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Human Research Policies, Guidance and FAQsHIPAA | IRB POLICIES| GUIDANCE |FAQs **PLEASE NOTE** Effective Immediately: SAEs and Deviations must be reported by completing and submitting the REPORTABLE EVENTS FORM (Please see: IRB POLICIES Section). HIPAA/PRIVACYAccounting of Disclosures of PHI Uses and Disclosures of PHI for Research Purposes Photographing /Videotaping/Other Imaging of Patients and/or Caregivers
Use and Disclosure of PHI with and without an Authorization
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INSTITUTIONAL REVIEW BOARD POLICIESREPORTABLE EVENTS (SAES, DEVIATIONS)For Researchers:Adverse Events, Unanticipated problems, Deviations etc. to the IRB*New* March 1, 2011Reportable Events PolicyFederal regulations (45 CFR 46.103(b)(5) & 21 CFR 56.108(b) require written procedures for ensuring prompt reporting of unanticipated problems to the IRB, appropriate institutional officials, any supporting department or agency head (or designee), and OHRP. The purpose of prompt reporting is to ensure that appropriate steps are taken in a timely manner to protect subjects from avoidable harm. When conducting clinical investigations of drugs, including biological products, under 21 CFR part 312 and of medical devices under 21 CFR part 812, an investigator's responsibilities include preparing and submitting the following complete, accurate, and timely reports (§§ 812.150 & 312.64):
Events which meet the above prompt reporting criteria must be reported to the IRB within 5 calendar days. Events which do not meet the prompt reporting criteria may be reported to the IRB with the Continuing Progress Report (CPR). Conflict of Interest in Human Research/Financial Reporting All investigators are to report, on behalf of the research team, any conflicts of interest related to their research to their employer and the CHW IRB (at the time of initial review, continuing review or when new financial interest has been obtained). Misconduct in Research Practices This policy applies to allegations of research misconduct (fabrication, falsification, or plagiarism in proposing, performing, or reviewing research, or in reporting research results. This statement of policy and procedures is intended to carry out CHHS responsibilities under the Public Health Service (PHS) Policies on Research Misconduct, 42 CFR Part 93. This policy does not apply to disputes over authorship or collaboration. This policy applies to any person employed by or otherwise affiliated with CHHS who is the subject of or becomes aware of apparent research noncompliance in connection with research subject to review by the Institutional Review Board (IRB) of Children's Hospital of Wisconsin (CHW). Research Revisions and Amendments It is imperative that ALL changes to an approved research project, during the year for which approval has been granted, be submitted to the IRB for review and approval before initiation. The only exceptions to this requirement are when the change must be made to eliminate apparent immediate hazards to the subject. GENERAL RESEARCH POLICIES/GUIDELINESFor reference regarding the process of conducting research to be reviewed by the Children's Hospital and Health System Institutional Review BoardProcess - Conducting Research on Human Subjects All research conducted in CHW Affiliates facilities that involve children, parents or staff must be reviewed and approved by the CHHS IRB. Students, residents, and fellows must have a CHW medical/dental staff member, CHHS employee, or CRI Investigator listed as a co-principal investigator or co-investigator on the study team. Grants - Obtaining /Accessing Donated Funds from the Children's Hospital Foundation All requests for research funds are subject to a peer review process. Requests for proposals for PIR Grant awards will be issued at various times throughout the year from the CRI. Proposal information and guidelines may be obtained at any time from the Director, CRI at (414) 337-7702 or through the CRI website: http://www.chw.org/research.
