research governance dr lesley hall research governance manager joint research office november 2009
TRANSCRIPT
Research Governance
Dr Lesley Hall
Research Governance Manager
Joint Research Office
November 2009
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Outline
Differences between– Research/Audit/Service Evaluation
Research Governance – what is it?Regulations and legislation which impact
on researchGaining approvals to carry out research
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Research/Audit/Service Evaluation
Not all of the projects undertaken are research. If your study is an audit or service evaluation then it would NOT be classified as research
However, often difficult to differentiate Most useful guidance provided by National Research
Ethics Services (NRES) Guidance page –http://www.nres.npsa.nhs.uk/applications/guidance/#researchoraudit
Go to ‘Research or Audit’ and download ‘Defining Research Leaflet’
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Main differences
NRES Guidance sets out key discriminates Intent
– Research - primary aim is to derive new knowledge (eg, through clearly defined questions with systematic and rigorous methods) – What should we be doing?
– Audit - measure levels of treatment or care by assessing services against standards with the aim of continuous improvement – Are we doing what we should be doing?
– Service Evaluation – What standard does this service achieve?
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Examples of differences
Research Audit Service Evaluation
Is used to inform healthcare professionals about which treatments most effective -
What should we be doing?
Is used to inform healthcare professionals if the most effective treatments and care are being used - Are we doing what we should be doing?
Is used to judge current treatment and care and to inform healthcare professionals if changes made are most effective - what standard does this service achieve?
For example: Drug A is more effective than Drug B at treating disease C
For example: is Drug A being used to treat disease C?
For example: is clinic X performing better than Y at delivering the same service?
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Before research can start research
When you have decided it is research you must then be aware of how the research must be governed and the approvals that must be in place before research begins – about reducing risks associated with research.
For all research in the NHS you require NHS Trust R&D permission at each site for the study – the purpose of R&D approval is to risk assess the project and to ensure all other approvals are in place
Applications for approvals for research now accessed via https://www.myresearchproject.org.uk/ - integrated data set which populates a number of different applications and now a centralised system for approvals for some projects: Co-ordinated system for gaining Permissions in the NHS (CSP)
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Main regulations and legislation
Department of Health’s Research governance framework for health and social care 2nd Edition Sept 2005
EU Clinical Trials Directive implemented in the UK through the UK Medicines for Human Use (Clinical Trials) Regulations 2004 and GCP Amendment regulations 2006
EU Medical Devices Directives implemented in the UK through the Medical Devices Regulations 2002 (SI No 618) (2002)
Human Tissue Act 2004 (implemented Sept 2006) Mental Capacity Act 2005 (partially implemented Apr 2007 to become law
Oct 2007) Data Protection Act 1998 and more recently Freedom of Information Act
2000 Governance arrangements for NHS Research Ethics Committees - July
2001 (GAfREC)
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Main principles of DH’s Research Governance Framework (RGF)
Applies to research in the NHS involving human participants (patients or staff), their organs, tissue or data/records
The aim is to bring together general principles of good practice to ensure good quality research is undertaken that respects participants’ rights, dignity and confidentiality.
The host NHS organisation is responsible for ensuring the research meets the necessary standards – governance checks and risk assessment
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Governance Checks and Risk Assessment
All studies– Organisational risk: Sponsorship, insurance and indemnity, duty of
care– Investigator and other research staff risk – Patient safety - eg, particularly proper informed consent, review by an
appropriate ethics committee, appropriate review by regulatory authorities controlling drugs, exposure to radiation etc
– Maintaining confidentiality of participants and use of data– Scientific risk - scientific quality of the research through good design
and review– Financial risk - Ensuring financial probity and appropriate use of NHS
resources For ctIMPs
– EurdraCT registration and MHRA approval– Adherence to legal framework and GCP regulations
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Organisational risk - Sponsorship under RGF
Must have an identified Sponsor: All research in the NHS involving human participants (patients or
staff), their organs, tissue or data MUST have a research Sponsor.
