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ClinicalTrials: What You Need to Know

ClinicalTrials.gov: What You Need to Know. Kristina Elliott, MLS – Web Content & Outreach Coordinator, ClinicalTrials.gov [Contractor, ICF]. Agenda. Background and Overview Legal & Policy Requirements 42 CFR Part 11 NIH Policy on the Dissemination of NIH-Funded Clinical Trial Information

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ClinicalTrials: What You Need to Know

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  1. ClinicalTrials.gov:What You Need to Know Kristina Elliott, MLS – Web Content & Outreach Coordinator, ClinicalTrials.gov [Contractor, ICF]

  2. Agenda • Background and Overview • Legal & Policy Requirements • 42 CFR Part 11 • NIH Policy on the Dissemination of NIH-Funded Clinical Trial Information • Quality improvement efforts

  3. Background & Overview

  4. About ClinicalTrials.gov

  5. Registered Studies by Location

  6. Types of Registered Studies

  7. What’s in a record? • Registration section • Submitted at initiation • Representation of one study (unique record per study) • Summarizes information from trial protocol • Recruitment details • Funding information

  8. What’s in a record? • Results section • Submitted after trial completion • Summarizes trial results • Full study protocol & statistical analysis plan (SAP)* • Not required for every study (depends on applicable law/policy) • An option for every study • ~25% of Completed/Terminated studies have results • Registration section • Submitted at initiation • Representation of one study (unique record per study) • Summarizes information from trial protocol • Recruitment details • Funding information *Required for studies submitting results with a Primary Completion Date on or after Jan. 18, 2017

  9. How does it happen? • Data entered by study Sponsor before enrollment in the Protocol Registration and Results System (PRS) • ClinicalTrials.gov staff review records before posting for based on Quality Control criteria • Reviewed for apparent errors, deficiencies, and inconsistencies • Accuracy, safety, or scientific validity/relevance not reviewed by ClinicalTrials.gov • Sponsors and investigators responsible for ensuring studies follow applicable laws and regulations

  10. Public Benefits of Access to Clinical Trial Information • Meet ethical obligation to human subjects (results will be used to help others) • Inform future research and funding decisions • Mitigate information bias (e.g., non-publication) • Evaluate research integrity (e.g., adherence to protocol) • Prevent duplication of trials of unsafe or ineffective interventions • Provide access to data to support evidence-based medicine • Enhance patient access to enrollment in clinical trials All contribute to increased public trust in clinical research

  11. Laws, Regulations & Policies

  12. Brief History - Select U.S. Laws and Policies • 1997: Food and Drug Administration Modernization Act (FDAMA) • 2000: ClinicalTrials.gov launched • 2005: International Committee of Medical Journal Editors (ICMJE) • 2007: Food and Drug Administration Amendments Act (FDAAA) • 2008: FDAAA results submission requirements start • 2013: Centers for Medicare & Medicaid Services (CMS) • 2014: National Institutes of Health (NIH) Policy Proposal & FDAAA Notice of Proposed Rulemaking (NPRM) • 2017: NIH Policy on Dissemination of Clinical Trial Information & Final Rule for FDAAA (42 CFR Part 11) https://clinicaltrials.gov/ct/manage-recs/resources

  13. 3 Key Reasons to Register and Report Results • Required by most medical journals (ICMJE) • Registration required for all clinical trials (all interventions) to be considered for publication • Results reporting encouraged, even if not required by law • Effective 2005 • Federal law (FDAAA 801)and regulations (42 CFR Part 11) • Registration & results submission for FDA-regulated products studied in “applicable clinical trials” • Federal law effective September 2007 • Regulations effective January 18, 2017 • Expectation for NIH-supported clinical trials • Registration & results submission for all NIH-funded clinical trials, even if not subject to 42 CFR Part 11 • Policy effective January 18, 2017

  14. Many “local” policies • Know your funder’s and organization’s requirements! • Example: Department of Veterans Affairs Office of Research and Development • “… all clinical trials that ORD sponsors are registered with … ClinicalTrials.gov.” • “VA investigators … must have their clinical trial registered before funding will be released and prior to enrolling participants into their study.” • http://www.research.va.gov/resources/ORD_Admin/clinical_trials/

  15. FDAAA 801 & 42 CFR Part 11

  16. Overview of the Final Rule (42 CFR Part 11) • Clarifies terms and provisions in the statute (FDAAA) • ACT determination approach • Expands basic requirements • Results information required for ACTs of unapproved products • Full protocol and statistical analysis plan required with results (will be made public) • Other Issues • Narrative summaries not required Zarin et al. N Engl J Med; 2016 Sept 16.

