SUBJECT: INSTITUTIONAL REVIEW BOARD (IRB) - HUMANITARIAN USE DEVICES

Similar documents
HUMANITARIAN USE DEVICES 3/8/2016

H-20 Page 1 of 5. Institutional Review Board Policy Manual HUMANITARIAN USE DEVICE (HUD) REQUIREMENTS

Requirements for Humanitarian Use Device (HUD)

The Children s Hospital of Philadelphia Committees for the Protection of Human Subjects Policies and Procedures Determination of IND/IDE Requirement

Copyright. Jeremiah J. Kelly (2015). All rights reserved. Further dissemination without express written consent strictly prohibited.

Title: Review of Medical Devices Page: 1 of 5 Written by:

11.0 FDA-Regulated Research Research Involving Investigational Drugs and Biologics

11.0 FDA-Regulated Research Research Involving Investigational Drugs and Biologics

Medidée Services SA. Nano-Tera.ch. 05 February 2015 part 8. PMA, 510k, IDE. Pierre-Alain Sommer

Research Involving FDA Regulated Devices Policy 606 Version: 1.1 POLICY

11.0 FDA-Regulated Research

13 FDA-Regulated Research

Expanded Access (including Emergency Use & Humanitarian Use Devices)

1 Purpose. 2 Procedure. Title: FDA-Regulated Research. SOP Number: 1301 Effective Date: June 2, Previous Version Dates:

FDA-Regulated Research

IDENTIFYING & MANAGING GCP COMPLIANCE RISKS FOR THE PHARMACEUTICAL, BIOTECH & DEVICE INDUSTRIES

MANUAL: Administrative Policy & Procedure Manual POLICY:

To document the review procedures for a submission regarding compassionate/treatment use of investigational drugs, biologics and devices.

INVESTIGATIONAL DEVICES & DRUGS. What is an IRB to do?

COVERAGE ELIGIBILITY OF SERVICES ASSOCIATED WITH A CLINICAL TRIAL

MCW Office of Research Standard Operating Procedure

Devices 3/26/2014. Investigational Devices. What is considered a device?

Office for Human Subject Protection. University of Rochester

HUDs and HDEs: Common Misconceptions and Current Challenges. By Stephen P. Rhodes and Elisa D. Harvey, MS, PhD, DVM

Guidance on Requirements of the Sponsor and the Investigator as a Sponsor

Clinical Research with Drugs/Biologics and Devices & Good Clinical Practices

Expanded Access. to Investigational Drugs & Biologics. for Treatment Use

Device research sponsors, whether companies or investigators, are held responsible for meeting the same regulations.

3.1. Overall Principal Investigator (PI), who holds the IDE and/or is the Sponsor

CHECKLIST: Pre-review

Streamlining IRB Procedures for Expanded Access

1 of 5 11/6/2014 3:08 PM

Subpart H [Reserved] Subpart I Expanded Access to Investigational Drugs for Treatment. 21 CFR Ch. I ( Edition)

1 GENERAL INFORMATION FOR ALL IRB MEMBERS FOR CONVENED MEETINGS Information for Other Business items Educational Materials

Guidance for Industry and FDA Staff Procedures for Handling Post-Approval Studies Imposed by PMA Order

The Institutional Review Board (IRB) Manual

ORC Sponsor-Investigator IDE Checklist

U.S. Food and Drug Administration (FDA) Regulatory Pathways for Medical Devices

Title: IRB Purpose, Principles and Responsibilities Page: 1 of 5

Rules of Human Experimentation

What s New in GCP? FDA Clarifies, Expands Safety Reporting Guidance

INVESTIGATOR HANDBOOK

Expanded Access and the Individual Patient IND

University of California, Irvine Human Research Protections Standard Operating Policies and Procedures

UT SOUTHWESTERN MEDICAL CENTER AT DALLAS INSTITUTIONAL REVIEW BOARD. Emergency Use of an Investigational Drug, Biologic or Device