Usually one Sponsor responsible for :– Ensuring that arrangements are in place to deliver the
research as proposed.– The scientific quality of the research – through peer review– Ensuring all necessary approvals have been obtained– Allocating responsibilities for the management, monitoring and
reporting of the research
Sponsorship examples
Non-commercial research involving NHS patients – usually an NHS Trust acts as Research Sponsor
Usually the main Trust where study is initiated Some Trusts/Uni have co-sponsorship arrangements
where working in partnership University can act as Research Sponsor – eg, involving
tissue samples held at in a university research tissue bank or healthy volunteer only study – so where there is no NHS Trust involvement
For commercial research the Sponsor is usually the commercial organisation (need evidence of accepted sponsorship through clinical trial agreement)
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Investigators and other researchers - status under RGF
The Chief Investigator is the person designated to take overall responsibility for the design, conduct and reporting of the study – they are accountable to their employer and through them to the Sponsor of the research
For multi-centre studies it is common to have a Chief Investigator located at the main site and local Principle Investigators identified at local sites
Honorary Research Contracts (HRCs) for non-NHS staff with direct contact and/or direct bearing on quality of care or letters of permission/access for those working with data or tissue
A full HRC provides NHS indemnity – The Trust indemnifies for negligent harm under Clinical Negligence Scheme for Trusts (CNST) – to enable them to do so must carry out essential checks (CRB and Occupational Health)
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Patient safety - ethics
Evidence of ethical review - Government Arrangements for NHS Research Ethics Committees (GAfREC) paragraph 3.1 states that ethical advice from the appropriate NHS Research Ethics Committee (REC) is required for any research proposal involving:
a. patients and users of the NHS. This includes all potential research participants recruited by virtue of the patient or user's past or present treatment by, or use of, the NHS. It includes NHS patients treated under contracts with private sector institutions
b. individuals identified as potential research participants because of their status as relatives or carers of patients and users of the NHS, as defined above
c. access to data, organs or other bodily material of past and present NHS patients
d. fetal material and IVF involving NHS patients e. the recently dead in NHS premisesf. the use of, or potential access to, NHS premises or facilitiesg. NHS staff - recruited as research participants by virtue of their professional
role."
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Ethics documentation required
REC review via NHS RECs under the control of the National Research Ethics Service (NRES)
Application form online through IRAS Have to have an identified Research Sponsor who signs or electronically authorises the form before submission
Now have ‘main REC’ for each study– Before you can begin you must have a favourable
opinion for the main site from the main REC– If multi-centre study – each site must have a Site
Specific Assessment done as part of site Trust R&D approval (used to be via the REC)
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Patient safety – Data Protection/Caldicott
Informed consent is key for use of data (although Section 60 of the Health and Social Care Act 2001 exemption via National Information Governance Board (NIGB) some exceptional situations – application form in IRAS)
If information is to be recorded on a new database in the Trust, the database must be registered and should be held on Trust server
If patient identifiable information is used or transferred out of the Trust e.g. to University computers, then Caldicott Guardian approval must be obtained"All items of information which relate to an attribute of an individual should be treated as potentially capable of identifying patients and hence should be appropriately protected to safeguard confidentiality". (Caldicott Committee: Report on the review of patient-identifiable information, 1997)
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Scientific Risk
Research Governance Framework states that all projects should be independently peer reviewed – this is the responsibility of Sponsor– if large funder (eg, commercial company, large charity
etc) would expect the project to have undergone rigorous peer review
– If own account R&D office would need to arrange an independent peer review.
