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Institutional review board

An institutional review board (IRB), also known as an independent ethics committee (IEC), ethical review board (ERB), or research ethics board (REB), is a committee that applies research ethics by reviewing the methods proposed for research to ensure that they are ethical. Such boards are formally designated to approve (or reject), monitor, and review biomedical and behavioral research involving humans. They often conduct some form of risk-benefit analysis in an attempt to determine whether or not research should be conducted.[1] The purpose of the IRB is to assure that appropriate steps are taken to protect the rights and welfare of humans participating as subjects in a research study. Along with developed countries, many developing countries have established national, regional or local Institutional Review Boards in order to safeguard ethical conduct of research concerning both national and international norms, regulations or codes.[2]

A key goal of IRBs is to protect human subjects from physical or psychological harm, which they attempt to do by reviewing research protocols and related materials. The protocol review assesses the ethics of the research and its methods, promotes fully informed and voluntary participation by prospective subjects capable of making such choices (or, if that is not possible, informed permission given by a suitable proxy), and seeks to maximize the safety of subjects. While its composition varies, it often includes a balance of academia and non-academia members. This serves to provide a greater scope of understanding which helps ensure ethics in research.

IRBs are most commonly used for studies in the fields of health and the social sciences, including anthropology, sociology, and psychology. Such studies may be clinical trials of new drugs or devices, studies of personal or social behavior, opinions or attitudes, or studies of how health care is delivered and might be improved.

United States mandate for IRBs

Formal review procedures for institutional human subject studies were originally developed in direct response to research abuses in the 20th century. Among the most notorious of these abuses were the experiments of Nazi physicians, which became a focus of the post-World War II Doctors' Trial, the Tuskegee Syphilis Study, a long-term project conducted between 1932 and 1972 by the U.S. Public Health Service, and numerous human radiation experiments conducted during the Cold War. Other controversial U.S. projects undertaken during this era include the Milgram obedience experiment, the Stanford prison experiment, and Project MKULTRA, a series of classified mind control studies organized by the CIA.

The result of these abuses was the National Research Act of 1974 and the development of the Belmont Report, which outlined the primary ethical principles in human subjects review; these include "respect for persons", "beneficence", and "justice". An IRB may only approve research for which the risks to subjects are balanced by potential benefits to society, and for which the selection of subjects presents a fair or just distribution of risks and benefits to eligible participants. A bona fide process for obtaining informed consent from participants is also generally needed. However, this requirement may be waived in certain circumstances – for example, when the risk of harm to participants is clearly minimal.

In the United States, IRBs are governed by Title 45 Code of Federal Regulations Part 46.[3] These regulations define the rules and responsibilities for institutional review, which is required for all research that receives support, directly or indirectly, from the United States federal government. IRBs are themselves regulated by the Office for Human Research Protections (OHRP) within the Department of Health and Human Services (HHS). Additional requirements apply to IRBs that oversee clinical trials of drugs involved in new drug applications, or to studies that are supported by the United States Department of Defense. In the United States, the Food and Drug Administration (FDA) and the OHRP have empowered IRBs to approve, require modifications in planned research prior to approval, or disapprove research. IRBs are responsible for critical oversight functions for research conducted on human subjects that are "scientific", "ethical", and "regulatory". The equivalent body responsible for overseeing U.S. federally funded research using animals is the Institutional Animal Care and Use Committee (IACUC).

In addition to registering its IRB with the OHRP, an institution is also required to obtain and maintain a Federalwide Assurance or FWA, before undertaking federally funded human research.[4] This is an agreement in which the institution commits to abiding by the regulations governing human research. A secondary supplement to the FWA is required when institutions are undertaking research supported by the U.S. Department of Defense.[5] This DoD Addendum includes further compliance requirements for studies using military personnel, or when the human research involves populations in conflict zones, foreign prisoners, etc.[6]

Exceptions

U.S. regulations identify several research categories that are considered exempt from IRB oversight. These categories include:

