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TRIAL RISK ASSESSMENT GUIDANCE FOR NSLHD SPONSORED INVESTIGATOR-LED/COLLABORATIVE GROUP CLINICAL TRIALS Purpose This risk assessment guidance is designed to help the coordinating principal investigator capture the risks posed by his or her clinical trial over and above standard clinical care, so that this information can be used to: Develop the sections of the trial protocol relating to risk, either by incorporating the outputs within the protocol or as an appendix. Develop proportionate trial management and monitoring plans. Address certain questions relating to risk and ongoing monitoring of risk in the ethics application. Contents RISK ASSESSMENT GUIDANCE ........................................................................................ 3 PART 1: DEFINING THE PATIENT JOURNEY.................................................................... 3 PART 2: DEFINING THE ADDITIONAL RISKS ASSOCIATED WITH PARTICIPANTS' PHYSICAL INTEGRITY AND SAFETY ................................................................................ 4 a) Risks posed by the intervention(s) being tested .................................................... 4 b) Risks posed by additional study procedures required by the protocol when compared with standard care ............................................................................................ 5 c) Defining plans for the ongoing safety monitoring of the trial................................ 6 PART 3 DEFINING RISKS TO PARTICIPANTS' RIGHTS ................................................... 7 a) Obtaining appropriate consent................................................................................. 7 b) Protecting participants' personal data..................................................................... 8 PART 4: DEFINING RISKS TO DATA INTEGRITY ............................................................. 8 a) Features of a robust design ...................................................................................... 8 b) Risks to the reliability of results............................................................................... 8 c) Data collection and handling methods that may help improve data quality ........ 9 APPENDIX I – RISK ASSESSMENT FORM ...................................................................... 11 Risk Assessment Guidance V2 April 2016 2 RISK ASSESSMENT GUIDANCE Risk assessment is the process of identifying the potential hazards associated with a trial and assessing the likelihood of those hazards occurring and resulting in harm. The purpose of this guidance is to assist investigators to: Clarify the patient journey to ensure accountabilities and liabilities are clearly defined Define the risks and hazards inherent in a clinical trial protocol Develop the appropriate risk mitigation plans This information will help expedite the governance and ethics assessments by providing reassurance that all appropriate plans are in place The risk assessment must be documented using the risk assessment form in Appendix I. PART 1: DEFINING THE PATIENT JOURNEY NSW Health staff conducting trial activities within a Public Health Organisations are covered by Treasury Manage Funds. NSW Health staff conducting trial activities at sites outside the control of a Public Health Organisation (e.g. in private hospitals) are not indemnified by Treasury Managed Funds and should either be covered by their employer or hold separate insurance/indemnity cover for liabilities that may arise. For each clinical trial, in order to assess whether adequate cover is in place and whether the facilities utilised are fit for purpose, it is important to define the patient journey. Example Form DEFINING THE PATIENT JOURNEY Detail all locations (public or private) where trial related activities will be conducted (e.g. consent, treatment/intervention, assessment and follow-up) INTERVENTION SCHEDULE Within 2 weeks prior to first intervention Day 1 (+0-2 hrs.) LOCATION (Public or private) DESCRIPTION OF THE PROTOCOL REQUIRED ACTIVITY AND FACILITIES Royal North Shore (RNS) Oncology Outpatients Trial consent Dr X trial team RNS Private Patient received pre-med and trial treatment Emergency resuscitation equipment present in the treatment room Dr X or Dr Y Patient escorted from the RNS Private to the RNS Oncology Day Unit Dr X trial team PK blood samples collected over a 16 hr. period with patient monitoring Dr X trial team Day 1 (2 hrs.) Day 1 (+2-18 hrs.) RNS Oncology Outpatients Day 1 (+20 hrs.) Risk Assessment Guidance V2 April 2016 Patient discharged (taxi home) 3 PART 2: DEFINING THE ADDITIONAL RISKS ASSOCIATED WITH PARTICIPANTS' PHYSICAL INTEGRITY AND SAFETY