– Must have a favourable peer review before R&D approval
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Financial Risk
Projects must be fully costed – seek advice– Eg, through a university Grants & Contracts department or a
dedicated research facility
For externally-funded, non-commercial research see the Attributing revenue costs of externally funded non-commercial research in the NHS (ARCO) guidelines
Commercial projects would be expected to be fully costed with appropriate overheads and all necessary set-up fees (eg, R&D and Pharmacy, if applicable)
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Clinical Trials of Investigational Medicinal Products (ctIMPs)
The EU Clinical Trials Directive (Medicines for Human Use (Clinical Trials) regulations 2004 in the UK) includes all interventional clinical trials involving Investigational Medicinal Products (IMPs) for human use where the aim is to test the safety or efficacy of the product – (ctIMPs)
Covers all kinds of medicinal products, including pharmaceutical and biological medicines, vaccines, herbal remedies and homeopathic products
Also includes a pharmaceutical form of an active substances or placebo being tested or used as a reference in a clinical trial, including products already with a marketing authorisation but used or assembled in a way different from the authorised form, or when used in an unauthorised indication, or to gain further information about the authorised form
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Definition of a ctIMP
Regulated in the UK by the Medicines and Healthcare products Regulatory Agency (MHRA) - official definition of a ‘medicinal product’:a) Any substance or combination of substances presented as
having properties for treating or preventing disease in human beings ["the first limb"]
b) Any substance or combination of substances which may be used in or administered to human beings either with a view to restoring, correcting or modifying physiological functions by exerting a pharmacological, immunological or metabolic action, or to making a medical diagnosis ["the second limb"]
(Source: Article 1 of Directive 2001/83/EC as amended)
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Permissions needed for ctIMP
ctIMP must be registered with European clinical trials database to obtain unique EudraCT number to be used on all correspondence
Must obtain a Clinical Trial Authorisation (CTA) from Medicines and Healthcare Products Regulatory Agency (MHRA)
For ctIMPs – need to see evidence that study will be regularly monitored to ensure study is GCP compliant (pharmocovigilance – safety reporting of Adverse Events)
– For commercial studies – Commercial Sponsor arranges– If non-commercial monitoring should be arranged through an
accredited clinical trials unit
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Good Clinical Practice in ctIMPs (Amendment Regulations 2006)
Commission Directive on Good Clinical Practice (GCP) 2006 - regulating that ctIMPs are conducted to GCP standards – MHRA carry out site inspections
Summary of main GCP Responsibilities:– Trial documentation - Master Trial Files – including responsibilities delegation logs– Adequate resources (time, facilities, staff, training, potential to recruit) – Recorded evidence of investigators qualifications (signed CV), GCP training etc– Rights/well-being of trial subjects (ethical approval and medical care ensured)– Must comply with protocol as set out in application or have amendments approved
(MHRA and Ethics) – this constitutes a serious breach in GCP if not adhered to– IMPs – stored, labelled and used only in accordance with protocol– Data held and stored appropriately – changes dated and initialled (no tippex)– Informed consent is essential - patient MUST sign and DATE (dates cannot be added
afterwards) also MUST follow the original protocol and ethics approval – MUST show that all staff trained in obtaining informed consent
– Regular monitoring – establishing committees and evidence of decisions made (minutes)– Progress reports to Ethics and MHRA (copy to sponsor) – yearly and end to trial– Safety reporting – very specific for ctIMPs regarding reporting of Serious Adverse Events
(guidance available regarding legal requirements)– Records retention and archiving – patient confidentiality issues
Use Clinical Trials toolkit when setting up a ctIMP!
Clinical Trials Toolkit - http://www.ct-toolkit.ac.uk/route_maps.cfm
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EU Medical Devices Directive
What is a Medical Device? - The Medical Devices directive defines a medical devices as:
Any instrument, apparatus, appliance, material or other article, whether used alone or in combination, including the software necessary for its proper application intended by the manufacturer to be used for human beings for the purpose of:
– diagnosis, prevention, monitoring, treatment or alleviation of disease, – diagnosis, monitoring, treatment, alleviation of or compensation for an injury or
handicap, – investigation, replacement or modification of the anatomy or of a physiological
process, – control of conception,– and which does not achieve its principle intended action in or on the human
body by pharmacological, immunological or metabolic means, but may be assisted in its function by such means.
