2.4 IRB Review of Changes in Previously Approved Research
1.0 Purpose
The purpose of this policy and procedure is to describe the Organization’s requirements for IRB review of changes in previously approved research, including single subject protocol deviations.
2.0 Policy
3.0 Definitions
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3.1. Major change in protocol is a change that, in general, adversely affects the risk-benefit relationship by adding appreciably increasing risks, or appreciably decreasing potential benefits, or impacts the process of consent in a manner that might effect a reasonable person’s willingness to participate in the research. Specific activities which constitute major changes are listed in the appendix to this policy.
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3.2. Minor change in protocol is a change that is not characterized as major per 3.1 above. Specific activities which constitute major changes are listed in the appendix to this policy.
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3.3. Single subject protocol deviation is a change in an IRB-approved protocol which is permitted for an individual subject when it is in the best interest of that subject and/or is necessary for research purposes (e.g., data completion).
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3.4. Administrative change is a change where one of the following criteria must be met: 1) the proposed change has no impact on human subject protection, or 2) the proposed change is necessary to clarify or provide only editorial updates to the protocol and/or ICF. These changes can be reviewed and approved by IRB administrators/staff in consultation with the IRB Executive Chair as necessary.
Examples of administrative changes include: changes in telephone numbers, deletion of study personnel, correction of typographical errors, or minor administrative changes in the protocol by the sponsor.
4.0 Procedures for Change Request in Protocol (other than Single Subject Protocol Deviation)
5.0 Procedure for Single Subject Protocol Deviation*
6.0 Changes in a research activity requiring immediate implementation
7.0 Provision of new information to subjects which requires immediate implementation
ADMINISTRATIVE APPROVAL: BRUCE G. GORDON, MD IRB EXECUTIVE CHAIR & ASSISTANT VICE CHANCELLOR FOR REGULATORY AFFAIRS CHRISTOPHER KRATOCHVIL, MD INSTITUTIONAL OFFICIAL
POLICY AMENDED:
AMENDED OCTOBER 4, 2018
AMENDED JANUARY 24, 2018
INITIAL JANUARY 5, 2016
Appendix to HRPP Policy 2.4 (Changes in Previously Approved Research)
Examples of Major and Minor Changes in Protocol or Single Subject Protocol Deviations (per Sections 3.1 and 3.2)
Examples of Major Changes:
Changes in inclusion or exclusion criteria that broaden eligibility (i.e., broadening the range of the inclusion criteria or narrowing the range of the exclusion criteria) when risks to new subjects will be different than to previously eligible subjects
Addition of a vulnerable population (e.g., children, cognitively impaired, prisoners, socially or educationally disadvantaged, students)
Increase in target accrual of subjects in studies where UNMC. CHMC and/or UNO are the only sites
Increase in study wide accrual of subjects in a multi-institution study
Increase in subject payment amount that exceeds criteria in HRPP Policy
Change in study design, where such change might affect risk, potential benefit to subject or scientific value or validity
Alterations in the dosage or route of administration of an administered drug
Addition of research activities that carry greater than minimal risk
Change in research activities where the change might negatively impact the potential benefit of the research (e.g., change from one questionnaire to another which is not substantively similar, or to a non-validated questionnaire; change from CT-based staging to clinically based staging of a tumor)
Modification of research questionnaires or data collection instruments/processes to collect sensitive information (e.g., depression, sexuality, illegal activities)
Addition of an element that may affect subject confidentiality (e.g., specimen banking or genetic testing; addition of focus groups or identifiable surveys)
Extending substantially the duration of exposure to the test material or intervention
Deletion of laboratory tests, monitoring procedures, or study visits directed at the collection of information for safety evaluations
Addition of serious adverse events, serious UADEs or other significant risks to the Informed Consent process or form
Addition of a new (additional) consent form
Addition of a qualified investigator with a disclosable conflict of interest
Changes, which, in the opinion of the IRB chairperson or his/her designee, do not meet the criteria or intent of a minor modification Note: Multiple minor changes in the protocol, instruments, and/or consent may, together, be considered a major change subject to convened IRB review
Examples of Minor Changes:
Changes in inclusion or exclusion criteria that narrow eligibility (i.e., narrowing the range of the inclusion criteria or broadening the range of the exclusion criteria). Note: such changes should not appreciably reduce the likelihood that the research can be completed in a timely manner
Changes in inclusion or exclusion criteria that broaden eligibility (i.e., broadening the range of the inclusion criteria or narrowing the range of the exclusion criteria) when the investigator provides evidence that risks to the new subjects will not be different than to previously eligible subjects
Increase in local enrollment of subjects in a multi-institution study without a change in the overall study wide enrollment target
Addition of research activities that constitute no more than minimal risk. Note: addition of clinically indicated procedures where data will be used for research purposes (i.e., where the incremental risk is no more than minimal) are considered a minor change
Addition of research activities that would be eligible for expedited IRB review (per §_.110(b)(ii)) under categories 1-7 (unless specifically defined as “major” above)
Alterations in the dosage form (e.g., tablet to capsule or oral liquid) of an administered drug, provided the dose and route of administration are unchanged
Decrease in the number or volume of biological samples collection, provided that such a change does not affect the collection of information related to safety evaluations;
Decrease in the length of hospitalization or number of study visits, provided such a decrease does not affect the collection of information related to safety evaluations
Alternations subject payment schedule, provided such payments remain fairly pro-rated
Increase in subject payment amount provided such amounts are within criteria in HRPP Policy
Changes to improve the clarity of statements or to correct typographical errors in the protocol, CF or any questionnaire, provided that such a change does not alter the content or intent of the statement
Changes in recruitment materials and advertising, provided such items continue to satisfy criteria in HRPP Policy
Revision of subject identification and recruitment strategy to include use of the Nebraska Medicine Conditions of Treatment Opt-In database.
Consent form modifications that add or remove information from the consent form so that it is consistent with an already approved IRB requirement
Updating a consent form using IRB approved boiler plate language
Addition or deletion of qualified investigators or personnel
Addition of study sites (that have a valid FWA and Reliance agreement as appropriate); or that serve as performance sites where informed consent will not be obtained; or that serve as performance sites where informed consent will be obtained by a UNMC, CHMC or UNO investigator.