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DATA
AND SAFETY MONITORING PLANS
PURPOSE
The
purpose of this policy is to define the requirements
for inclusion of a data and safety monitoring plan in
interventional clinical research protocols submitted
to the Partners Human Research Committee (PHRC) for
review and approval. This policy is established to comply
in part with the requirement for IRBs to determine “where
appropriate, the research plan makes adequate provision
for monitoring the data collected to ensure the safety
of subjects” [45 CFR 46.111(a)(6) and 21 CFR 56.111(a)(6)].
POLICY
The
Partners Human Research Committee (PHRC) requires the
inclusion of a data and safety monitoring plan in all
interventional clinical research protocols that involve
more than minimal risk to subjects. The DSMP must be
described in sufficient detail for the PHRC to determine
whether the plan is appropriate for the research. All
human research proposals submitted for review by the
PHRC are subject to this policy.
DEFINITIONS
Interventional
clinical research means any prospective study involving
human subjects that is designed to answer specific questions
about the effects or impact of a particular biomedical
or behavioral intervention (i.e., drugs, devices, treatments
or procedures, behavioral or nutritional strategies),
or designed to answer specific questions about human
physiology.
Minimal
risk means that the probability and magnitude of harm
or discomfort anticipated in the research are not greater
in and of themselves than those ordinarily encountered
in daily life or during the performance of routine physical
or psychological examinations or tests. [45 CFR 46.102(i)
and 21 CFR 56.102(i)]
GUIDANCE ON DATA AND SAFETY MONITORING PLANS (DSMPs)
The
following information is provided to assist investigators
in establishing an appropriate data and safety monitoring
plan for their research.
What
is data and safety monitoring?
Data
and safety monitoring is the process for reviewing
accumulated outcome data from an ongoing clinical trial
to ensure the continuing safety of current participants
and those yet to be enrolled, as well as the continuing
validity and scientific merit of the trial.
What
does a DSMP need to include?
The
Data and Safety Monitoring Plan (DSMP) should include
the following:
1.
The type of data or events that are to be captured under
the monitoring plan.
2.
Who will be responsible for monitoring the data collected,
including data related to unanticipated problems and
adverse events, and their respective roles (e.g., the
investigators, the research sponsor, a coordinating
or statistical center, an independent medical monitor,
a DSMB/DMC, and or some other entity).
3.
The time frames for reporting adverse events and unanticipated
problems to the monitoring entity, such as the research
sponsor, coordinating or statistical center, independent
medical monitor, or DSMB/DMC.
4.
The frequency of assessments of data or events captured
by the monitoring plan, such as points in time or after
a specific number of participants are enrolled.
5.
Definition of specific triggers or stopping rules
that will dictate when some action is required. Stopping
rules are predetermined guidelines that are used
to determine that the study should be altered or stopped,
based on review of study related events that occur during
the conduct of the study. Stopping rules should be specific
about the endpoints that will be used and the decisions
that will be made. Studies may be stopped, for example,
when there is a greater than expected rate of morbidity
or mortality or when the experimental arm of a head
to head comparison study is shown to be better or worse
statistically than the standard care arm.
6.
As appropriate, procedures for communicating to the
IRB, the study sponsor, and other appropriate entities
the outcome of the reviews by the monitoring entity.
What type of DSMP is appropriate?
A
Data and Safety Monitoring Plan should be tailored to
the nature, size, and complexity of the research protocol,
the expected risks of the research, and the type of
subject population being studied. Appropriate DSMPs
may fall anywhere along a continuum from monitoring
by the principal investigator or group of investigators
to the establishment of an independent Data and Safety
Monitoring Board (DSMB)/Data Monitoring Committee (DMC).
1.
Investigator
The
principal investigator could perform this function.
This type of plan is appropriate when the study involves
a small number of subjects; the study is conducted only
at one site; and the range of possible study events
that could have an important impact on the risks and
benefits of research participants is narrow. In such
cases, continuous monitoring of events by the investigator,
and prompt reporting of toxicity to the IRB and, when
applicable, the FDA, the NIH, or others, may be adequate.
2.
Monitor/Monitoring Group
A
qualified and objective individual or group not directly
involved with the design and conduct of the study (e.g.,
safety officer, designated Medical Monitor or Monitoring
Group) could perform this function. These individuals
may or may not be employees of Partners or the study
sponsor. However, conflict of interest is an important
consideration when employees of the study sponsor have
the primary responsibility for monitoring data from
the standpoint of scientific integrity and participant
safety.
