Protocol Submission Requirements Introduction



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Protocol Submission Requirements

Introduction

All protocols must meet the criteria required under federal regulations 45 CFR 46.111. It is the IRB’s responsibility to assure that approved protocols meet these criteria. The submission of a new or continuing protocol or amendment to a protocol for IRB review requires the submission of a completed application or amendment form, all relevant consent/assent documents, and all other study documents via the iRIS system.


Definitions

Privacy refers to a person’s desire to control the access of others to themselves. For example, a person may not wish to be seen entering a place that might stigmatize them, such as a pregnancy counseling center.
Confidentiality refers to how the participant’s identifiable private information (data) will be handled, managed and disseminated. This is not to be confused with anonymity, which is the quality or state of data that does not include names or other identifiers that could be linked to a subject’s identity.
Minimal risk means that the probability and magnitude of harm or discomfort anticipated in the research are not greater in and of themselves than those ordinarily encountered in daily life or during the performance of routine physical or psychological examinations or tests. 45 CFR 46.102(i)
Policy

Research Protocol

The research protocol describes the study and is used by the IRB to assess the ethical merits of the proposed study.


All of the following documents have to be submitted to the IRB via the iRIS Electronic Application System. Required information in the protocol includes:

  • Protocol application

  • Introduction/background

  • Justification/rationale/significance of the study

  • Purpose, including specific aims and/or hypotheses

  • Study design including population to be studied, recruitment procedures and available resources

    • Upload and attach all study documents connected to the protocol (i.e., letter(s) of cooperation, data collection documents, data use agreements, etc.)

    • Upload and attach all recruitment documents (i.e., scripts, flyers, postcards, emails, etc.)

  • Plan for obtaining informed consent, parental permission, and/or assent

    • Upload and attach all consent, parental permission, and/or assent documents

  • Risks and discomforts to subjects and how they will be minimized

  • Subject privacy and data confidentiality

  • Data analysis plan

  • If applicable:

    • Benefits to subjects

    • Costs to the subject

    • Payment to the subjects (include both reimbursement and incentives)

    • Alternative(s) to participation

    • Provisions for subjects from vulnerable populations

    • References/Citations

    • Plans, if any, for follow-up of the subjects at the end of the protocol

    • An uploaded and attached copy of a federal grant application(s). Non-federal grant applications do not have to be uploaded and attached.

The IRB encourages the use of tables and flowcharts when they make the protocol easier to understand. The protocol should include a selective list of references that are related to the protocol. A lengthy list of references is not necessary.


Detailed Protocol Requirements

  1. Purpose, Including Specific Aims and/or Hypotheses

State clearly what is hoped to be learned from the research. The purpose should be written at a level that to be understood by individuals with a general medical background.


  1. Background and Significance

Discuss the relationship of the research to previous studies in the field and include pertinent references. Describe relevant experimental or clinical findings which led to the plan for the project. This must be succinct and comprehensible without reference to other material. For studies designed to compare or evaluate therapies, there should be a statement of the relative advantages or disadvantages of alternative modes of therapy. A few pertinent references should be cited; however, exhaustive literature reviews are not necessary. If earlier studies have produced conflicting evidence, it is necessary to cite these studies and explain the rationale for the study design that was chosen.
The significance of the study for both for the individuals participating and for the advancement of knowledge should be stated. How significant is the new knowledge being sought in relation to the potential risks in carrying out the research?


  1. Research Plan

Inform the IRB of the specific nature of the procedures to be carried out on human subjects in sufficient detail to permit evaluation of the risks. This section should also provide information that will allow the IRB to confirm the claim that methods employed will enable the investigator to evaluate the hypothesis posed and to collect valid data.


    1. Study Population

Protocols must be precise as well as concise in defining a study population and how the population will be contacted. Describe recruitment procedures, including how it will be ensured that subject selection is equitable and that all relevant demographic groups will have access to study participation (45 CFR 46.111(a)(3)). Part of subject selection includes ensuring that no person is unduly denied access to research from which they could potentially benefit, without good reason (The Belmont Report, ethical principle of Justice). For example: to exclude non-English speaking individuals purely because it is inconvenient to have the consent form translated into an understandable language; or because the research staff does not speak the language, is not an acceptable reason for their exclusion. The IRB would determine this to be unfair and an injustice to those individuals.
In describing the equitable selection of subjects, please ensure information is provided to justify the defined population(s) with regards to the following:

      • The purposes of the research.

      • The setting in which the research would be conducted.

      • Whether prospective participants would be vulnerable to coercion or undue influence.

      • The inclusion/exclusion criteria.

