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Conflict of Interest in Human Subjects Research

Conflict of Interest in Human Subjects Research. Ross McKinney, Jr, MD Duke University Medical Center. Declarations. NIH Funding (CTSA, IMPAACT, PPRU) DSMBs for Gilead Sciences, Applied Genetic Technologies Corporation Unpaid consulting with GSK anticipated . Definition.

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Conflict of Interest in Human Subjects Research

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  1. Conflict of Interest in Human Subjects Research Ross McKinney, Jr, MD Duke University Medical Center

  2. Declarations • NIH Funding (CTSA, IMPAACT, PPRU) • DSMBs for Gilead Sciences, Applied Genetic Technologies Corporation • Unpaid consulting with GSK anticipated

  3. Definition • A conflict of interest exists when a primary interest or responsibility is (unduly) affected by a secondary interest or responsibility • For example, a physician’s primary obligation is to the individual patient, and a friendly relationship with a sales rep could unduly influence a decision to use a specific drug

  4. COI Conceptual Problems • It is impossible to easily measure the effect of secondary influences on an individual decision • Collectively it’s easy to demonstrate COI problems (just look at variability in health care costs…) • Denial is the norm

  5. Overview • Conflicts of Interest are complex • Multiple levels may affect investigator judgment • Financial (esp. with sponsor) • Psychological (care about outcome) • Personal (promotion, reputation) • Research itself may be a COI with the fundamental physician-patient relationship

  6. Goal • Establish systems that allow investigators to work with industry without the reality or perception that the results of subsequent research are biased by the potential for personal gain • In science, reproducibility is the key test • In clinical research, often too expensive to reproduce • Bias may introduce risk for HSR participants

  7. COI Regulations • Mostly institutional • NIH regulations define SFI – significant financial interest (>$10,000; private equity >5%) • NIH defines “investigator” • NIH defines need for institutions to manage, reduce, or eliminate COIs • AAMC and AAU released guidance documents in 2001, 2002, and 2008 • ANPRM posted this Spring (closed 7/7)

  8. FDA COI Regulations • Certification that: • No financial arrangements with an investigator have been made where study outcome could affect compensation; • The investigator has no proprietary interest in the tested product; • The investigator does not have a significant equity interest in the sponsor of the covered study; • The investigator has not received significant payments of other sorts; and/or • Disclosure of specified financial arrangements and any steps taken to minimize the potential for bias • Thresholds: Equity $50,000; Payments $25,000

  9. Typical Institution • Annual reporting to the COI program • Event based reporting with IRB submissions (also grant & IACUC applications) • Regular communication between the IRB and COI Offices • Thresholds for disclosure and restrictions in HSR • Better defined rules for personal than institutional COI

  10. Problems • No consistency between institutions • No clear guidelines about what or how to manage conflicted investigators

  11. Is COI a Real Problem? • 2007 Study of COI at 2001 & 2002 American Academy of Orthopedic Surgeons Meetings • Looked at all presented abstracts (n=519) • 40.8% had some COI • Comparisons – were results positive? • Author has consulting COI: 97.8% • Author had no COI: 89.0% (p=0.01) • Author with Options: 100% vs. 84.7% (p=0.04 – less common)

  12. JAMA – 2003 – Als-Nielsen, et al • 370 randomized trials • Considered: 1) Outcome of trial; 2) Sponsor • Non-profit Sponsor - 16% recommended experimental drug as treatment of choice • Funding not reported: 30% • Mixed funding: 35% • For-profit organization: 51% • Difference significant (p<0.001)OR: 5.3; 95% CI 2.0-14.4)

  13. NY Times: Spine Study • Synthes study of Prodisc artificial disk for low back pain • Study found disk better than fusion • Lead author (Jack E. Zigler, MD) and physicians at half the research centers had COI, not disclosed • Physicians invested in start-up company “Spine Solutions” (for example, one physician investigator invested >$250,000)

  14. Spine study - 2 • Patient data appears to have been screened out if results were not good (according to the NYT)

  15. More on Synthes • In addition, on July 20, 2009, two Synthes executives (inc. the former President) pled guilty to running a non-FDA regulated trial of Norian XR bone cement • Asked physicians to use the approved compound for unapproved uses and stated the company would support publication • Three patients died in the studies (200 involved) [NY Times 6/17 and 7/21/2009]

  16. Kuklo Case (NY Times/WSJ) • Timothy Kuklo, MD – orthopedist employed at Walter Reed AMC then Washington U • Falsified positive result about Medtronic’s Infuse bone growth product: published in British J Bone & Joint Surgery • Received $800,000 in personal compensation from Medtronic 2006-2009 • Did not report COI to Washington U officials

  17. “Innovation” Also an Issue • Off-label use of “Infuse” for Neck surgery • FDA in July reported 38 reports of serious adverse events, including airway compromise • WSJ later reported number of FDA reported events actually >280 • Innovation is not normally a bad thing, but many of the practitioners were receiving direct payments for consulting from Medtronic

  18. Empirical Research • COINS Study: NIH funded – Sugarman, Weinfurt, Hall, et al • Several projects • Most informative was study of an ICF for a mock trial that enrolled 470 “participants”. All were cardiology patients with Coronary Artery Disease (Duke, JHU, Wake Forest) • Study of “Corvascflo” – new drug • Am Heart J 2008;156:691

  19. COINS - 2 • In some ICFs, investigator had Financial information disclosed • Control group with no Financial Disclosure • Disclosure of per capita payment of MD and staff to cover costs • Disclosure that “the person running this study has an investment in First Rate pharmaceuticals…[whose value] might be affected by the results of this study”

  20. COINS Results • When Financial Info was included in the ICF • Equity Holdings - less willing to participate • 5.3% refusal vs. 1.4% for no COI • More negative comments – 18.9% vs 0% no disclosure • Per Capita Payments (to “cover costs”) • No effect on willingness to enroll – 0.6% refusal vs 1.4% controls • Some negative comments – 6.3%

  21. What are the Objectives? • Protect human participants in research • Biased design • Problems in conduct • Fair reporting • Allow for an appropriately informed consent • Is the potential participant given the information they should have to decide whether to participate?

  22. Recommendations • Develop a “common rule” for COI in clinical research • NIH, FDA, OHRP, DOD, etc. • Define expectations for informed consent • Consistency is key to provide assurance to potential participants • Consistency will facilitate multi-center studies – institution-by-institution rules are not helpful.

  23. Recommendations • Consider whether limitations would be useful • Complete exclusion is NOT ideal – the inventor may be critical to developing a new drug or technology • Disclosure by itself is not adequate • Suggest management approaches: • Oversight Panels • Shared responsibility for projects

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