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Permissions needed for Devices
Devices are regulated in the UK by the Medicines and Healthcare products Regulatory Agency (MHRA)
The devices legislation covers the placing on the market and putting into service medical devices
This enables the device to obtain a CE mark – manufacturer's claim that the device satisfies the relevant Essential Requirements in the Directives and is fit for its intended purpose
If using CE marked devices in research then no need to register with MHRA
Clinical devices developed and used within an NHS setting only (eg, medical physics) do not fall under the regulations – CE mark not necessary unless placing on the market (looking for EN 60601-1 standard)
GREY areas – does it cross-over into medicinal products legislation (eg, device administers a medicinal product)
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Human Tissue Act 2004
Implemented Sept 2006 – Regulated in the UK by The Human Tissue Authority (HTA) for the removal, storage, use and disposal of human bodies, organs and tissue from the living and deceased.
What does the Act do?– Identifies the range of activities for which a licence will be
required– Prohibits the conduct of certain activities without a licence– Establishes penalties (including custodial sentences)– Prohibits commercial dealing in human material
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Definition of relevant material
Included:– human bodies– internal organs and tissues– skin and bone – stem cells created inside the
human body – embryonic stem cells – non blood derived stem cells – umbilical cord blood stem cell – bone marrow – primary human cell cultures
Not included:– Embryos outside the human body– cultured cells which have divided
outside the human body – artificially created embryonic stem
cells – cell lines – extracted DNA – plasma extracted DNA
There are grey areas Check the HTA website – supplementary list of
‘relevant materials’http://www.hta.gov.uk/search.cfm?FaArea1=CustomWidgets.content_view_1&cit_id=335&useCache=false
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What do you need to use tissue?
Consent - Informed consent is the fundamental principle– Need consent to use in most cases (exceptions if held before 01 Sept
2006, ‘surplus’ tissue if anonymised, 100 year rule)– Consent can be for use in a specific research project if samples are to
be destroyed after use or generic consent if to go into a Research Tissue Bank
Ethics review from an NHS REC– needed in all cases for patients of the NHS – even if using surplus,
anonymised tissue where consent is not necessary.– Ethics can be project specific or generic ethical approval can be
obtained for a Research Tissue Bank (RTB) – if generic need to request tissue from the Designated Individual for the bank to check the use of the tissue is within the scope of the original REC approval
HTA Licence– Licence – required only if storing tissue
Transfer of tissue– Material Transfer Agreement (MTA) for transfer to or from a RTB
http://www.dt-toolkit.ac.uk/home.cfm
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Mental Capacity Act 2005
Becomes law Oct 2007 The Mental Capacity Act 2005 provides a statutory
framework to empower and protect vulnerable people who are not able to make their own decisions.
It makes it clear who can take decisions, in which situations, and how they should go about this.
It enables people to plan ahead for a time when they may lose capacity.
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Five key principles of the MCA
A presumption of capacity The right for individuals to be supported to make their
own decisions That individuals must retain the right to make what
might be seen as eccentric or unwise decisions Anything done for or on behalf of people without
capacity must be in their best interests Least restrictive intervention of the person’s basic
rights and freedoms
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Research and the MCA
The Act sets out a single clear test for assessing whether a person lacks capacity to make a particular decision at a particular time
The Act sets out clear parameters for research – Research involving, or in relation to, a person lacking capacity may be
lawfully carried out if an ‘appropriate body’ (a Research Ethics Committee designated to review MCA applications) agrees that the research is safe, relates to the person’s condition and cannot be done as effectively using people who have mental capacity.