a) Risks posed by the intervention(s) being tested OVERALL RISK CATEGORY FOR THE TRIAL Drug/Device Clinical Trials Risk Category Trials involving a drug entered onto the Australian Register of Therapeutic Goods (ARTG) if: - They relate to the licensed range of indications, dosages and forms, or; They involve off-label use, if this off-label use is established practice and supported by sufficient published evidence and/or guidelines (for example in paediatrics or oncology). Trials involving a medical device used within its product indications if knowledge derived from controlled trials already exists. TYPE A Risk comparable to standard medical care 1) Trials involving a drug entered onto the ARTG if: - Such products are used for a new indication (different patient population/disease group) or; - Substantial dosage modifications are made or; - They are used in combinations for which interactions are suspected. 2) Trials involving a drug NOT entered onto the ARTG if: - The active substance is part of a drug that is entered onto the ARTG. 3) Trials involving a medical device used: - Outside the scope of certification or; Within the scope of certification, but no knowledge from controlled trials exists. TYPE B Risk somewhat higher than standard medical care N.B. A ‘TYPE A’ grading may be justified if there is extensive clinical experience with the product and no reason to suspect a different safety profile in the trial population. For paediatric trials, the risk category would be determined by an appropriately qualified individual (TYPE B or TYPE C) 1) Trials involving a drug not entered onto the ARTG. 2) Trials involving a medical device not entered onto the ARTG. N.B. A grading other than ‘TYPE C’ may be justified if there is extensive class data or pre-clinical and clinical evidence. TYPE C Risk markedly higher than standard medical care Other Interventional Clinical Trials For other interventional clinical trials, similar principles should be used to identify the risks associated with the trial intervention(s). Risks should be assessed relative to the standard of care for the relevant clinical condition (i.e. use of the intervention meets local or national protocols) and the level of clinical experience with the intervention rather than the patients’ underlying illness or the recognised adverse effects of the intervention. Risk Assessment Guidance V2 April 2016 4 The following considerations will guide the nature and extent of participant safety monitoring that will be required in the trial: The nature of the drug(s)/device/intervention(s) The potential for known or anticipated toxicities/adverse events Which body systems may be affected Phase of development Study population: healthy volunteers or patients? Is the intervention being used outside its marketing authorisation, e.g. has the dosage regimen/route been modified? If so, what are the implications of any modifications for participants? What are the known/anticipated safety issues and are they all addressed within normal clinical practice (standard care)? If unknown, what are the anticipated risks/other effects based on preclinical data or knowledge of class of drugs/type of device/intervention? Is the duration of use compatible with previous experience? For drugs and biologics, is there a potential risk of dosing errors? Might concomitant medications increase the risk, i.e. interactions? For devices, is there a safety impact resulting from the device not being operated properly or failing to operate? Example ADDITIONAL RISKS ASSOCIATED WITH THE USE OF THE DRUG(S)/DEVICE(S) WHEN COMPARED WITH STANDARD TREATMENT IP/Device ABC 123 Body System/Hazard Metabolic Hyperglycaemia GIT Raised transaminases CVS Prolonged QT interval How will these risks be minimised? Additional blood glucose monitoring X hourly LFTs performed weekly Digital ECG, Holter monitoring X hourly b) Risks posed by additional study procedures required by the protocol when compared with standard care Just as for the risks associated with the trial drug/device/intervention, these should be assessed relative to standard investigations and procedures for the clinical condition of the participants in the trial. For example, if an invasive procedure (such as a biopsy) is normal practice for good quality care, then its inclusion in the study protocol would not be an additional risk to participants. Some issues to be considered in the assessment (this list is not comprehensive): Does the protocol require additional procedures over and above those which would be expected from standard care for the participant’s clinical condition – e.g. blood tests, biopsies, x-rays, lumbar puncture, contrast media scans? o If so, what is the likelihood and