      • Participant recruitment and enrollment procedures.

      • The amount and timing of payments to participants.


Subject Privacy: Describe how you will protect the privacy of participants (i.e., what you will do to maintain individual’s interest in being left alone and being treated in a way that is comfortable to the individual). Describe the procedures for identification of possible subjects and recruitment procedures.
Inclusion and Exclusion: The inclusion and exclusion criteria for both subjects and, if appropriate, control subjects should be specifically stated. Assurance is required that there will be equitable selection of subjects. Limited participation or exclusion of populations (e.g., minorities or women) must be justified.
Patients identified from medical records must not be contacted without permission from the responsible health care provider. The lack of a response from the responsible institution cannot be construed as approval to contact the patient.
If patients are to be involved whose care is the responsibility of departments or special care areas other than that of the responsible investigator, that department or special care area should be identified as having approved the recruitment process.
If children are included as research subjects the investigator must provide an assessment of the level of pediatric risk (45 CFR 46.404, 405, 406 or 407) involved in the research. The final determination of risk level is made by the IRB.


    1. Study Design

If a study includes randomization, the procedure for randomization should be discussed.


    1. Assessment of Resources

Investigators must include information in the protocol to ensure:

                  1. access to a population that would allow recruitment of the required number of participants;

                  2. sufficient time to conduct and complete the research;

                  3. adequate facilities (i.e., private room for consent and interviews);

                  4. a process to ensure that persons assisting with the research were adequately informed about the protocol and their research-related duties and functions (i.e., verification of CREC certification), and

                  5. availability of medical or psychological services that participants might require as a consequence of the research, if applicable.




    1. Study Procedures

All specific procedures to be performed on human subjects for purposes of research should be detailed. It is important to distinguish between usual program implementation and/or class work and any experimental procedures. Include a description of the intended procedures as they directly affect the subjects. There need not be a detailed account of techniques that do not directly affect the human subject (e.g., details of laboratory methodology). Do include:

      1. The number and estimated length of study visits/interactions.

      2. The length of time for various procedures and frequency of repetition.

      3. Any manipulation that may cause discomfort or inconvenience.

      4. Plans for post-study follow-up, if applicable.

A general time schedule for various procedures should be provided, showing what a subject might expect regarding how long each aspect of the study will take; the frequency and timing of ancillary procedures; and the duration of discomfort. It would be helpful to present complicated studies with a simple flow chart to enhance the narrative description. The location of the study must be indicated.




    1. Federal Grant Applications

If an IRB protocol is based on a federal grant application, one copy of the complete grant application and attachments are to be uploaded and attached to the protocol via iRIS.


    1. Electronic Record System Use

If study procedures require the use of electronic documentation systems (i.e., electronic medical records, learning management systems, electronic data sets), the following information must be included in the research protocol:

  1. justification for use of the system and why this information cannot be obtained in another manner;

  2. what information will be collected from the system and the specific process for collection;

  3. how that information will be protected and secured including how long access to that information will be necessary through the electronic system;

  4. who will perform the data collection; and

  5. permission from the data source in the form of a letter of cooperation, IRB approval, and/or data use agreement.




  1. Risks and Discomforts and How They will be Minimized

Potential research risks include more than physical harm; risks may also include emotional or psychological harm, social risk of stigmatization, and economic or legal risk. There should be a description of all known or potential risks, discomforts, or inconveniences to the subject. This should include the investigator's explanation of how he or she concluded that the risks to subjects are reasonable in relation to anticipated benefits, if any, to subjects, and the importance of the knowledge that may reasonably be expected to result from the research. The description of risks may be extensive or may be brief, depending on the protocol. Risks related to the research need to be distinguished from risks that are part of standard program implementation.
Subjects should be told what will be done to minimize risks and which, if any, risks might be irreversible. Describe the procedures for protecting against or minimizing potential risks, and assess their likely effectiveness. Where appropriate, discuss provisions for ensuring necessary medical or professional intervention in the event of adverse effects to the subjects.
There are specific risks that may be present when genetic information is part of a protocol. The magnitude of the risks and a description of the risks should be given in both the protocol and the consent form. These risks may include:

  • Future problems with access to or retention of benefits or entitlements (e.g., health insurance, life or disability insurance, educational opportunities, employment, etc,).

  • Stigmatization: negative views of others, within or without the subject's family, about the subject; the possibility of altered family relationships and interactions.

  • Psychological responses to information: altered self-concept; possible feelings of depression, guilt, anger, etc.

  • Detection of previously unknown biological relationships within a family: paternity, maternity, and adoption.