  • Research in conventional educational settings, such as those involving the study of instructional strategies or effectiveness of various techniques, curricula, or classroom management methods. In the case of studies involving the use of educational tests, there are specific provisions in the exemption to ensure that subjects cannot be identified or exposed to risks or liabilities.[7]
  • Research involving the analysis of existing data and other materials, where the data is either already publicly available or will be analyzed such that individual subjects cannot be identified.[7]
  • Studies intended to assess the performance or effectiveness of public benefit or service programs, or to evaluate food taste, quality, or consumer acceptance.[7]

Generally, human research ethics guidelines require that decisions about exemption are made by an IRB representative, not by the investigators themselves.[8]

International ethics review committees

Numerous other countries have equivalent regulations or guidelines governing human subject studies and the ethics committees that oversee them. However, the organizational responsibilities and the scope of the oversight purview can differ substantially from one nation to another, especially in the domain of non-medical research. The United States Department of Health and Human Services maintains a comprehensive compilation of regulations and guidelines in other countries, as well as related standards from a number of international and regional organizations.[9]

Naming and composition

Although "IRB" is a generic term used in the United States by the FDA and HHS, each institution that establishes such a board may use whatever name it chooses. Many simply capitalize the term "Institutional Review Board" as the proper name of their instance. Regardless of the name chosen, the IRB is subject to the US FDA's IRB regulations when studies of FDA-regulated products are reviewed and approved. At one time, such a committee was named the "Committee for the Protection of Human Subjects".

Originally, IRBs were simply committees at academic institutions and medical facilities to monitor research studies involving human participants, primarily to minimize or avoid ethical problems. Today, some of these reviews are conducted by for-profit organizations known as 'independent' or 'commercial' IRBs. The responsibilities of these IRBs are identical to those based at academic or medical institutions, and within the US, they are governed by the same US federal regulations.

In the US, regulations set out the board's membership and composition requirements, with provisions for diversity in experience, expertise, and institutional affiliation. For example, the minimum number of members is five, at least one scientist, and at least one non-scientist. The guidance strongly suggests that the IRB contain both men and women, but there is no regulatory requirement for gender balance in the IRB's membership. The full requirements are set out in 21 CFR 56.107.[10]

Convened and expedited reviews

Unless a research proposal is determined to be exempt (see below), the IRB undertakes its work either in a convened meeting (a "full" review) or by using an expedited review procedure.[11] When a full review is required, a majority of the IRB members must be present at the meeting, at least one of whom has primary concern for the nonscientific aspects of the research.[11] The research can be approved if a majority of those present are in favor.[11]

An expedited review may be carried out if the research involves no more than minimal risk to subjects, or where minor changes are being made to previously approved research.[12] The regulations provide a list of research categories that may be reviewed in this manner.[12] An expedited review is carried out by the IRB chair, or by their designee(s) from the board membership. In the US, research activity cannot be disapproved by expedited review.[12]

Pharmaceutical trials and good clinical practice

The International Conference on Harmonisation sets out guidelines for registration of pharmaceuticals in multiple countries. It defines Good Clinical Practice (GCP), which is an agreed quality standard that governments can transpose into regulations for clinical trials involving human subjects.[13]

Here is a summary of several key regulatory guidelines for oversight of clinical trials:

  • Safeguard the rights, safety, and well-being of all trial subjects. Special attention should be paid to trials that may include vulnerable subjects, such as pregnant women, children, prisoners, the elderly, or persons with diminished comprehension.
  • Obtain trial protocol(s)/amendment(s), written Informed Consent Form(s) (ICFs) and consent form updates the investigator proposes for use in the trial, subject recruitment procedures (e.g., advertisements), written information to be provided to subjects, investigator's brochure, available safety information, information about payments and compensation available to subjects, the investigator's current curriculum vitae and/or other documentation evidencing qualifications, and any other documents the IRB may need to fulfill its responsibilities.
  • Review both the amount and method of payment to subjects to assure neither presents problems of coercion or undue influence on the trial subjects. Payments to a subject should be prorated and not wholly contingent on completion of the trial by the subject. Information regarding payment to subjects, including the methods, amounts, and schedule of payment to trial subjects, should be set forth in the written informed consent form and any other written information to be provided to subjects. The way payment will be prorated should be specified.
  • Ensure that the proposed trial is reviewed within a reasonable time and document opinions and decisions in writing, clearly identifying the trial, the documents reviewed and recorded dates for approvals, required modifications prior to approval, disapproval of a proposed trial, or termination/suspension of any prior approval. Continuing review of ongoing trials is required at intervals appropriate to the degree of risk to human subjects, but at least once per year.