magnitude of the harm that might be caused to the participant? Risk Assessment Guidance V2 April 2016 5 What measures might reduce either the likelihood or magnitude of harm to the study participants (for example, qualifications, experience and training of clinical staff at site or the availability of special facilities or equipment)? Example RISKS POSED BY ADDITIONAL STUDY PROCEDURES REQUIRED BY THE PROTOCOL WHEN COMPARED WITH STANDARD CARE Risk Specify concerns Right heart catheterisation Risk of complication: Excessive e.g. bleeding, pneumothorax How will these risks be minimised? Trial sites experienced with the procedure Contact details of a clinical advisor in protocol Data Safety Monitoring Committee convened On-site adverse event monitoring checks c) Defining plans for the ongoing safety monitoring of the trial Once the assessment of risk to participant safety has been made, the requirements for safety monitoring in addition to standard care can be assessed, and risk mitigation strategies can be put into place. A formal Data Safety and Monitoring Board (DSMB) should generally be considered for all trials but are not always be necessary. The following is an extract from FDA guidance relating to Data Safety Monitoring Boards (known as DMCs): "A fundamental reason to establish a DMC is to enhance the safety of trial participants in situations in which safety concerns may be unusually high, in order that regular interim analyses of the accumulating data are performed. We recommend that sponsors consider using a DMC when: The study endpoint is such that a highly favourable or unfavourable result, or even a finding of futility, at an interim analysis might ethically require termination or redesign of the study before its planned completion; There are a priori reasons for a particular safety concern, as, for example, if the procedure for administering the treatment is particularly invasive; There is prior information suggesting the possibility of serious toxicity with the study treatment; The study is being performed in a potentially fragile population such as children, pregnant women or the very elderly, or other vulnerable populations, such as those who are terminally ill or of diminished mental capacity; The study is being performed in a population at elevated risk of death or other serious outcomes, even when the study objective addresses a lesser endpoint; The study is large, of long duration, and multi-center." In studies with one or more of these characteristics, the additional oversight provided by a DSMB can further protect study participants. In other studies, such as short-term studies for relief of symptoms (see 2.2 of FDA Guidance) or early studies (see 4.4.2 FDA Guidance), such committees are generally not practical or warranted. 'For more information, see FDA and EMA Guidance. Other trial oversight measures that may be appropriate include: Independent data review: A specifically convened Study Safety Group and/or the appointment Risk Assessment Guidance V2 April 2016 6 of a Medical Monitor to look at single cases and aggregate safety data for identification and verification of safety signals. Stopping rules and rules for modifying study treatment: E.g. Local clinical review and decision making with a pre-specified decision making algorithm. PART 3 DEFINING RISKS TO PARTICIPANTS' RIGHTS a) Obtaining appropriate consent The ability of trial participants to give fully informed consent depends on: i. Ethical considerations specific to participants as outlined in Section 4 of the National Statement, including capacity of the study population to consent to research, and; The consent process. There should be careful consideration to ensure that the optimal consent process is identified (e.g. numbers of stages or timing). ii. Some issues to be considered in the assessment (this list is not comprehensive): Does the study population include participants such as those outlined in the National Statement Section 4 (e.g. children and young people, people in unequal relationships, people highly dependent on medical care who may be unable to give consent, patients with a mental illness)? If so, are additional safeguards required to optimise the informed consent process? Will foreign language translations of all consent documents and/or foreign language interpretation services be required? Is it likely there will be some participants unable to give fully informed consent (e.g. severe pain, cognitive impairment)? Who will decide whether or not a participant is capable of giving consent, and how (e.g. by a specialist; via a cognitive assessment)? Does the study fall under the scope of the Guardianship Act, and thus require approval from the Guardianship