  1. Compensation for Injuries

For any research involving more than minimal risk, federal regulations require an explanation as to whether any compensation and/or medical treatment is available if injury occurs and, if so, what it consists of, or where further information may be obtained. The principal investigator may need to distinguish between treatments for injuries related to the investigational intervention versus treatments for routine program implementation. If a study entails minimal risk and if, in the opinion of the investigator, there is the potential for physical injury, an “in case of injury” section should be incorporated into the protocol and consent form.

“In case of injuryprovisions should include:



  • Where and from whom medical therapy may be obtained.

  • What therapy will consist of and its duration.

  • Who will pay for the therapy.

  • Whom to contact in case of injury.

  • What happens after the study ends or if the subject is dropped from the study.

The source of funds, if any, to cover the costs of medical therapy for injuries should be specified. If none is available, it is important that the subject understand what may be billed to him or her, or to a third-party payer. This includes routine medical care that is normally billed to the subject even when it is performed in conjunction with a research study.




  1. Benefits to Subjects

Describe the potential benefits to the individual subjects enrolled in the study. If there are no direct benefits, indicate there are none. Reimbursement or compensation is never a benefit. The potential benefits which may result for other individuals, general knowledge, etc., should also be discussed. For studies with greater than minimal risk, discuss why the risks to subjects are reasonable in relation to the anticipated benefits to subjects and in relation to the importance of the knowledge that may reasonably be expected to result.


  1. Costs to Subjects

Investigators must address any extra costs incurred because of the research project. If costs due to research are to be incurred by the subject, such costs must be stated on the consent form. Describe and justify any costs that the subject will incur as a result of participation; normally, subjects should not have to pay for research procedures that do not provide some direct benefit.


  1. Alternative(s) To Participation

Discuss the alternatives to participating in the study. Are some or all of the study components available without participating in the study? Can a former participants or someone who refuses to participate in the study remain in the program or class?


  1. Payment to the Subjects (Recruitment Inducements/Reimbursement)

Describe any material inducements that will be offered to subjects in return for their participation: e.g., direct payment, food, test outcomes, etc. Discuss both reimbursement for expenses (e.g., parking and meals) and payments for time, effort, inconvenience and discomfort. Describe the schedule of payment to subjects based on their complete or partial participation (prorating). Identify whether early withdrawal from the study will result in a reduced payment or whether it makes a difference if it is the subject or the investigator who decides to terminate the subject's participation.


  1. Plan for Obtaining Informed Consent (Informed Consent Process)

    1. Description of the Informed Consent Process:

The protocol must include a description of the informed consent process. Please consider the following points:

      1. The timing/waiting periods for participants to ensure that they are allowed adequate time to make an informed decision and to minimize the possibility of coercion or undue influence. Sufficient time must also be allowed for the participant to review and consider participating with the assistance of family members, research partners or representative if necessary. Other items to consider regarding time/waiting periods are: Is the potential participant given a copy of the consent form to read prior to the discussion of the study? Is the consent form presented in person or mailed to subjects (where they can review it in the privacy of their own home)? How much time elapses between the presentation of the study and informed consent form and the actual signing of the form?

      2. The steps taken to minimize the possibility of coercion or undue influence

      3. The language used by those obtaining consent

      4. The language understood by the prospective participant or the representative

      5. Who will be involved in obtaining consent?

      6. Who will be approached for consent/assent/permission (parental or guardian)?




    1. Comprehension of informed consent:

In order for the IRB to evaluate issues of comprehension, the protocol needs to describe the steps taken to ensure that participants or their legal representative, and those who are involved in obtaining consent, understand the research. Once a potential participant is identified, what process is followed to inform the subject of the study prior to obtaining a signature on the informed consent form? Please consider the following points:

      1. Who introduces the study to the potential subject?

      2. Who reviews with the subject the informed consent document in depth?

      3. Do you require the potential participant to have another person present during the presentation of the study?

      4. Who answers the questions presented by the potential participant and/or family?

      5. What method is used to determine if the potential participant fully understands the study, what is required from them, risk and benefits, and their rights as a participant?

      6. Is the principal investigator usually present during the presentation of the informed consent?

Although written consent forms are generally required, in studies that present no more than minimal risk of harm to subjects and involve no procedures for which written consent is normally required, oral consent may be approved. Written consent may also be waived if the consent form is the only record linking the subject to research involving sensitive information and the primary risk of the research would be breach of confidentiality.


If the investigator believes that oral consent is appropriate, the request for waiver of written documentation of consent must to be justified in the protocol. If the IRB approves the waiver of written consent, i.e., verbal or oral consent, an information sheet or a document that addresses the required elements of informed consent, may be required for subjects.


