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The role of the REB

The role of the REB. Raphael Saginur, M.D. Ottawa Hospital Research Ethics Board. REB roles. protection of human subjects protection of investigator, institution protection of academic freedom. Research ethics: a huge bureaucracy.

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The role of the REB

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  1. The role of the REB Raphael Saginur, M.D. Ottawa Hospital Research Ethics Board

  2. REB roles • protection of human subjects • protection of investigator, institution • protection of academic freedom

  3. Research ethics: a huge bureaucracy • in typical MCT, review at each of multiple sites: changing slowly • at each site, multiple copies of application (TOH: 18) • hard copies: slow migration to electronic • proprietary interests • lots of reading

  4. The only independent review of protocol at site • only opportunity for administrative vetting (resource impacts, approval of thesis committee, etc.) • cost to sponsor, investigator • delay • questions, quibbles, disagrees, blocks • naturally antagonizes PI, sponsor • must earn respect : fair, transparent, accountable, tough

  5. Respect • listen • treat PI with respect • demand respect • don’t quibble about trivia • have reasoned opinions based in rationale and/or regulation • be consistent

  6. Regulations • not well known to PIs- a mystery. Almost never taught • PIs semi-autonomous within hospitals; medical staff members, not employees • PIs don’t like being told what to do • regulations and legislation were not enforced in the past; it is novelty that they now are: tough adjustment

  7. Why do I need to know regulation?

  8. Jurisdictions:complex • drug study at TOH/Faculty of Medicine: • GCP/HC • TCPS • FDA: maybe • U.S. Common Rule: • study group NIH-funded • study NIH funded • Provincial law (PHIPA), regulation (e.g., professional codes) • Federal law (criminal; privacy)

  9. Jurisdictions, cont. • from PI perspective, jurisdiction mostly a matter of which form to sign (HC, FDA) • adverse events: PI hands off rapidly to sponsor; sponsor addresses rules • in general, jurisdiction more an REB and sponsor issue • issue becomes relevant to PI: renewals, amendments

  10. REB tries to base decisions in principle • principle takes priority • regulations follow • U.S.: mired in regs, rediscovering principle

  11. What are important principles? • autonomy • avoidance of coercion • justice • beneficence, non-maleficence • confidentiality • privacy

  12. Autonomy • right to self determination • translates into informed consent • avoidance of coercion • problem: incompetence • can be subtle • can be transient (acute illness) or intermittent

  13. Avoidance of coercion • multiple facets • illness: fear of death, urgency of decision-making • dependence on institution (impact of rationalization), on expert physician • example: thrombolytics in acute MI • often cannot be entirely avoided, always can be managed

  14. Justice • equitable distribution of risk • equitable distribution of benefit • complex: change of thinking around AIDS crisis

  15. Justice II • appropriateness of study • future costs to health care system • future availability of test, treatment • not really addressed

  16. Beneficence, non-maleficence • do good • avoid doing harm • complex • cannot entirely avoid risk; attempting to do so fraught with danger • risk should be appropriate to circumstance, include severity of condition, alternatives, potential benefit

  17. Beneficence, non-maleficence • study of cancer therapy in patients at risk of dying from disease, where existing therapy is toxic, would tolerate more risk of therapy than study of acne

  18. Confidentiality • relates to protection of information from inappropriate scrutiny • charts, laboratory results • clinical trials: right of sponsor, regulator to audit • compromise: data cannot leave site; viewers on site bound by confidentiality rules/standards

  19. Privacy • relates to knowledge of people and information related about them • classic infringements: • investigator sends letter inviting participation- how the . . . do they know about me, and how do they know about my condition? • Shopping in the next-door clinic

  20. Privacy • difficulties: the demise of the solo doc • doctors, nurses work in groups with decision-making by committee, cross-coverage • who is privy to knowledge of patients?