Division (GD) of the NSW Civil and Administrative Tribunal and a specific consent mechanism approved by the GD? Where appropriate, does the consent process allow sufficient time for the participants to consider their decision and discuss it with a third party? What measures might reduce the likelihood that participants may be included in the study without the appropriate level of consent? For example: - Experience and training of clinical staff at site - Additional training by the CI or delegate Example RISKS TO PARTICIPANTS' RIGHTS - The Consent Process Risk Specify concerns Consent Procedure Children between 4 and 10 years Failure to obtain fully informed parental consent Risk Assessment Guidance V2 April 2016 How will these risks be minimised? Study team with paediatric expertise Specific training on the consent/assent process Age-appropriate information sheets reviewed by a patient group for levels of clarity and understanding Central monitoring of consent forms by trial centre (with statement in the information sheet to ensure explicit consent for this activity) 7 b) Protecting participants' personal data It is essential that personal data collected in the course of any clinical trial, even if collected with the consent of the individual, are held securely and are only accessed by authorised staff. Some issues to be considered in the assessment (this list is not comprehensive): Are particularly sensitive data being collected? Are personal identifiers associated with the data? Are data being transferred between organisations? Will consent to access and use the data be obtained? Are data to be sent outside the Australia? Are data protection laws equivalent? Will consent be given to share the data with third parties (if relevant)? Are the data security measures appropriate? Is there any risk of harm associated with dissemination of results? Example RISKS TO PARTICIPANTS' RIGHTS - Protection of Personal Data Risk Specify concerns Breach of confidentiality Identifiable data transferred out of Australia How will these risks be minimised? Confidentiality agreement in place between the hospital and the US institution undertaking the analysis Computer security systems assessed Patient consent sought - An explicit statement that data processing will take place in the US added to the Participant Information Sheet/Consent Form PART 4: DEFINING RISKS TO DATA INTEGRITY In general, the more robust the design, the less dependence there is on quality control and assurance measures to secure reliable results. Appropriate procedures to manage and monitor each trial should be established during trial design and documented in trial management, statistical analysis and monitoring plans,1 and, where relevant, in a DSMB charter. a) Features of a robust design Outcome measures which are objective and simple to assess accurately Effective masking of the intervention when assessing the outcome (when objective outcome measures cannot be used) A properly generated randomisation schedule and robust allocation concealment A simple intervention that is difficult to apply incorrectly b) Risks to the reliability of results Method of randomisation (if applicable): 1 For very simple trials, the trial management and monitoring plans may be incorporated within the protocol Risk Assessment Guidance V2 April 2016 8 Is a robust method in place to generate and periodically confirm the randomisation schedule? Does the method of random allocation of treatment arm prevent prediction before a patient is entered into the trial? For example: centralised randomisation by telephone or web; by allocation of a treatment pack held in pharmacy rather than sealed envelopes stored in clinic; avoidance of known block sizes, particularly in an open label study Masking of the intervention (if applicable): Who needs to be blinded? For example, participant, clinician, coordinators, outcome assessor. Could there be any unwarranted or warranted un-blinding in the course of the trial? Consider potential impacts of who has access to randomisation schedule, methods for emergency unblinding, etc. Intervention: What is the complexity/potential for error (e.g. complex chemotherapeutic regimen with multiple drugs, different doses and dose-adjustments)? Is the process of dose escalation clear (if applicable)? What is the likelihood of non-adherence, and its potential impact? Outcome measures: Degree of objectivity – Is there a potential for standardised assessment with validated methods? Is there a potential for simple external verification (e.g. death certificate, copy of an investigation report)? Is there a potential for unbiased adjudication or review masked to treatment allocation – e.g. Central, blinded assessment