The Role of the IRB in Clinical Trials: What Patients and Families Need to Know. Marjorie A. Speers, Ph.D. Executive Director, WCG Foundation

Investigator s Handbook

SOP#: Original Approval Date: 3/25/13

USE OF INVESTIGATIONAL DRUGS OR BIOLOGICS IN HUMAN SUBJECTS RESEARCH

Guidelines: c. Providing the investigational drug for the requested use will not interfere with the initiation, conduct, or completion of clinical

Off-Label Use Congress and FDA must balance: The need to regulate manufacturer promotion of off-label use of devices; and The need for and availabilit

State of the Clinical Trials Industry

Distinguishing Medical Device Recalls from Product Enhancements and Associated Reporting Requirements

Clinical Trials and the Code of Federal Regulations. Darlene Kitterman, MBA Director, Investigator Support & Integration Services September 24, 2014

FDA approval of emergency expanded access use may be requested by telephone, facsimile, or other means of electronic communications.

US Special Operations Command Human Research Protection Office

Draft Guidance for Industry and FDA Staff Premarket Notification [510(k)] Submissions for Medical Devices that Include Antimicrobial Agents

3.1. Overall Principal Investigator (PI), who holds the IND and is the Sponsor.

ROLE OF THE RESEARCH COORDINATOR Investigational New Drug Application-Sponsor Responsibilities 21CFR Part , subpart D

3.1. Overall Principal Investigator (PI), who holds the IND and is the Sponsor.

I. Purpose. II. Definitions. Last Approval Date

POLICY FOR RESEARCH INVOLVING DRUGS, BIOLOGICS OR DEVICES 6/1/2011

What is an Investigational Drug? 21CFR312.3(b)

Incorporating FDA Regulatory Thinking into Plans for Medical Devices

MCW Office of Research Standard Operating Procedure

Volunteering for Clinical Trials

Guidance for Sponsors, Institutional Review Boards, Clinical Investigators and FDA Staff

Definitions and Acronyms

Regulatory Overview of Proposed LDT Framework. FDA Concerns. Background. FDA Proposed Regulatory Approach. By Ben Berg, Meaghan Bailey, RAC

INVESTIGATIONAL DEVICE EXEMPTION APPLICATION. IDE Title (if title being used)

Standard Operating Procedures Guidelines for Good Clinical Practice

Investigator-Initiated Research

Question Yes No. 1. Is the study interventional (a clinical trial)? Study Type data element is Interventional

Compassionate Use Navigator Information for Physicians

Draft Guidance for Industry, Clinical Laboratories, and FDA Staff. In Vitro Diagnostic Multivariate Index Assays

Clinical Trials and Investigational Device Exemptions

The Intersection of Genomics Research and the IDE Regulation

JUN WARNING LETTER

REGULATORY ISSUES: HOW TO APPLY FOR AN IND. Penny Jester and Maaike Everts

Title: Department: Approved by: Director, Human Research Review and Compliance

Expanded Access and the Individual Patient IND

Agenda: Opportunities in Developing Orphan Drug Products. Mukesh Kumar, PhD, RAC

EVENT TYPE TIMING REQUIRED FORM

Investigational New Devices

Human Research Protection Program Policy

Investigator-Initiated INDs

Point-of-Care Cell Processing Devices A Manufacturer s Perspective Clinical trials, regulatory compliance, and commercialization.