This policy describes the Children's Federal regulations govern which research projects require oversight by an Institutional Review Board (IRB). Research activities may be exempt if they meet all applicable criteria of one of six categories set forth by federal regulations (See: 45 CFR 46.101(b)). This means that once the determination has been made that the study is exempt, the IRB will not conduct subsequent reviews of the study. Under federal rules, certain research may not require review by the full board and may be reviewed by the Chair, or by one or more experienced IRB members designated by the IRB Chair. Most, but not all, minimal risk study can be approved through expedited review. In accordance with the human subject protections regulations, this policy outlines the procedures to be used for determining the period for and conducting continuing reviews of research activities falling under the jurisdiction of the CHW IRB. Emergency Use
Assent is a child's affirmative agreement to participate in research. Failure to object, by itself, does not constitute assent. In Billing in Clinical Research Studies It is policy that the study Principal Investigator has the ultimate responsibility for all aspects of the conduct of clinical investigation under his/her control. This includes the responsibility to ensure that all costs, incurred in the conduct of clinical studies are billed as appropriate, in compliance with relevant laws and regulations. Before informed consent may be obtained, the investigator, or person designated by the investigator, in accordance with State law, must provide the prospective subject or the Legally Authorized Representative (LAR) ample time and opportunity to inquire about the details of the study and to decide whether or not to participate. Non-English Speaking Subjects and/or Legally Authorized Representatives (LAR) Non-English speaking subjects will not be excluded from research that may have potential benefits. Investigators will plan for populations that are likely to be recruited into the study and translations will be incorporated into the study design to allow for appropriate recruitment and enrollment. This policy seeks to promote compliance with federal, state and other legal requirements for record retention, effectively utilize storage space, ensure the retained records can be retrieved in a timely manner, and ensure the appropriate and approved method of destruction for the type of record under consideration. ADMINSTRATIVE RESEARCH POLICIES/GUIDELINESFor reference on the processes by which the Children's Hospital and Health System Institutional Review Board operates
IRB Jurisdiction and Authority
This policy only applies to the reporting of disclosed events and does not apply to reports of suspected scientific misconduct. Federal regulations require that unanticipated problems that involve risks to subjects or others, serious or continuing noncompliance with the regulations or the requirements of the IRB and suspension or termination of IRB approval be promptly reported. Policy and Procedure Development and Access All policies and procedures will be developed with input from key stakeholders and reviewed by departments/individuals/committees that are affected by the content of the policy and procedure. Patient care policies are developed by expert interdisciplinary care teams, and where possible, reflect current evidence-based practice to ensure consistent care and promote optimal patient outcomes.3. All policies and procedures will be approved by identified leadership and/or appropriate hospital committee or council. Verification of Clinical Research Personnel A Clinical Research Verification Form must be completed for all Clinical Research Personnel who are not a CHHS employee or Children's Hospital of Wisconsin (CHW) Medical/Dental staff member. Before research work can begin within CHHS or its affiliates, this form must be completed and returned to the Institutional Review Board Office, MS# CCC 670 or fax to (414) 337-4925.
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IRB POLICY GUIDANCEPlease note: All IRB policies currently are being reviewed and revised. Please check with the IRB office if you have questions on any policies or procedures.
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Foster Care and Wards of the StateWards of the State in Human Subjects Research (Policy) *new* March 1, 2011 Children in foster care may be enrolled in clinical research at Children's Hospital of Wisconsin only with permission/consent from their legal guardians. Foster parents typically are not the legal guardians. Contact the foster child's case worker to locate the guardian to seek consent. Given the time involved that may be necessary to locate guardians and meet with them, studies that need near immediate consent for participation (short eligibility windows) are not good fits for foster children to participate. |
Record Retention
*Medical and other records refer to all files of the research study that contain any information about the demographics, financial status, health or other personal attributes of human research subjects participating in the study. |
The approved training program is the Collaborative Institutional Training Initiative in Human Research. Children's Research Institute and Children's Hospital's IRB require completion of this program for all clinical researchers. Biomedical, social behavioral and community partner tracks all are available to accommodate the best fit for training depending on the research focus. Once initial certification is obtained, the CITI Refresher Course must be completed every two years. All new research personnel handling, recording, generating, analyzing or publishing scientific data must complete a one-time training in research ethics. The approved training for research ethics is the Responsible Conduct of Research module developed by CITI. This module focuses on data integrity, authorship, publication rights, mentoring, conflicts of interest and other ethical issues. All research personnel are required to reaffirm their understanding of these ethical standards every two years by reading and signing the Children's Research Institute Code of Ethics. Researchers who previously have completed a code of ethics are not required to complete the RCR module. |
Material Transfer AgreementsA Material Transfer Agreement is a contract that governs the transfer of tangible research materials between two organizations when the recipient intends to use it for his or her own research purposes. The MTA defines the rights of the provider and the recipient with respect to the materials and any derivatives. Materials commonly covered by MTAs include:
The process for obtaining an MTA depends upon who owns the material to be transferred. Ownership is determined by where the materials are housed and who financially supported the collection of the research materials up to this point. If it is determined that Children's Hospital has partial ownership of the data due to its support of the research and/or tissue/data bank, please contact Tom Twinem (ttwinem@chw.org) or Diane Bauer (dbauer@chw.org) of Corporate Compliance for instructions.
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Shipment of Hazardous MaterialsFederal law requires specific training for any person shipping or supervising the process of shipping or causing the shipment of biological or hazardous materials. Online training for shipment of noninfectious diagnostic samples is available through Children's University. If researchers are shipping known infectious materials, additional training is required. The preferred training option for shipping known infectious materials is available commercially from Saf-T-Pak. Trainees must sign their certificates and forward the certificate to Children's Research Institute for signature. Training is not valid without an institutional signature. This training is only required for individuals who ship hazardous materials. Researchers not shipping diagnostic or known hazardous materials are not required to complete this training. Variances"Exempt" human subjects research protocols |
Consent and Assent for Child Participation in Research Policy SummaryDefinitionsChildren Guardian Legally authorized representative Parent
Minors as parents Procedures for Obtaining AssentWhen judging whether children are capable of assent, one must take into account the ages, maturity and psychological state of the children involved. The assent procedure should reflect a reasonable effort to enable the child to understand, to the degree they are capable, what their participation in research would involve.
