All new cancer-related clinical trial applications proposing to involve TMH subjects (treatment and non-treatment, regardless of sponsorship) must be reviewed and approved by the Hospital Scientific Review Committee and Hospital Ethics Committee. These guidelines pertain to the scientific monitoring of clinical trials approved by the Hospital Scientific Review Committee and Hospital Ethics Committee. This process is conducted under the Data and Safety Monitoring Subcommittee of the HEC.
Clinical trial:
A clinical trial is defined as a prospective study involving human subjects designed to answer specific questions about the effects or impact of particular biomedical or behavioral interventions; these may include drugs, treatments, devices, or behavioral or nutritional strategies. Participants in these trials may be patients with cancer or people without a diagnosis of cancer, but at risk for developing it. With regard to diagnostic research (molecular or imaging diagnostics), a study is considered to be a clinical trial if it uses the information from the diagnostic test in a manner that somehow affects medical decision-making for the study subject. In this way, the information from the diagnostic may have an impact on some aspect of outcome, and assessment of this impact may be a key goal of the trial. Studies that do not use information from the diagnostic test in any manner that can affect the outcome of study subjects, but whose objective is only the gathering of data on the characteristics of a new diagnostic approach are not clinical trials and are NOT covered by this policy, unless performing the diagnostic test itself imposes some risk on study subjects. Behavioral clinical trials test interventions aimed at eliminating or reducing human activities associated with enhanced cancer risk, such as tobacco use, poor nutrition, and sun exposure, or eliminating or reducing morbidity associated with cancer screening, diagnosis and treatment.
Institutional clinical trial:
Sponsored/supported, large-scale, multi-site phase III therapeutic intervention clinical trial: These non institutional trials which involve significant risk, are outside the scope of this system. Independent Data and Safety Monitoring Boards (DSMBs) for such studies would be established by the principal investigator and supported through the funding agency. Sponsored/supported phase III clinical trials which involve only low risk (i.e. behavioral and nutritional research) would be reviewed on a case-by-case basis, as their sample size may be too large to be practically monitored by this system. In some cases, these studies would require an independent DSMB.
Applicability: It is recognized that clinical trials sponsored by some groups and industry are continually audited for compliance and monitored for progress. Institutional clinical trials without outside sponsorship are the focus of the monitoring system of this committee.
As a national cancer center, the TMC needs to ensure that research data generated by the Center investigators are of high quality, reliable and verifiable. To accomplish this objective, the Data and Safety Monitoring Subcommittee is charged with the mission of developing and enacting quality assurance procedures to monitor the overall progress of institutional clinical trials and for ensuring adherence to clinical trial and procedural requirements.
This includes review of the overall progress of each study to insure the safety of participants, validity of data, that the projected accrual goals are met on a timely basis, that excess accrual is avoided, that eligibility and evaluability rates do not fall below minimum acceptable standards, that risks are not excessive, and that adverse events are appropriately monitored and reported to the appropriate agencies.
Inherent in this process is the goal of enhancing the quality of the research by providing the investigator with constructive criticism.
The membership (Appendix I) of the Data and Safety Monitoring Subcommittee is multidisciplinary and shall consist minimally of three physician members and representatives from the various Departments. Any member of the faculty may be co-opted for cases requiring specific expertise.
The Director TMC shall appoint the Chair/Secretary of the Data and Safety Monitoring Subcommittee.
Members of the Data and Safety Monitoring Subcommittee shall be appointed by the Subcommittee Chair in consultation with the Director TMC and Chairperson and Secretary of the HSRC and HEC.
A monitoring team conducts on-site case reviews. The monitoring team is comprised of a core group with additional members selected as appropriate to the area under investigation, size and complexity of the study and level of risk.
Nurses, and Clinical Research Associates/Fellows may be selected and assigned as needed.
Conflict of interest:It is recognized that an institutional monitoring system must utilize its own faculty and research staff members to enable the system to function. Inherent in this system is the potential for a conflict of interest to exist. Even members of the core monitoring team may have a relationship with the study to be audited. Examples of indirect relationships would include staff members who are involved in the study’s HEC reports, drug dispensing, and research laboratory procedures. Direct relationships would include any physician who is a sub investigator on the study; a radiologist responsible for determining tumor measurements (even though blinded) on the subject patients; CRAs or CRNs involved in study conduct, data management or consenting of patients; a statistician involved in the data analysis for the subject study; and any individual who is supported by the grant supporting the subject study. No one is allowed to serve on a monitoring team with an indirect or direct relationship, as previously defined, to the subject study.
Meetings: Data and Safety Monitoring Subcommittee will meet on the first Friday of every month at 9.00 a.m. Incase the day is a public holiday, an alternate date and time will be decided.
Administrative coordination: The Secretary to the Subcommittee and is responsible for coordinating all meetings, monitoring visits, monitoring reports, and communications with the HEC. All records of the Subcommittee are maintained in the CRS.