The reviewers may also request that more information be given to subjects when, in their judgment, the additional information would add meaningfully to the protection of the rights, safety and/or well-being of the subjects. When a non-therapeutic trial is to be carried out with the consent of the subject's legally acceptable representative, reviewers should determine that the proposed protocol and/or other document(s) adequately address relevant ethical concerns and meets applicable regulatory requirements for such trials. Where the protocol indicates prior consent of the trial subject or the subject's legally acceptable representative is not possible, the review should determine that the proposed protocol and/or other document(s) adequately addresses relevant ethical concerns and meets applicable regulatory requirements for such trials (i.e., in emergency situations).

Adapting IRB review to social science

While the Belmont principles and U.S. federal regulations were formulated with biomedical and social-behavioral research in mind, the enforcement of the regulations, the examples used in typical presentations regarding the history of the regulatory requirements, and the extensiveness of written guidance have been predominantly focused on biomedical research.

Numerous complaints by investigators about the fit between the federal regulations and its IRB review requirements as they relate to social science research have been received.[14] Broad complaints range from the legitimacy of IRB review, the applicability of the concepts of risk as it pertains to social science (e.g., possibly unneeded, over-burdensome requirements), and the requirements for the documentation of participants' informed consent (i.e., consent forms).[15] Researchers have tried to determine under what instances participants are more likely to read informed consent forms, and ways to improve their efficacy in the social sciences.[16] Social scientists have criticized biomedical IRBs for failing to adequately understand their research methods (such as ethnography). For this reason, some large research institutions have set up multiple specialized IRBs, and may have one committee that exclusively oversees social science research.

In 2003, the US Office for Human Research Protections (OHRP), in conjunction with the Oral History Association and American Historical Association, issued a formal statement that taking oral histories, unstructured interviews (as if for a piece of journalism), collecting anecdotes, and similar free speech activities often do not constitute "human subject research" as defined in the regulations and were never intended to be covered by clinical research rules.[17]

Other US federal agencies supporting social science have attempted to provide guidance in this area, especially the National Science Foundation. In general, the NSF guidelines assure IRBs that the regulations have some flexibility and rely on the common sense of the IRB to focus on limiting harm, maximizing informed consent, and limiting bureaucratic limitations of valid research.[18]

Adapting IRB review to big data research

Aspects of big data research pose formidable challenges for research ethics and thus show potential for wider applicability of formal review processes.[19][20][21] One theme is data breaches, but another with high difficulty is potentially dangerous predictive analytics with unintended consequences, via false-positives or new ways to invade privacy. A 2016 article on the hope to expand ethics reviews of such research included an example of a data breach in which a big data researcher leaked 70,000 OkCupid profiles with usernames and sexual orientation data.[20] It also gave an example of potential privacy invasion and government repression in which machine learning was used to build automated gaydar, labeling strangers as "probably gay" based on their facial photographs.[20] Analogies with phrenology[19] and Nazis identifying people as "probably part-Jewish" based on facial features have been made to show what can go wrong with research whose authors may have failed to adequately think through the risks of harm. Such challenges broach familiar themes, such as mistaken identity, pre-crime, and persecution, in new applications.