  21. Privacy: databases • multiple big databases are held for clinical and administrative purposes are held at TOH • divisional and departmental databases have become a cottage industry • linkage of databases within and without institution a productive line of research • database research is a risk to privacy; linkage adds fuel to the fire of risk

  22. Privacy: new legislative context • HIPAA (U.S.) • PIPEDA (Canada) • Ontario PHIPA • explicit standards • generally enhance public consciousness of privacy • we are working on standards for databases and privacy: what is held, what is sent, how information is held; technical, policy, administative

  23. Conflict of interest • multiple levels • institutional: • e.g., my recent call from CEO’s office about a project related to a local tech company • present or future donations, collaborations

  24. Conflict of interest • investigator • developer of product • stockholder • grant: excessive inducement • travel, publication, consulting opportunities

  25. Conflict of interest • the patient subject • undue incentive • desperation: disease • prolongation of life • reduction of toxicity • relationship with doctor • payments: how to define appropriate recompense for time

  26. Often conflicting issues • how to handle: • take patient perspective • except: avoid excessive inducement

  27. Application process • application form is condensed version of protocol plus it teases out certain issues usually missed in protocol • cumbersome, slow, expensive

  28. Application • identification of investigators: responsibility • issue: students (the loose cannon phenomenon) • approval by administrator: • patient stewardship(risk, over-involvement in studies) • resource management • consistency with institutional mission,principles

  29. Application • bad science is bad ethics • various sections of our forms describing science • REB not peer review committee

  30. Application • advertisements • avoidance of overzealous or outright false claims • sufficient information • consistency with College of Physicians rules re physician advertising

  31. Application • risks and discomforts • broadly defined • include prolongation of care; delay of care • delineation of what is attributable to study, what is attributable to routine management going on concomitantly

  32. Application • DSMBs, stopping rules • management of risk • changing regulatory demands (NIH, FDA) • funding • excess: conflict of interest • insufficient: burden on Hospital

  33. Application • staffing • competence • e.g.,outbreak of hepatitis C • resource impact • management

  34. Genetics • genetic testing frequently insinuated into otherwise routine clinical trial • new science of pharmacogenomics; targeted therapy: opportunity for societal benefit by improving efficacy of therapy, reducing cost, reducing toxicity • risk • opportunity for new product development: Moore

  35. Risk of genetic testing • nothing to do with pain and bruises (‘the phlebotomy misconception’) • relates to use of information • social, psychological risk • insurance, employment • marriageablity

  36. Genetic testing: risk • risk may be borne by individual, family, community • opportunity for counseling • decisions to be made regarding linkage of results with individuals

  37. Consent forms • pre-occupation with consent form and not consent process: a trap • pretty standard elements • grammar, spelling: rare forms of knowledge • lucidity of language, organization of thought uncommon virtues

  38. Intro:rationale Procedure, including randomization, blinding Voluntary nature; right to withdraw Confidentiality Risks Benefits Alternatives Compensation clause Signature Consent form

  39. Consent form • language: stated goal is Grade 8 level • never happens • not clear if feasible • more memorandum of understanding than contract: right to change mind (hard to remove that artificial heart) • excess length limits understanding, obscures key issues

  40. Monitoring of studies: AEs • “more honoured in the breech than in the observance” • REBs not equipped to monitor AEs • REBs given inadequate information • create paper trail • all interventional studies need data monitoring plan

  41. Expedited review • feasible in “minimal risk” study • TCPS: “no greater than those encountered by the subject in those aspects of his or her everyday life that relate to the research” • FDA: collection of hair, nails, deciduous teeth; excreta and external secretions; EEG,ECG; <451 ml blood; dental”plaque” and calculus; voice recordings; moderate exercise; existing records; etc. • consent may or may not be required

  42. Minimal risk • difficult application to percutaneous radiologic image-guided procedures • what is risk of percutaneous ultrasound guided breast biopsy done by competent radiologist? How does it compare to risk of phlebotomy of 450 ml by a duffer?

  43. Conclusions • REB works within regulatory framework • REB tries to base decisions on principles defined in ethics, and reflected in regulation • forms seek to elicit information to define ethical issues, allowing reasoned decision-making • www.ohri.ca/ohreb

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