  1. Provisions for Subjects from Vulnerable Populations

Address whether some or all subjects to be recruited will be vulnerable to coercion or undue influence. If they are, describe the additional protections provided to these subjects to protect their rights and welfare. Under The Belmont report, the ethical principle of Beneficence requires that risks to subjects are outweighed by the sum of both the anticipated benefit to the subject, if any, and the anticipated benefit to society (i.e., knowledge to be gained). In reviewing research involving vulnerable subjects, the IRB is required to determine whether the presented risks are fully justified; and the appropriateness of their inclusion has been demonstrated. For example if subjects who may not be competent to give consent are to be included, a description of how competency will be assessed needs to be included. Vulnerable Populations include:

  • Cognitively-/Decisionally-Impaired Persons (including dementia-affected people & the mentally ill)

  • Minors

  • Non-English-Speaking populations

  • Physically-Challenged Persons

  • Pregnant Women, Fetuses and Neonates

  • Prisoners

  • University Employees

  • University Students

  • Wards of the State




  1. Subject Privacy and Data Confidentiality

Confidentiality Concerns Data and Privacy Concerns People

Describe the provisions to protect a subject’s privacy and the confidentiality of their data in connection with their participation in the research study. Ensure that you include a description of:



    1. how any identifiable information will be accessed;

    2. how the information obtained will remain confidential; how will you store and secure data;

    3. who will have access to said data;

    4. what will you do once you are done with research data; and

    5. (if applicable) that it will be disclosed only with the subject’s permission or as required by U.S. or Ohio law. Examples of information that are legally required to be disclosed include abuse of a child or elderly person, and certain reportable diseases.


Privacy of Participants

Privacy refers to a person’s desire to control access of themselves to others. Describe how you will protect the privacy of participants (i.e., what you will do to maintain individual’s interest in being left alone and being treated in a way that is comfortable to the individual). Describe specifically, the procedures for identifying participants; how you will gather information from or about them; and how any invasion of privacy will be minimized. Please also consider the location where the information is to be gathered and whether the participants will be comfortable in the research setting being proposed. EXAMPLES: People may be uncomfortable answering questions about their employer in an open cubicle, so investigators may arrange for a more private interview location; or, people may not want to be seen in a place that might be stigmatizing to them, such as a pregnancy counseling center, so investigators may arrange for questionnaires to be mailed to subjects.


Confidentiality of data:

Confidentiality refers to keeping data secret/protected within a small group of research staff; confidential data are not intended to be shared/disclosed publicly. Describe how research data will be stored and secured to ensure confidentiality. If data will be shared with other investigators, explain why this is necessary and, if relevant, justify releasing data with identifiers that would permit the recipient investigator to know or infer the identity of the subject (45 CFR 46.111(a)(7). If highly sensitive information is to be gathered, such as information that would put the subject at risk of criminal or civil liability, either provide a Certificate of Confidentiality or explain why one was not requested. If audio or video tapes are made for research purposes describe how they will be kept secure and when they will be destroyed.


Further describe the disposition of information obtained during a study. When a study is of a diagnostic or therapeutic modality, information is very often entered in the subject's medical record, discussed with the subject, and transmitted to anyone else whom the subject designates.
When subjects will be tested for reportable diseases, such as HIV or hepatitis the protocol must clearly reflect these exceptions to confidentiality. Limits on confidentiality, such as inspection of records by the IRB should also be explained.


  1. Data Analysis Plan

Summarize the statistical/analytical methods to be used.


  1. Plans for Subjects at the End of the Protocol

Are there any post-research follow-up contacts? Do you want to hold on to contact information for future studies? If so, you must include this request in the consent process and documents.

15) When the investigator is the lead investigator of a multi-site study

The IRB evaluates whether the management of information that is relevant to the protection of subjects is adequate.

When the investigator is the lead investigator of a multi-site study, applications include information about the management of information that is relevant to the protection of subjects, such as:

• Unanticipated problems involving risks to subjects or others.

• Interim results.

• Protocol modifications.




  1. Protocols with Approval of IRBs from Other Institutions

On occasion, faculty and student researchers who are working primarily at institutions other than CWRU may have protocols approved by their respective institutional review boards and these investigators may want to conduct these studies at CWRU. It is the policy of CWRU that all studies involving human subjects carried out on the premises of CWRU require written permission of the HRPP Director after a copy of the approval from the other IRB has been received. If only part of the protocol will be done at CWRU, this should be clearly indicated.
Related Policies

45 CFR 46.111



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CWRU SBER IRB Policies and Procedures




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