Managing conflicts of interest

While the IRB approval and oversight process is designed to protect the rights and welfare of the research subjects, it has been the subject of criticism, by bioethicists and others, for conflicts of interest resulting in lax oversight.[22][23] In 2005, the for-profit Western Institutional Review Board claimed to conduct the majority of reviews for new drug submissions to the FDA.[24] In a 2006 study of 575 IRB members at university medical centers, over one-third reported industry financial ties and over one-third admitted they "rarely or never" disclosed conflicts of interest to other board members.[25]

In 2009 the US Government Accountability Office (GAO) set up a series of undercover tests to determine whether the IRB system was vulnerable to unethical manipulation. In one test, a fake product "Adhesiabloc" was submitted to a number of IRBs for approval for human tests. The product, company, and CVs of the supposed researchers were all fictitious and documents were forged by the GAO. The product was deliberately formulated to match some "significant risk" criteria of the FDA and was described by GAO as a "gel that would be poured into a patient's stomach after surgery to collect the bits and pieces left over from an operation." Despite this, one IRB approved the device for human testing. Other IRBs to whom the device was submitted rejected the application, one of them saying it was "the riskiest thing I've ever seen on this board". However, none of the IRBs approached detected that the company and product were fake. The GAO also set up a fake IRB and obtained requests for approval from companies. They succeeded in getting assurance approval from the HHS for their fake IRB. At the time, the US HHS has only three staff to deal with 300 IRB registrations and 300 assurance applications per month. HHS stated that it would not be worthwhile to carry out additional evaluation even if they had the staff to do it.[26][27][28][29][30]

See also

References

  1. ^ The Office of Human Research Protection. Institutional Review Board Guidebook. "Chapter 3, Section A: Risk/Benefit Analysis." pp. 1-10 [1] Retrieved May 30, 2012
  2. ^ Mohamadi, Amin; Asghari, Fariba; Rashidian, Arash (2014). "Continuing review of ethics in clinical trials: a surveillance study in Iran". Journal of Medical Ethics and History of Medicine. 7: 22. PMC 4648212. PMID 26587202.
  3. ^ "Code of Federal Regulations". HHS.gov. 2010-01-15. Retrieved 2014-03-28.
  4. ^ "IRBs and Assurances". hhs.gov. 22 December 2010.
  5. ^ Human Research Protection Program (HRPP). 2014-09-16 at the Wayback Machine
  6. ^ HRPP Information Sheet for DoD Addendum. 2014-09-16 at the Wayback Machine
  7. ^ a b c Office for Human Research Protections (January 15, 2009). "Part 46, Protection of Human Subjects". Code of Federal Regulations. hhs.gov. p. US 45 CFR 46.101. Retrieved 19 August 2014.
  8. ^ Ritter, F. et al, Running Behavioral Studies with Human Participants, Sage Publications Inc. 2013., ISBN 9781452217420.
  9. ^ International Compilation of Human Research Protections, Office for Human Research Protections, U.S. Department of Health and Human Services
  10. ^ . Food and Drug Administration (United States). 28 June 1991. Archived from the original on 13 August 2011. Retrieved 2009-05-12.
