Projects that qualify for exempt status review under UAMS IRB policy 7.3 are not subject to many of the usual requirements in the Common Rule (current or, after Jan. 21, revised). However, the IRB still reviews all exempt status studies for compliance with the ethical principles underlying human subject research (beneficence, justice, autonomy) and, starting […]
Institutional Review Board Members
Reminders for our Institutional Review Board reviewers about policies, using Clinical Research Administration (CLARA), and other news. Feel free to click on this blog even if you aren’t on the Institutional Review Board. You may get some pointers about what the Institutional Review Board is looking for when it reviews your studies.
Revised Common Rule Questions and Answers
We’re always pleased to find a concise and focused recap of the Revised Common Rule’s (RCR) key elements, given the massiveness of the change that’s to take effect Jan. 22, and the reams of information floating around online about it. The federal Office for Human Research Protections (the agency who finally gave us the RCR […]
NIH-supported research and the Revised Common Rule
Is any of your human subject research NIH-supported? If so, please review the newly released NIH notice about implementation of the final rule on the federal policy for protection of human subjects for a recap of how the Revised Common Rule (RCR) will affect your projects. Two changes in particular are specific to NIH-funded or […]
Remember to count *all* of your human subjects when determining an accrual goal
When studies involve collecting data on pairs or groups of individuals, remember that each person about whom you plan to collect data counts as a separate study subject. For example, if you are collecting datafrom both chronically ill people and their caregivers, each dyad counts as two subjects, not one. The same is true if […]
A reminder to summarize your reviews in CLARA
When you’re reviewing something for an IRB agenda, whether it’s a new submission, a modification, a continuing review, or anything else, please document a very brief summary of your review as a note in CLARA. You can describe the intent of the study, planned (or actual enrollment), whether any reports of note are included, etc. […]
Studies stemming from previous registry protocols require separate IRB submissions
So, someone in your department (maybe even you!) has set up a repository of human data and/or specimens, and now you’re ready to use that repository for research. Since the repository had IRB approval, and the subjects signed a consent for future use of the data/specimens, you’re good to go, right? Actually, no, you’re not. […]
Delays possible in the next month or two
Please bear with us in the IRB Office as we work to implement the Revised Common Rule (RCR) and forgive any delays in IRB responses between Dec. 15 and Feb. 15. The RCR goes live Jan. 22. In the weeks before that day, we’re scrambling furiously to maximize our chances for a smooth transition. Being […]
Addendum to our earlier post about the famous food researcher resigning
You may recall our earlier blog post about well-known food researcher Brian Wansink resigning after questions were raised about his research. We recently came across a piece in the New Yorker about a previous Wansink-related kerfuffle. Messing with data is one thing. Messing with the “Joy of Cooking” cookbook, however, is just stirring up trouble. […]
FDA-regulated research, and the Revised Common Rule
The Food and Drug Administration has issued guidance related to FDA-regulated studies that are also subject to the Revised Common Rule. As you may already know, the Revised Common Rule (RCR) is to take effect in January 2019 (the 22nd here, to be specific; the first workday after the rule’s implementation date). The RCR will […]
Revised Common Rule: New informed consent elements
In addition to requiring a “concise and focused summary of key elements” in consent processes, the Revised Common Rule (RCR) makes a few other changes to consent elements. Under the RCR, the following statements must be included when applicable: —The subject’s biospecimens (even if identifiers are removed) may be used for commercial profit and whether […]