of investigations, Independent Endpoint Review? Completeness of follow-up: What is the duration, intensity and complexity of procedures (i.e. the extent to which they differ from normal care of the patient group)? What is the likelihood of non-adherence, and its potential impact? c) Data collection and handling methods that may help improve data quality Well-designed, unambiguous and tested case report forms (CRFs), whether paper or electronic, that focus on the essential data required for the particular trial Procedures that ensure a timely flow of data from investigator sites, and checks of the data, as they are received A user-friendly, validated database (e.g. Electronic Data Capture [EDC] system) Data verification and validation (e.g. a database containing in-built range and consistency checks) Data management and transfer methods that ensure an audit trail is maintained from the primary data to the database, and from the database to the analysis files (with changes that are controlled, attributable, and properly authorised). Valid analyses using appropriate techniques; this may be facilitated by the development of a statistical analysis plan that is peer-reviewed and endorsed by the trial oversight committees Quality control checks of statistical outputs (and publication) Risk Assessment Guidance V2 April 2016 9 Example RISKS TO DATA INTEGRITY Risk Specify concerns Strict eligibility criteria and complex study requirements Increased risk of ineligible participants being entered/ protocol violations How will these risks be minimised? Central review of eligibility prior to randomisation by faxed form containing key de-identified data Protocol-specific training delivered at start-up meeting Periodic monitoring visit to include checks of clinical records of eligibility/endpoint data Annual investigator meeting with issue resolution session and top-up training Guidance adapted with kind permission from the MRC/DH/MHRA Joint Project: Risk-adapted Approaches to the Management of Clinical Trials Risk Assessment Guidance V2 April 2016 10 APPENDIX I – RISK ASSESSMENT FORM The purpose of this form is to assist Investigators define and map the risks associated with a proposed clinical trial. It is recommended that this risk assessment is undertaken before the funding application (if applicable) and in parallel with the development of the trial protocol. Protocol Name/No: Investigator: Sponsor: PART 1: DEFINE THE PATIENT JOURNEY Detail all locations (public or private) where trial related activity will be conducted (e.g. consent, treatment/intervention, assessment and follow-up) SCHEDULE LOCATION (Public or private) DESCRIPTION OF THE TRIAL RELATED ACTIVITY AND FACILITIES Add additional rows as required Risk Assessment Guidance V2 April 2016 11 STAFF MEMBER PART 2: DEFINE THE RISK CATEGORY FOR THE MEDICINAL PRODUCT(S)/DEVICE(S)/INTERVENTION(S) BEING TESTED Justification Type A = Risk comparable to standard medical care Type B = Risk somewhat higher than standard medical care Type C = Risk markedly higher than standard medical care Part 2a: DEFINING THE ADDITIONAL RISKS ASSOCIATED WITH THE USE OF THE DRUG(S)/DEVICE(S)/INTERVENTION(S) WHEN COMPARED WITH STANDARD TREATMENT Adequate systems in place to deal with the risks associated with the drug(s)/device(s)/intervention(s) as part of standard care (usually only Type A Trials) Otherwise, please outline any risks that have been identified and describe the mitigating actions planned (e.g. availability of emergency resuscitation equipment, additional monitoring etc.) Drug/Device Body System/Hazard How will these risks be minimised? Add additional rows as required Part 2b: DEFINING THE RISKS POSED BY ADDITIONAL STUDY PROCEDURES REQUIRED BY THE PROTOCOL WHEN COMPARED WITH STANDARD CARE Risk Specify concerns How will the risks be minimised? Add additional rows as required Risk Assessment Guidance V2 April 2016 12 Part 2c: FOR DRUG/DEVICE TRIALS ONLY: DEFINING PLANS FOR ONGOING SAFETY MONITORING Will a Data Safety Monitoring Board (DSMB) be convened? Yes No If no, please justify and describe any alternative plans for the ongoing safety monitoring of the drug/device (e.g. independent data review/medical monitor) PART 3: RISKS TO PARTICIPANTS' RIGHTS 3a The Consent Process Risk Specify concerns How will the risks be minimised? Add additional rows as required 3b Protection of Personal Data Risk Specify concerns How will the risks be minimised? Add additional rows as required PART 4: RISK TO DATA INTEGRITY Risk Specify concerns How will the risks be minimised? Add additional rows as required Investigator's signature: ____________________________________ Risk Assessment Guidance V2 April 2016 13 Date: ___________________