  11. ^ a b c Office for Human Research Protections (January 15, 2009). "Part 46, Protection of Human Subjects". Code of Federal Regulations. hhs.gov. p. US 45 CFR 46.108. Retrieved 19 August 2014.
  12. ^ a b c Office for Human Research Protections (January 15, 2009). "Part 46, Protection of Human Subjects". Code of Federal Regulations. hhs.gov. p. US 45 CFR 46.110. Retrieved 19 August 2014.
  13. ^ International Conference on Harmonisation of technical requirements for registration of pharmaceuticals for human use. "Good Clinical Practice". Retrieved 27 September 2012.
  14. ^ Gunsalus, C.K.; Bruner, Edward M.; Burbules, Nicholas C.; Dash, Leon; Finkin, Matthew; Goldberg, Joseph P.; Greenough, William T.; Miller, Gregory A.; Pratt, Michael G. (2016-06-29). "The Illinois White Paper". Qualitative Inquiry. 13 (5): 617–649. doi:10.1177/1077800407300785. S2CID 144280954.
  15. ^ Perrault, E. K.; Nazione, S. A. (2016). "Informed Consent—Uninformed Participants: Shortcomings of Online Social Science Consent Forms and Recommendations for Improvement". Journal of Empirical Research on Human Research Ethics. 11 (3): 274–280. doi:10.1177/1556264616654610. PMID 27329533. S2CID 206765294.
  16. ^ Perrault, Evan K.; Keating, David M. (2017-11-08). "Seeking Ways to Inform the Uninformed: Improving the Informed Consent Process in Online Social Science Research". Journal of Empirical Research on Human Research Ethics. 13 (1): 50–60. doi:10.1177/1556264617738846. PMID 29117849. S2CID 36363858.
  17. ^ Ritchie, Don; Shopes, Linda (2003). . Oral History Association. Archived from the original on 17 January 2008. Retrieved 31 December 2008. {{cite journal}}: Cite journal requires |journal= (help). See also
  18. ^ "FAQs and Vignettes - NSF - National Science Foundation". www.nsf.gov.
  19. ^ a b Chen, Sophia (2017-09-18), "AI research is in desperate need of an ethical watchdog", Wired, retrieved 2017-09-18.
  20. ^ a b c Zhang, Sarah (2016-05-20), "Scientists are just as confused about the ethics of big-data research as you", Wired, retrieved 2017-09-18.
  21. ^ Gibney, Elizabeth (2017-10-03), "Ethics of Internet research trigger scrutiny: Concern over the use of public data spurs guideline update", Nature, 550 (7674): 16–17, doi:10.1038/550016a, PMID 28980649, S2CID 4468515.
  22. ^ Emanuel, Ezekiel J.; Lemmens, Trudo; Elliot, Carl (2006). "Should Society Allow Research Ethics Boards to Be Run As For-Profit Enterprises?". PLOS Medicine. 3 (7): e309. doi:10.1371/journal.pmed.0030309. PMC 1518668. PMID 16848618.
  23. ^ Caroline McNeil (2014-03-03). "Debate Over Institutional Review Boards Continues as Alternative Options Emerge". JNCI Journal of the National Cancer Institute. 99 (7): 502–503. doi:10.1093/jnci/djk157. PMID 17405992.
  24. ^ Elliott, Carl (2005-12-13). "Ethics for sale". Slate.com. Retrieved 2014-03-28.
  25. ^ "Hospital IRBs are "On the Take"-Tainted by Conflicts ofInterest_NEJM - AHRP". ahrp.org. 29 November 2006.
  26. ^ http://www.gao.gov/new.items/d09448t.pdf[bare URL PDF]
  27. ^ —By Carl Elliott. "Poor Reviews". Mother Jones. Retrieved 2014-03-28.{{cite magazine}}: CS1 maint: multiple names: authors list (link)
  28. ^ Mundy, Alicia (22 April 2009). "Coast IRB, Caught in Sting, to Close". The Wall Street Journal.
  29. ^ [2] June 2, 2011, at the Wayback Machine
  30. ^ "FDA Approves Nonexistent Product from Nonexistent Company for Human Testing | Food Freedom". Foodfreedom.wordpress.com. 2011-01-17. Retrieved 2014-03-28.

