Regulatory Responsibilities Are regulatory inspections of sites PHT provides PIs with proof of ePRO report and monitoring via on the upswing? reports from the PHT web portal (StudyWorks). Further, PHT Yes! The increase in regulatory includes messages within device shipments which remind each scrutiny at the site level is a real and site of the importance of using the PHT system to fulļ¬ll their important trend. regulatory responsibilities. This last element ā€” encouraging the sites to use StudyWorks so that they will have evidence of Why do you suppose regulatory fulļ¬lling their obligation to ā€œprepareā€ and ā€œmaintainā€ ā€” arguably inspections are increasing? exceeds the formal obligation of a technology provider. Increasing emphasis on the scrutiny of PHT provides guidance and proof beyond that which is currently ePRO collected at sites appears to have the effect the regulatory required by the global regulatory agencies. The capacity of the scientists want: It makes subjects more compliant with eDiary PHT ePRO system to support site review is a regulatory requirement, completion, which in turn increases the amount of data and and most providers will have some way of supporting this. strengthens the conclusiveness of a trial. But the cumulative encouragement and support to each site for performing their own obligation with ease of access, data What is the responsibility of an ePRO provider to each site summaries, reminders, emphasis and training at Investigator that collects primary or secondary endpoint data for claim Meetings, content of the Study Support Guide, and other site submission? materials are above and beyond current requirements. It is the essential duty of every ePRO provider to ensure that every site has the capacity to access the web portal, that their NOTE: PHT Quality Assurance representatives and archive connections are functional, and that they have a valid login that specialists stand ready to help sites who face regulatory is secure. inspections. Such inspections are scheduled, and it can be valuable to site investigators (and sponsors) to have PHT What is the regulatory responsibility of each siteā€™s consults during inspections. Principal Investigator? Each Siteā€™s Principal Investigator (PI) is required by regulatory authorities to prove that they ā€œprepareā€ and ā€œmaintainā€ eDiary records; that they are actively monitoring and reviewing the Is it Necessary to Purchase FDA Guideline Documents? ePRO portion of each subjectā€™s participation. The short answer is NO! Compare this to the historical days of using paper diaries: it is Various for-proļ¬t organizations are selling products unlikely that proof of review ā€” preparation and maintenance of purported to help sponsors and CROs create formal diary records ā€” was anywhere near as compelling as it now is processes to quickly address and solve FDA violations. with ePRO. Verifying site review of paper diaries was probably Documents entitled ā€˜FDA Inspectionsā€™, ā€˜FDA Inspections not an important part of regulatory inspections because the paper of Clinical Sitesā€™, ā€˜FDA Inspections of Sponsor Sitesā€™ diary was usually not central to the objectives of the trials. and ā€˜FDA Warning Lettersā€™ are being aggressively How can PIs prove that they are actively monitoring and marketed as to reduce your companyā€™s risk and reviewing the ePRO data? jeopardy with regulatory agencies. One method of proof would be for the PI or site personnel to The Investigations Operations Manual is available at print out the eCRFs of the subjectsā€™ diaries, and sign them. This no charge on the FDA website: http://www.fda.gov/ is considered very conservative and impractical. Another proof ICECI/Inspections/IOM/default.htm method would be for either to generate a report that shows the history of their usage of the web portal.
  • 6. 6 Need More Detailed PHT Archive Information? Contact your PHT Account Executive for more comprehensive information Value of eSignatures. ā€¢ What happens when an Inspector ļ¬nds an eCRF of a primary efļ¬cacy questionnaire completed by a subject that was supposed to have been completed by an examiner at the site? Common and avoidable missteps by site personnel. Electronic Patient Reported Outcome ā€¢ CRF issues, training circumstances, and the regulatory (ePRO) Solutions need for an extensive Site Reference Manual. LogPad System SitePad Tablet Call: 1-877-360-2910 StudyWorks eSenseā„¢ Sensors ePRO Designer Study Archive PROVision Scientiļ¬c Services Trial Success Programā„¢ (TSP) PHT System Support Center Scientiļ¬c Review and Validation Site Telecom Assessments Technology Transfer PHT SitePad Tablet ā€“ The mobile touch-screen PC tablet for PHT LogPadĀ® ā€“ The mobile ePRO collected at sites Hand Held for home eDiaries PHT Corporation info@phtcorp.com 500 Rutherford Avenue www.phtcorp.com Boston, MA 02129 USA Copyright Ā© 2009 PHT Corporation Rev 12.09.8 Toll-Free: 877-360-2901