Investigational Devices and Humanitarian Use Devices June 2007.
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Transcript of Investigational Devices and Humanitarian Use Devices June 2007.
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Investigational Devices and Humanitarian Use Devices
June 2007
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Investigational device
Any healthcare product that does not achieve its primary intended purpose by chemical action or by being metabolized.
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Devices
Investigational Device Exemption (IDE) – A FDA approved investigational device exemption permits a device to be shipped lawfully for the purpose of conducting investigations
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Significant Risk (SR) Device Study
– A study of a device that presents a potential for serious risk to the health, safety, or welfare of a participant
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Non-significant Risk (NSR) Device Study
A study of a device that does not meet the definition of a SR device and does not present a potential for serious risk to the health, safety, or welfare of participants
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Devices – Investigator responsibilities (Document 53)
The investigator must provide the IRB with:– All available information regarding the use
of the device, including IDE #, if applicable.– When IDE is required, PI must complete
FDA’s Investigator agreement form and send copy.
– All correspondence from the sponsor and/or FDA regarding if SR or NSR
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Investigator responsibilities
– Sponsor’s report of prior investigation– Notify sponsor of the SR decision of the IRB– Describe the ingredients, properties, etc of device.– Complete informed consent forms– Maintain all case report forms– Be accountable for storage, dispensing, tracking,
and oversight of device– Submit continuing reviews, adverse events, or
unanticipated problems, and clinical outcomes of each participant, if known.
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Device – PI responsibility
– Notify IRB of any amendments, unanticipated device effects, serious adverse events, or unanticipated problems.
Notify IRB of study closure
Return all unused products per sponsor’s instructions
Submit final report within three months of termination or completion of study.
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IRB responsibilities
Both SR and NSR studies must go to full board for initial review and approval.– Must determine if SR or NSR (regardless
of sponsor’s determination)– Once determination made, IRB decides
whether to approve the study.– Approval based on same criteria as any
other FDA regulated study
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IRB responsibilities
IRB will determine whether investigator is knowledgeable about regulatory requirements and may require PI (and staff) to attend training sessions designed and conducted by the QA specialist.
This is particularly true if WVU or an individual assumes the sponsor function.
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Exemptions from IDE requirements
A device can be exempt from IDE requirements – a claim for exemption must reference the exemption category
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Exemptions from IDE (see 21 CRF §812.2(c))
In order to be exempt in this category, the device must:– Be noninvasive– Not require an invasive sampling procedure that
presents significant risk– Not by design or intention introduce energy into a
subject– Not be used as a diagnostic procedure without
confirmation of the diagnosis by an established product or procedure
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Another exemption category (21 CFR §812(c)(4))
To qualify under this category, the device must not be for the purpose of determining safety and effectiveness and must not put subjects at risk. It must be limited to:– Consumer preference testing– Testing of a modification; or– Testing of a combination of two or more
devices in commercial distribution.
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Advertising or recruitment
Must not include the term “new treatment” without explaining that the IDE is “investigational, meaning non-FDA approved”
Must not include the promise of “free medical treatment”
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Informed consent and additional requirements
Informed consent with IDEs must meet requirements of the IRB policies and procedures.– There must be no claims of safety or superiority
over other devices.– Must be a statement that the IDE is
“investigational”, that is non-FDA approved.– The FDA must have access to subject’s medical
records.– The participant must know that the IDE is
experimental and benefits are unproven.
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Informed consent and additional requirements
Any unanticipated adverse device effect to participants or other must be reported to the IRB no later than 10 working days after the PI learns of the event.
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Humanitarian Use Devices
Humanitarian Use Device (HUD)- a device that is intended to be used in fewer than 4,000 individual in the United States per year.
Humanitarian Use Device Exemption (HDE)- an FDA approval for a physician to use a HUD in clinical treatment or as the subject of a clinical investigation.
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IRB responsibilities
An HDE must be issued by the FDA in order for a HUD to be used in treatment, diagnosis, or research at WVU– The IRB approval must verify that the use
of the HUD is congruent with current labeling of the device and does not exceed the scope of the FDA indication.
– The IRB may impose more stringent restrictions, if it feels they are necessary
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IRB requirements (HUD)
The initial review must be full-board (IRB may determine that expedited review at subsequent continuing reviews is adequate)
The IRB will not require informed consent since the use is not considered research. The IRB, however, requires that the patient be informed of the use by a cover letter.
The IRB will establish that the investigator and research team are trained; it not the IRB will require that PI and research team receive training on regulatory requirements for HUD by QA specialist.
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IRB responsibilities
At the present time, the IRB is requiring that a continuing protocol must be submitted at three-month intervals.
The continuing request must discuss:– the number of times the HUD has been used;– any problems associated with its use– any information received from the sponsor or the
FDA concerning the use of the HUD at other sites.
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IRB responsibilities
The report must also provide a chronological listing of all uses
A copy of the hospital consent that indicates this is for an HUD
A copy of the note in the patient’s chart stating that the patient received the cover letter.
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HUD – Investigator’s responsibilities
The physician must use the HUD only in accordance with the labeling of the device and in the designated population of FDA approval.
Only the holder of the HDE agreement with the FDA must use the HUD
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PI responsibilities
Must report any unanticipated problems or any information that the HUD contributed to the death or serious injury of a patient to the FDA and the IRB promptly.
Report any FDA actions to the IRB Report any modifications to HUD or its clinical
use to the IRB Notify the patient(s) of any new information
concerning the use and safety of the HUD
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PI responsibilities
Prepare a cover letter to be given to patients receiving a HUD– Explain a HUD and what that means– List all risks and procedures associated with the
use of the HUD– Inform the patient that the device is approved only
for certain uses and that the patient meets the conditions of its intended use.
– Inform the patient that the costs will be charged to the patient or the patient’s insurance
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Emergency use of FDA regulated devices The use of an investigational device
with a human subject in an immediate serious life-threatening situation in which no standard acceptable treatment is available and in which there is not sufficient time to obtain IRB approval.
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Procedure
If it is anticipated that a device might be used in an emergency use situation, and there is sufficient time, the physician should provide sufficient information to the IRB so that it could determine if the anticipated use meets the FDA regulatory requirements.
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Procedure
However, emergency use usually takes place without time for IRB review.
The physician should:Obtain concurrence of IRB Chair if time permits.Obtain informed consent from the patient or
legal representative, if possible.Obtain independent assessment by an
uninvolved physician.Obtain institutional clearance
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Procedure after use:
Should notify the holder of the IDE or HDE.
The use must be reported to the IRB within 5 working days.
Information on use and patient’s condition to the holder of the IDE or HDE, who will make a report to the FDA.