  17. What makes a study an Applicable Clinical Trial (“ACT”)? • Interventional study (clinical trial)* *If the study is a pediatric postmarket surveillance of a device product as required by FDA under Section 522 of the Federal Food, Drug, and Cosmetic Act, it meets the definition of an applicable device clinical trial (42 CFR 11.22(b)) IND = Investigational New Drug application; IDE = Investigational Device Exemption

  18. What makes a study an Applicable Clinical Trial (“ACT”)? • Interventional study (clinical trial)* • Studies a drug, biologic, or device product regulated by the U.S. FDA *If the study is a pediatric postmarket surveillance of a device product as required by FDA under Section 522 of the Federal Food, Drug, and Cosmetic Act, it meets the definition of an applicable device clinical trial (42 CFR 11.22(b)) IND = Investigational New Drug application; IDE = Investigational Device Exemption

  19. What makes a study an Applicable Clinical Trial (“ACT”)? • Interventional study (clinical trial)* • Studies a drug, biologic, or device product regulated by the U.S. FDA (at least one of the following): • Site in the U.S. (or U.S. territory); or • Study conducted under an IND/IDE; or • Product manufactured in and exported from the U.S. for study in another country *If the study is a pediatric postmarket surveillance of a device product as required by FDA under Section 522 of the Federal Food, Drug, and Cosmetic Act, it meets the definition of an applicable device clinical trial (42 CFR 11.22(b)) IND = Investigational New Drug application; IDE = Investigational Device Exemption

  20. What makes a study an Applicable Clinical Trial (“ACT”)? • Interventional study (clinical trial)* • Studies a drug, biologic, or device product regulated by the U.S. FDA (at least one of the following): • Site in the U.S. (or U.S. territory); or • Study conducted under an IND/IDE; or • Product manufactured in and exported from the U.S. for study in another country • Not Phase 1 trial (drug or biologic) or a “small feasibility study” (device) *If the study is a pediatric postmarket surveillance of a device product as required by FDA under Section 522 of the Federal Food, Drug, and Cosmetic Act, it meets the definition of an applicable device clinical trial (42 CFR 11.22(b)) IND = Investigational New Drug application; IDE = Investigational Device Exemption

  21. What makes a study an Applicable Clinical Trial (“ACT”)? • Interventional study (clinical trial)* • Studies a drug, biologic, or device product regulated by the U.S. FDA (at least one of the following): • Site in the U.S. (or U.S. territory); or • Study conducted under an IND/IDE; or • Product manufactured in and exported from the U.S. for study in another country • Not Phase 1 trial (drug or biologic) or a “small feasibility study” (device) *If the study is a pediatric postmarket surveillance of a device product as required by FDA under Section 522 of the Federal Food, Drug, and Cosmetic Act, it meets the definition of an applicable device clinical trial (42 CFR 11.22(b)) IND = Investigational New Drug application; IDE = Investigational Device Exemption

  22. ACT Checklist and Elaboration • Checklist: 4 questions to determine whether study is an ACT • Elaboration: Detailed explanations for each of the questions • Specific to both drug and device studies • Access at: https://prsinfo.clinicaltrials.gov

  23. I don’t use FDA-regulated products in my research! But I only do Phase 1 trials!

  24. NIH is funding my research!

  25. NIH Policy on the Dissemination of NIH-Funded Clinical Trial Information • NIH-funded awardees and investigators expected to submit the same registration and results information in the same timeframes as those subject to the statute and rule 42 CFR Part 11] • Applies to grant and contract applications for funding submitted on or after January 18, 2017 that request support for the conduct of a clinical trial that is initiated on or after January 18, 2017  https://grants.nih.gov/grants/guide/notice-files/NOT-OD-16-149.html

  26. Does Your Human Subjects Research Study Meet the NIH Definition of a Clinical Trial? A research study in which one or more human subjects are prospectively assigned to one or more interventions (which may include placebo or other control) to evaluate the effects of those interventions on health-related biomedical or behavioral outcomes.