– Carers or nominated third parties must be consulted and agree that the person would want to join an approved research project
– A personal consultee is identified in the case of loss of capacity during research
– Nominated consultee if no personal consultee available – see http://www.dh.gov.uk/en/Publicationsandstatistics/Publications/PublicationsPolicyAndGuidance/DH_083131 for guidance
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To recap…
What you need before you can start your research… NHS Trust R&D at each site for the study Favourable ethical opinion Honorary Research Contracts/or permissions for non NHS staff Data protection/Caldicott approval MHRA approval for ctIMPs Appropriate arrangements for using or storing tissue Approval from appropriate REC regarding MCA Any other approvals Other certificates or approvals as
appropriate (eg, GTAC – for gene therapy; ARSAC – radiation)
How to apply for approvals - IRAS
Web-based system at www.myresearchproject.org.uk Designed to capture the information needed to be
submitted by researchers for the relevant permissions and approvals for research in the UK.
Using filters, the system will ensure that data is collected and collated appropriately to the type of study, approvals and permissions required.
Researchers enter information once – one set of questions which generates a single dataset which cross-populates the application forms for each reviewing body
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Entry page for IRAS
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When to apply for various approvals
It can be confusing as to when to apply for certain approvals… It is now a requirement of final R&D approval that there is
evidence of other approvals before giving final R&D approval
Ideally you should apply for ethics, MHRA, other approvals (eg Caldicott) at the same time as applying for R&D approval so the applications can be processed in parallel – you should NOT wait for R&D approval before applying for ethics, MHRA etc (integrated application process)
The new CSP system helps with order of approvals You CANNOT begin your research in an NHS Trust without the
final letter of approval from that organisation
List of acronyms
ARSAC - Administration of Radioactive Substances Advisory Service ctIMP – clinical trial of an Investigational Medicinal Product EudraCT - (European Union Drug Regulating Authorities Clinical Trials) GAfREC – Governance Arrangements for Research Ethics Committees IRAS – Integrated Research Application System MHRA – Medicines and Healthcare product Regulatory Authority NIGB - National Information Governance Board NIHR – National Institute for Health Research NPSA – National Patient Safety Agency NRES – National Research Ethics Service PIAG – Patient Information Advisory Group
17/09/0736
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Useful websites
Department of Health – Research Governance Framework - http://www.dh.gov.uk/en/Policyandguidance/Researchanddevelopment/A-Z/Researchgovernance/index.htm
NRES – for ethics applications and guidance http://www.nres.npsa.nhs.uk/index.htm - applications must now be made through IRAS
IRAS Website: https://www.myresearchproject.org.uk/ IRAS USER MANUAL
https://www.myresearchproject.org.uk/Help/Contents/IRASHelp_UserManual.pdf
MHRA for Medical Devices and Medicinal Productshttp://www.mhra.gov.uk/home/idcplg?IdcService=SS_GET_PAGE&nodeId=5
EudraCT website for registering a ctIMP http://eudract.emea.europa.eu/ Clinical Trials Toolkit – essential guide to ctIMPs
http://www.ct-toolkit.ac.uk/
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Useful websites
Mental Capacity Act information – Department of Healthhttp://www.dh.gov.uk/en/PublicationsAndStatistics/Bulletins/ChiefExecutiveBulletin/DH_4108436
Information about Research Passports http://www.nihr.ac.uk/systems_research_passports.aspx
NIHR Portfolio information: http://www.ukcrn.org.uk/index/clinical/portfolio_new/P_eligibility.html
NIHR Portfolio information for Commercial projects http://www.ukcrn.org.uk/index/industry/collaborations.html
Human Tissue Authority http://www.hta.gov.uk/ REC SOPs for use of Tissue – version 3.4, Sept 2007 at:
http://www.nres.npsa.nhs.uk/docs/guidance/SOPs.pdf - Chapter 11 and Annex H
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Contact details
Dr Lesley HallResearch Governance ManagerJoint Research Office4th Floor, Leazes WingRoyal Victoria InfirmaryQueen Victoria RoadNewcastle upon TyneNE1 4LP
Trust R&D main office: 0191 2825959