Human Research Protection Program Guidance for Human Research Determination

Investigator Manual January 23, 2014

TOP 10 INVESTIGATOR RESPONSIBILITIES WHEN CONDUCTING HUMAN SUBJECTS RESEARCH

FDA-2011-D-0787 Johnson & Johnson Family of Companies 2 P age

Summary Pediatric Device Stakeholders Meetings June 28, October 4 & 25, and November 1, 2004

Human Research Protection Program Policy

Florida State University Policy 7-IRB-

Introduction to US FDA CDRH Regulations, PMA

SELF-ASSESSMENT CHECKLIST

RECRUITING OF AND ADVERTISING FOR SUBJECTS

US FDA: CMC Issues for INDs

Protocol Submission Form

DRAFT GUIDANCE. This guidance document is being distributed for comment purposes only. Document issued on: July 14, 2011

Transcription:

This policy applies to the following entity(s): Children s Hospital of Wisconsin Children s Hospital and Health System, Inc. Administrative Policy and Procedure Children s Research Institute SUBJECT: INSTITUTIONAL REVIEW BOARD (IRB) - HUMANITARIAN USE DEVICES PURPOSE: To define the Children s Hospital of Wisconsin (CHW) Institutional Review Board (IRB) requirements for review of Humanitarian Use Devices (HUDs). TABLE OF CONTENTS: I. Definitions. 1 II. Policy. 2 B. FDA... 2 III. Protocol Submission to the IRB. 3 IV. Continuing Review. 4 V. Unanticipated Event Reporting 4 VI. Using HUDs in an emergency use setting. 4 VII. Use of an HUD when there are no alternatives. 4 VIII. References 5 I. DEFINITIONS A. Humanitarian Use Device (HUD) As defined in 21 CFR 814.3(n), a HUD is a medical device intended to benefit patients in the treatment or diagnosis of a disease or condition that affects or is manifested in fewer than 4,000 individuals in the United States per year. B. Humanitarian Device Exemption (HDE) A Humanitarian Device Exemption (HDE)is an application that is similar to a premarket approval (PMA) application, but is exempt from the effectiveness requirements of sections 514 and 515 of the Food, Drug, and Cosmetic Act (the Act). FDA Supersedes: None Page 1 of 5

approval of an HDE authorizes an applicant to market a Humanitarian Use Device (HUD), subject to certain profit and use restrictions set forth in section 520(m) of the Act. Specifically, as described below, HUDs cannot be sold for profit, except in narrow circumstances, and they can only be used in a facility after an IRB has approved their use in that facility, except in certain emergencies. II. POLICY A. A device manufacturer s research and development costs could exceed its market returns for diseases or conditions affecting smaller patient populations. The U.S. Food and Drug Administration therefore, developed and published the Humanitarian Device Exemption (HDE) regulation (21 CFR 814) to provide an incentive for the development of Humanitarian Use Devices (HUDs) for use in the treatment or diagnosis of diseases affecting these populations. The regulation provides for the submission by a manufacturer of a HDE application. An HDE application is not required to contain the result of clinical investigations demonstrating that the device is effective for its intended purpose. The application, however, must contain sufficient information for FDA to determine that the device does not pose an unreasonable risk of illness or injury, and that the probable benefit to health outweighs the risk of illness or injury from its use. Additionally, the manufacturer must demonstrate that no comparable devices are available to treat or diagnose the disease or condition, and that they could not otherwise bring the device to market. FDA approval of a manufacturer s HDE application authorizes marketing of an HUD B. The FDA requires IRB review and approval for local use of an HUD (21 CFR 814. 124), including Full Committee review and at a minimum, annual continuing review, which may be expedited. This is the only situation where federal regulations require IRB approval and monitoring of an activity that is clearly not research. However, if the HUD is being used in research or in a clinical investigation the IRB must comply with all FDA regulations related to IRB review of research. C. FDA regulations require that the investigator and/or sponsor clearly state that the device is an HUD and that the effectiveness of the device has not been demonstrated. D IRB review of a HUD should include review of the letter or document from the device sponsor that includes the following 10 items: 1) Generic and trade name of the device Supersedes: None Page 2 of 5