  27. Does Your Human Subjects Research Study Meet the NIH Definition of a Clinical Trial? A research study in which one or more human subjects are prospectively assigned to one or more interventions (which may include placebo or other control) to evaluate the effects of those interventions on health-related biomedical or behavioral outcomes. Decision tool: https://grants.nih.gov/ct-decision/index.htm

  28. Your study does NOT have to be an ACT or funded by NIH to register (or submit results) on ClinicalTrials.gov!

  29. Requirements for ACTs and NIH trials

  30. General Requirements • Register the trial in ClinicalTrials.gov no later than 21 days after enrollment of the first participant 2. Update the trial in ClinicalTrials.gov at least once every 12 months (some information within 15 or 30 days of change*) 3. Submitsummary results (including adverse events) for certain trials not later than 1 year after the trial’s Primary Completion Date • Delays allowed in some circumstances Final Rule for Clinical Trials Registration and Results Information Submission (42 CFR Part 11); update requirements described in 42 CFR 11.64*

  31. Closer Look: ClinicalTrials.gov Study Record • Registration section • Summarizes trial protocol: • Condition(s) • Interventions • Study Design • Outcome Measures • Recruitment information: • Eligibility criteria • Study locations • Contact information • Secondary IDs: NIH grant or other funding numbers • Results section • Summarizes trial results • Participant flow • Baseline characteristics • Primary and secondary outcome measures (including statistical analyses) • Adverse events • Full protocol and statistical analysis plan (trials with Primary Completion Date > Jan 18, 2017)

  32. General Results Clarifications • Summary results at the end of the study • No interim or “real-time” reporting • No participant-level reporting • Summary results submission generally not required for: • Registered non-ACTs (e.g., observational studies) • Clinical trials completed by December 26, 2007 • ACTs of products that are not approved as of the Primary Completion Date (PCD), when the PCD is before January 18, 2017 (final rule effective date) * http://www.icmje.org/publishing_10register.html

  33. Results: Relationship with Publication (ICMJE) • Submitting summary results to ClinicalTrials.gov will not interfere with publication* (but, failing to register the trial will!) “the ICMJE will not consider results data posted in the tabular format required by ClinicalTrials.gov to be prior publication.”

  34. Online publication of a NEJM original article reporting the results of the FLAME Trial (NCT01782326) explicitly linked to results information posted on ClinicalTrials.gov: “The protocol includes a list of 27 secondary outcome measures; we report data for 19 of these outcomes here and in Sections 4 and 5 in the Supplementary Appendix. The outcomes for which data are not reported herein can be found at ClinicalTrials.gov (https://clinicaltrials.gov/ct2/show/results/NCT01782326).” Source: Wedzicha JA, et al. N Engl J Med. 2016 Jun 9;374(23):2222-34.

  35. Study Documents • Can be submitted at any time • Full Protocol and Statistical Analysis Plan (SAP) required with results information • Informed Consent Form optional (81 FR 64999) • BUT, new Common Rule requirements for informed consent form posting • As of October 2019, over 7,300 study records with at least one “document” https://clinicaltrials.gov/ct2/show/NCT02862600

  36. Protocol and Statistical Analysis Plan • Required with results if Primary Completion Date is on or after January 18, 2017) • Including all amendments approved by human subjects review board (if applicable) before time of submission that apply to all locations • Cover page with Official Title, NCT number, and date of document • May redact: • Names, addresses, and other personally identifiable information • Trade secret and/or confidential commercial information (unless otherwise required to be submitted under this part) • Format: Portable Document Format Archival (PDF/A) • Will be made public on ClinicalTrials.gov record Final Rule Section III.D. Submission of Protocols and Statistical Analysis Plans (81 FR 64999 - 65002)

  37. Informed Consent Form:Revised Common Rule (45 CFR 46.116(h)) • Specific to any clinical trial conducted or supported by a Common Rule department or agency • Requirement: one consent form be posted on a publicly available federal website within a specific time frame • Federal websites that may be used to satisfy the requirement: • ClinicalTrials.gov (for registered clinical trials) • Regulations.gov (Docket ID: HHS-OPHS-2018-0021) https://www.regulations.gov/docket?D=HHS-OPHS-2018-0021