This
type of plan is often appropriate to monitor data and
safety for clinical trials that involve:
- endpoints
that are not serious irreversible events;
-
an intervention (for example, to relieve symptoms)
that is not high risk and the effects of which would
not generally be so compelling as to ethically warrant
early termination for effectiveness;
-
short term treatments where effects are evaluated
over periods of a few days to a few months; and
-
a smaller number of subjects where the study is completed
quickly and the risk can be adequately assessed through
simple comparisons.
In
these studies, valuable secondary objectives such as
characterization of the effect (i.e., magnitude, duration,
time to response), assessment of the effect in population
subsets, comparison of several doses/or comparison of
the new product to an active control can be ethically
pursued even when the conclusion regarding the primary
efficacy outcome is clear. Early termination for effectiveness
is rarely appropriate in such studies. First, the study
may be essentially completed by the time any interim
analysis to evaluate effectiveness could be undertaken.
Second, the effectiveness of an intervention, for example,
to relieve symptoms, would not generally be so compelling
as to override the need to collect the full amount of
safety data, or to collect other information of interest
and importance that characterizes the effect.
3.
Data and Safety Monitoring Board (DSMB)/Data Monitoring
Committee (DMC)
An
independent Data and Safety Monitoring Board (DSMB)/Data
Monitoring Committee (DMC) external to the trial organizers
and investigators could perform this function. A DSMB/DMC
is a formal committee that is established specifically
to monitor data throughout the life of a study to determine
if it is appropriate, from both the scientific and ethical
standpoint, to continue the study as planned.
In
general, an independent DSMB/DMC is the most appropriate
way to monitor data and safety for studies that involve:
- Large
numbers of subjects where risk may better
be assessed through statistical comparisons of treatment
groups;
-
Blinded study treatment groups where
the validity and integrity of the study may be adversely
affected by having an individual or group associated
with the design and conduct of the study break the
blind;
- Multiple
clinical sites where there is a need for
investigators to submit reports of adverse events
to a central reporting entity, such as a coordinating
center or statistical center, responsible for preparing
timely summary reports of adverse events for distribution
among the clinical sites, and to the IRBs;
- High
risk interventions where death or severe
disability is a major risk of research participation;
and/or
- Controlled
trials with mortality or major morbidity as a primary
or secondary endpoint where increased morbidity
or mortality may better be assessed through statistical
comparisons of morbidity or mortality among treatment
groups.
DSMBs/DMCs
are typically made up of individuals who have expertise
in the field, experience in the conduct of clinical
trials, and/or statistical knowledge, and who do not
have any serious conflicts of interest, such as financial
interests that could be substantially affected by the
outcome of the trial, strong views on the relative merits
of the interventions under study, or relationship with
the sponsor or those in trial leadership positions that
could be considered reasonably likely to affect their
objectivity.
DSMBs/DMCs
meet at least annually or more often depending on the
nature of the trial being monitored. DSMBs/DMCs can
monitor the timeliness of accrual, the quality of data
collection and management, and the accumulating outcomes
to assure the safety of participants and the scientific
integrity of the study.
Regardless
of data and safety monitoring plans by the sponsor or
others, the principal investigator is ultimately responsible
for protecting the rights, safety, and welfare of subjects
under his/her care and for ensuring that the study is
conducted at his/her investigative site in accordance
with the IRB-approved protocol, and applicable regulations
and requirements of the IRB.
NIH Sponsored Research
The
NIH has established a policy that requires each of its
Institutes and Centers (IC) to have a system for the
appropriate monitoring of the conduct of clinical trials
to ensure the safety of participants and the validity
and integrity of the data for all NIH-supported or conducted
clinical trials. Investigators must comply with monitoring
requirements of the relevant funding agency in addition
to those of the PHRC. The establishment of DSMBs is
required for multi-site clinical trials involving interventions
that entail potential risk to the participants. This
would include, in most cases, phase III clinical trials.
A phase III trial frequently compares a new treatment
to a standard treatment or to no treatment, and treatment
allocation may be randomly assigned and the data masked.
These studies usually involve a large number of participants
followed for longer periods of treatment exposure. While
short-term risk is usually slight, one must consider
the long term effects of a study agent or achievement
of significant safety or efficacy differences between
the control and study groups for a masked study. An
IC may require a DSMB to perform monitoring functions.
This DSMB would be composed of experts relevant to the
study and would regularly assess the trial and offer
recommendations to the IC concerning its continuation.
For more information on NIH Policy, see below:
The
NIH Policy for Data and Safety Monitoring
Further
Guidance On A Data And Safety Monitoring For Phase I
And Phase II Trials
Partners
Human Research Committee Policies and Procedures
Version Date: November 10, 2005
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