2) FDA HDE # 3) Date of HUD designation 4) Indications for the use of the device 5) Description of the device 6) Contraindications, warnings, and precautions for use of the device 7) Adverse effects on health 8) Alternative practices and procedures 9) Marketing history 10) Summary of studies using the device The HDE application usually contains this information. E. FDA regulations do NOT require informed consent to use an HUD, unless the HUD is to be used as part of a research protocol. FDA regulations do not discourage IRBs from requiring informed consent. Many IRBs have required IC stating the unproved status of the device. The Children s Hospital of Wisconsin IRB has determined that Informed Consent must be obtained from patients or guardians of patients who are to receive an HUD at CHHS facility. In the event the subject is a minor, assent must also be obtained in addition to parent/guardian consent. The consent is to describe the status of the device and the intended use. In addition if an investigator proposes to collect prospective data when the device is used, this data collection should be addressed in the consent. The consent also needs to indicate that the effectiveness of the device for a specific indication has not been demonstrated. The document should not use the term research to refer to the use of the device. Unless the purpose of the IRB submission is indeed research. It is also suggested that the investigator provide the HUD brochure (prepared by the manufacturer, if available) to the patient, and review it with the patient prior to use. III. PROTOCOL SUBMISSION TO THE IRB An investigator must apply for IRB review before using an HUD at CHW. The materials submitted for review are listed in the HUD/HDE submission checklist These materials should be submitted to the IRB in the same manner as other research protocols. A. The protocol submitted to the IRB should contain the following: 1) Letter or document from the device sponsor that documents the 10 items listed above. 2) Summary from the investigator and/or clinician, which describes the intended local use of the HUD. This summary could follow Supersedes: None Page 3 of 5

the format provided in the list referred to above, so that all relevant information about the device and its use is available to the IRB. 3) Marketing materials, brochures, etc. available from the device sponsor. 4) CHW format consent forms for use of the HUD. IV. CONTINUING REVIEW Continuing IRB review is required and may occur using expedited procedures if the HUD is not being used as part of a research study. At the time of continuing review, the investigator/clinician must report all HUD uses and activities for the previous year. V. UNANTICIPATED EVENT REPORTING Just as with an investigational product, adverse events and unanticipated problems that results from the use of a humanitarian device are subject to Unanticipated problem reporting requirements. FDA regulations require that if a physician or health care provider receives or otherwise becomes aware of information, from any source, that reasonably suggests that a HUD has or may have caused or contributed to the death or serious injury of a patient, the physician or health care provider must report such findings to the FDA as soon as possible, but no later than 10 working days after the Investigator first learns of the effect or problem. This reporting is in addition to, not a substitute for, FDA and/or manufacturer reporting requirements in accordance with 21 CFR 803.30. VI. USING HUD s IN AN EMERGENCY USE SETTING If a physician in an emergency situation determines the use of an HUD outside of the approved indicated use represents an opportunity to prevent serious harm or death to a patient, a HUD may be used in accordance with the emergency exemption procedures (see emergency exemption policies) This use would need to be reported to the sponsor and the investigator is responsible for all reporting as consistent with emergency use procedures. VII. USE OF A HUD WHEN THERE ARE NO ALTERNATIVES AND IT IS NOT AN EMERGECY SETTING Supersedes: None Page 4 of 5

If an investigator wants to use a HUD outside its approved indication(s) but it is not an emergency situation, the investigator should contact the IRB office for guidance. Investigators will likely need to submit the same information required for an emergency exemption and also will be required to contact the HDE holder for approval prior to IRB submission for use. References Food & Drug Administration, (2012). Regulations regarding Humanitarian Use Devices, FDA 21 CFR 814 online: http://www.accessdata.fda.gov/scripts/cdrh/cfdocs/cfcfr/cfrsearch.cfm?fr=814.102 Food & Drug Administration, (2012). Regulations regarding Humanitarian Use Devices, 21 CFR 803.30 online: http://www.accessdata.fda.gov/scripts/cdrh/cfdocs/cfcfr/cfrsearch.cfm?fr=803.30 Approved By the Institutional Review Board 4/2012 Supersedes: None Page 5 of 5