  38. Image: einalem from Leeds [CC BY-SA 2.0 (https://creativecommons.org/licenses/by-sa/2.0)]

  39. 42 CFR Part 11: Potential Consequences of Non-Compliance • NIH (or other HHS agency) must verify submission of information before releasing any remaining funds for a grant or funds for a future grant and provide opportunity to remedy • FDA may provide responsible parties with a Notice of Noncompliance and allow 30 days to remedy • FDA authorized to assess civil monetary penalties up to $10,000/day (amounts adjusted going forward) • FDA Draft Guidance - Civil Money Penalties Relating to the ClinicalTrials.gov Data Bank (Sept 2018); https://www.fda.gov/RegulatoryInformation/Guidances/ucm607652.htm • FDA may initiate civil or criminal proceedings • Notices of non-compliance included in the public record Final Rule Section IV. E.1. What are the potential legal consequences of not complying with the requirements of this part? - §11.66

  40. STAT News – December 13, 2015 • Assessed whether institutions reported results and whether they were reported “on time” • Analysis included trials of unapproved drugs or devices, if a certification was not on file • “The worst offenders included four of the top 10 recipients of federal medical research funding from the National Institutes of Health: Stanford, the University of Pennsylvania, the University of Pittsburgh, and the University of California, San Diego.” http://www.statnews.com/2015/12/13/clinical-trials-investigation/

  41. STAT News – January 9, 2018 • Update to 2015 article • 72% of required results posted in 2017 v. 58% in 2015 • “… biggest gains were at research institutions singled out for woeful reporting in the earlier STAT investigation…” • Memorial Sloan Kettering • University of Pittsburgh • Stanford University

  42. Unreported trial of the week • “Every week, we will publish a brief piece describing one important unreported trial that could be used to improve patient care … Our initial sample of unreported trials will be drawn from those recently breaching the FDA Amendments Act of 2007 (FDAAA).” • http://blogs.bmj.com/bmj/category/unreported-trial-of-the-week • Began March 29, 2018 http://fdaaa.trialstracker.net /

  43. Ensuring Accuracy & Quality • Accurate, up-to-date, and understandable information should be submitted • ClinicalTrials.gov Quality Control Review looks for: • Logic and internal consistency • Apparent validity • Meaningful entries • Formatting

  44. Major Issue Examples: Outcomes • “Time to response: 12 participants” • “Time to survival” • “823 hours of sleep/day”

  45. Review Criteria and Examples Sample: 215 results submissions • Invalid or inconsistent unit of measure (40%) • Insufficient information about a scale used for assessment (26%) • Internal inconsistency (24%) • Narrative results/conclusions (22%) • Unclear baseline or outcome measure (20%) Source: Dobbins HD et al. Presented at: Eighth International Congress on Peer Review and Scientific Publication; September 2017; Chicago, IL. http://peerreviewcongress.org/prc17-0383

  46. Baseline Measure – Major Issue Example Baseline Measures – Example • GOG means? • 0, 1, 2 corresponds to…?

  47. Baseline Measure – Major Issue Example Baseline Measures – Example Baseline Measures – Example Corrected [1] [1] 5-point, ordinal scale specifying patient's ability to perform activities from 0 (fully active) to 4 (completely disabled, no self-care)

  48. Preventing QC Review Issues • Provide organizations with their own “success” rates; encourage organizations to develop processes to minimize preventable issues • Current data indicates heterogeneity among organizations, including high volume submitters • ClinicalTrials.gov working to help organizations “prevent” quality control review issues. For example: • Further evaluation of data submission system (PRS); “just-in-time” support to help users identify and address common major issues prior to submission • Additional help documentation; 1-on-1 assistance as needed Mayo-Wilson et al. BMC Medicine. 2018. 16:60. https://doi.org/10.1186/s12916-018-1042-6

  49. PRS Guided Tutorials (Beta) • Launched August 2019 • Access on ClinicalTrials.gov or PRS • Results submission content first • Registration content expected in late 2019 or early 2020 • Collecting feedback via survey • https://bit.ly/2N1mMHV • Further evaluation planned

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