Documentation of Assent
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HIPAA Compliance in Research Subject ScreeningChildren's Hospital and the Medical College take privacy and HIPAA regulations very seriously. Employees should never access medical records unless job duties require that they do so. The following guidance is intended to help researchers comply with all required reporting of access to patient health information in the conduct of clinical research within Children's Hospital.
Non-incidental contact would include systematic review of individual charts and records to locate eligible subjects. As long as these contacts occurred under a Children's Hospital IRB-approved HIPAA waiver and do not result in recording of information for the purposes of research, the contact is considered in use and is not required to be reported by HIPAA or Wisconsin regulations. If you disclose any PHI from these records outside Children's Hospital, such as for a clinical trial's screening log with subject initials or dates of birth, these are considered HIPAA disclosures and must be reported to medical records. Planned Screening ActivitiesIf you plan to prospectively recruit subjects into your research project as they pass through the hospital or clinics for medical care, your best option is to submit a request for HIPAA waiver with your IRB application. Under this waiver you are permitted to review the charts of prospective study subjects to check for general eligibility as necessary in order to know which protocol, if any, is appropriate to discuss with the subject/family to seek study consent and HIPAA authorization. If you access hospital medical records under this waiver to determine which study to talk to a family about, these are considered uses as the data is not disclosed outside of Children's Hospital. "Uses" are not required to be reported under HIPAA or Wisconsin State regulations. HIPAA disclosure accounting must be filed in a patient's medical record if the researcher is collecting research data under a waiver or "disclosing" that data to a party outside Children's Hospital. There are state reporting requirements for all accesses to official medical records. Children's Hospital Medical Records reports these accesses when requested. Data provided to the state is from electronic access and chart requests. Access to PHI not kept online or in official Children's Hospital Medical Records documents currently cannot be effectively tracked for either clinical care or research purposes. As such, reporting currently is not required for these accesses. |
Investigator Requirements Policy SummaryOnly the following individuals may serve as the principal investigator in the conduct of clinical research at Children's Hospital affiliates.
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FREQUENTLY ASKED QUESTIONSThe following are FAQs with regards to research at Children's Hospital and Health System. If there is a question you would like to appear in this section, please send it to Gwen Miner for consideration.Q: Should my research personnel complete CITI and Ethics training? A: The general rule of thumb is if your team member has patient contact for your research study then CITI and Ethics training is required. If you are not certain, please contact the IRB office at (414) 266-7454 to verify training requirements. Q: Can a minor parent consent to research for their child? A: Minor parents can only give consent for treatment of her child, but they can not consent to research. Consent must be obtained by one of the maternal grandparents of the infant to be enrolled in a research study, unless the minor mother is emancipated by marriage or court order. Q: How do I register for IRBnet? A: Log on to http://www.irbnet.org and click 'New User Registration'. In order for this application to work properly you must choose Children's Q: What if I forget my user name and/or password? A: Next to 'New User Registration' there is a 'Forgot Your Password?" link next to a question mark icon. You will need to know the e-mail address you registered under. The CHW IRB office does not have access to any user's account information. Q: Who do I call for help with IRBNet? A: We now have a dedicated line for IRBNet troubleshooting: 414-337-7818. This is for help with issues pertaining to working with the IRBnet application. If the website is not functioning properly, you may contact IRBNet Support Desk: 877.261.6461; email: support@irbnet.org Q: How do I know if my study was submitted properly? A: Once you have submitted your study, a confirmation page will appear. Your status will change to 'Pending Review' and the 'Project Overview' page will display which board has received your study for review. If your status read: "Work In Progress". Your study has NOT been submitted to the CHW HRRB. Q: How do I get my electronic signature on the study? A: Required sign-offs are done by clicking on the 'Sign this Package' button. This will take you to the 'Sign Package' page. Choose your designation (i.e. Principal investigator) and click 'Sign'. An e-mail alert will be sent to all members who have access to your study. Q: What if I need to amend my study at time of continuing review? Can I put them both in the same package? A: No. Please use separate packages for your continuing review documents and your amendment submission, as these are separate processes. Q: How do I submit an amendment when my study says it is 'Locked"? A: Amendments require you to create a new package. The quickest way to create a new package is to enter the study you wish to amend, click on 'Project History' and then 'Create New Package'. This will give you an empty designer, with your previously submitted documentation below. Upload your revised documents and hit 'Submit'. Q: Where do I send revised documents for a study that is pending approval? A: E-mail the corresponding coordinator, with the revised documents as attachments. Instructions as to where to send the revisions will be contained in your e-mail notice. DO NOT UPLOAD REVISIONS INTO A STUDY DURING REVIEW UNLESS YOU ARE SPECIFICALLY ASKED TO DO SO. Q: What if I can't respond to your request for modifications right away? How long do I have? A: The IRB office policy for receipt of revisions is withdrawal of the corresponding submission after 60 days. Extenuating circumstances (i.e. PI is out of the country) are gladly accommodated, but you must make contact with an IRB coordinator to prevent withdrawal of your submission. |