Administrative Monitoring (all clinical trials): All cancer-related clinical trials (treatment or non-treatment, regardless of sponsorship) must have the approval of the HSRC before the HEC will grant approval or approval to renew the study (annually). All clinical trials as defined undergo compliance monitoring through this system.
Institutional (Investigator-initiated) Clinical Trial Monitoring
Scientific progress and accrual:
All institutional clinical trials are monitored yearly for scientific progress, accrual, and HEC compliance. The Monitoring form (Appendix II) is completed on each study being reviewed for scientific progress. HEC compliance is reviewed and summarized and accrual is reported. These reports are then reviewed at the next meeting of the Data and Safety Monitoring Subcommittee for any necessary actions.
The Data and Safety Monitoring Subcommittee reviews (each study on an individual basis) accrual rate forecast relative to the characteristics of the study participants and estimated duration of the study. The general principles followed by the Scientific Monitoring Subcommittee in its recommendations regarding scientific progress and accruals are as follows:
Underaccrual:
At the end of the first year following activation, the Scientific Monitoring Subcommittee reviews accrual to the study. Based on the Principal Investigator’s accrual forecast, if there is less than 25% of the accrual projected, a letter to the investigator would call attention to the original projection and remind the investigator that the accrual is being monitored. Accrual and scientific progress are reviewed yearly thereafter and if accrual continues to lag behind the predicted rate, the study is placed on probation unless there are extenuating circumstances and the investigator is asked to justify continuing the study. These responses are taken into consideration on an individual basis. If no accrual has taken place after 2-3 years, termination of the study is recommended.
Letters to investigators are intended to alert them to low accrual situations and offer constructive suggestions as to how to improve accrual. These might include altering the design or eligibility criteria, seeking extramural funding, activating the study at affiliate centers or through the outreach network, etc.
The Data and Safety Monitoring Subcommittee regards a situation of zero accrual as a potentially fatally flawed study. In this situation, the above rules may be adjusted and a recommendation for closure made at year two.
Stopping rules:
At the time of annual review, any early stopping rules for toxicity or response analysis described in the statistical section of the clinical trial are also reviewed to determine if a data review point has been reached. The investigator is asked to provide the Data and Safety Monitoring Subcommittee with an update on the status if accrual has reached that point. This is also scrutinized during on-site reviews.
Overaccrual:
Overaccrual within the range of 10-15% is not a deficiency. However, beyond that, assessment of reasons required.
On-site case monitoring is done in accord with the monitoring plan determined upon initial review of the clinical trial. If a study is monitored initially after the enrollment of the first 3 subjects and the findings are less than satisfactory, Data and Safety Monitoring Subcommittee will determine when to remonitor the study based on the accrual of additional subjects. Case sample. Once a clinical trial is identified for monitoring, the Secretariat will forward the monitoring form to the monitoring team.
The findings of the monitoring team are reviewed and discussed by the full Data and Safety Monitoring Subcommittee. The overall rating given to a study is a composite of scientific progress, accrual, and the onsite-monitoring findings of the conduct of the study. If a study were found to have no deficiencies in its conduct, but was seriously lagging in accrual or violating its stopping rules, the rating would reflect the latter, and be unsatisfactory or marginal, depending on the level of deficiency in the latter areas. In rating the conduct of the study, the Data and Safety Monitoring Subcommittee categorizes deviations as "MAJOR" or "MINOR". The Data and Safety Monitoring Subcommittee exercises reasonable judgment in determining if a deviation should be considered major or minor.
SAE's Reporting Procedures:
The investigator is responsible for submission of adverse event reports to all agencies described in the clinical trial (as appropriate to the test agent and trial). These would include the pharmaceutical sponsor, and/or FDA. Information on reporting requirements is periodically distributed to all clinical investigators.
The SAE Monitoring Team compiles a monthly summary report to the subcommittee depicting all adverse events that have occurred during the preceding month for TMH (and affiliate) patients enrolled on institutional clinical trials. This report is reviewed by the Data and Safety Monitoring Subcommittee and appropriate actions taken if the volume or severity of adverse events for a particular intervention or compound appears concerning.
During monitoring visits, if serious SAEs are found which have not been appropriately reported, the Data and Safety Monitoring Subcommittee will evaluate the number and severity of the SAEs and this will be taken into account in the overall rating.
The SAE Monitoring Team compiles a monthly summary report to the subcommittee depicting all adverse events that have occurred during the preceding month for TMH (and affiliate) patients enrolled on institutional clinical trials. This report is reviewed by the Data and Safety Monitoring Subcommittee and appropriate actions taken if the volume or severity of adverse events for a particular intervention or compound appears concerning.
Reviews & Ratings:
Version DSMSC 2003/1
Prepared by |
Dr Rekha Batura, AMS |
Date |
10 June 2003 |
Approved by |
Dr RF Chinoy, |
Date |
30 July 2003 |
Approved by |
Dr KA Dinshaw, |
Date |
|
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