Further reading

  • Enfield, K. B. & Truwit, J. D. (2008). The Purpose, Composition, and Function of an Institutional Review Board: Balancing Priorities. Respiratory Care, 53, 1330–1336.
  • Fairchild, A. L. & Bayer, R. (1999). Uses and Abuses of Tuskegee. American Association for the Advancement of Science, 284, 919–921.
  • Perrault, E. K. & Nazione, S. A. (2016). "Informed Consent—Uninformed Participants: Shortcomings of Online Social Science Consent Forms and Recommendations for Improvement". Journal of Empirical Research on Human Research Ethics. 11(3), 274–280. doi:10.1177/1556264616654610.
  • Pope, T. M. (2009). Multi-Institutional Healthcare Ethics Committees: The Procedurally Fair Internal Dispute Resolution Mechanism, 31 Campbell Law Review 257–331.

External links

  • Human Research Report—a monthly newsletter for IRBs
  • Office for Human Research Protections (OHRP) at HHS
  • – a peer-reviewed journal of The Hastings Center
  • Ethics for Sale: For-profit ethical review, coming to a clinical trial near you, Carl Elliott and Trudo Lemmens, Slate, December 13, 2005

institutional, review, board, this, article, about, research, ethical, oversight, united, states, worldwide, perspective, ethics, committee, institutional, review, board, also, known, independent, ethics, committee, ethical, review, board, research, ethics, bo. This article is about research ethical oversight in the United States For a worldwide perspective see Ethics committee An institutional review board IRB also known as an independent ethics committee IEC ethical review board ERB or research ethics board REB is a committee that applies research ethics by reviewing the methods proposed for research to ensure that they are ethical Such boards are formally designated to approve or reject monitor and review biomedical and behavioral research involving humans They often conduct some form of risk benefit analysis in an attempt to determine whether or not research should be conducted 1 The purpose of the IRB is to assure that appropriate steps are taken to protect the rights and welfare of humans participating as subjects in a research study Along with developed countries many developing countries have established national regional or local Institutional Review Boards in order to safeguard ethical conduct of research concerning both national and international norms regulations or codes 2 A key goal of IRBs is to protect human subjects from physical or psychological harm which they attempt to do by reviewing research protocols and related materials The protocol review assesses the ethics of the research and its methods promotes fully informed and voluntary participation by prospective subjects capable of making such choices or if that is not possible informed permission given by a suitable proxy and seeks to maximize the safety of subjects While its composition varies it often includes a balance of academia and non academia members This serves to provide a greater scope of understanding which helps ensure ethics in research IRBs are most commonly used for studies in the fields of health and the social sciences including anthropology sociology and psychology Such studies may be clinical trials of new drugs or devices studies of personal or social behavior opinions or attitudes or studies of how health care is delivered and might be improved Contents 1 United States mandate for IRBs 1 1 Exceptions 2 International ethics review committees 3 Naming and composition 4 Convened and expedited reviews 5 Pharmaceutical trials and good clinical practice 6 Adapting IRB review to social science 7 Adapting IRB review to big data research 8 Managing conflicts of interest 9 See also 10 References 11 Further reading 12 External linksUnited States mandate for IRBs EditSee also Human subject research legislation in the United States Formal review procedures for institutional human subject studies were originally developed in direct response to research abuses in the 20th century Among the most notorious of these abuses were the experiments of Nazi physicians which became a focus of the post World War II Doctors Trial the Tuskegee Syphilis Study a long term project conducted between 1932 and 1972 by the U S Public Health Service and numerous human radiation experiments conducted during the Cold War Other controversial U S projects undertaken during this era include the Milgram obedience experiment the Stanford prison experiment and Project MKULTRA a series of classified mind control studies organized by the CIA The result of these abuses was the National Research Act of 1974 and the development of the Belmont Report which outlined the primary ethical principles in human subjects review these include respect for persons beneficence and justice An IRB may only approve research for which the risks to subjects are balanced by potential benefits to society and for which the selection of subjects presents a fair or just distribution of risks and benefits to eligible participants A bona fide process for obtaining informed consent from participants is also generally needed However this requirement may be waived in certain circumstances for example when the risk of harm to participants is clearly minimal In the United States IRBs are governed by Title 45 Code of Federal Regulations Part 46 3 These regulations define the rules and responsibilities for institutional review which is required for all research that receives support directly or indirectly from the United States federal government IRBs are themselves regulated by the Office for Human Research Protections OHRP within the Department of Health and Human Services HHS Additional requirements apply to IRBs that oversee clinical trials of drugs involved in new drug applications or to studies that are supported by the United States Department of Defense In the United States the Food and Drug Administration FDA and the OHRP have empowered IRBs to approve require modifications in planned research prior to approval or disapprove research IRBs are responsible for critical oversight functions for research conducted on human subjects that are scientific ethical and regulatory The equivalent body responsible for overseeing U S federally funded research using animals is the Institutional Animal Care and Use Committee IACUC In addition to registering its IRB with the OHRP an institution is also required to obtain and maintain a Federalwide Assurance or FWA before undertaking federally funded human research 4 This is an agreement in which the institution commits to abiding by the regulations governing human research A secondary supplement to the FWA is required when institutions are undertaking research supported by the U S Department of Defense 5 This DoD Addendum includes further compliance requirements for studies using military personnel or when the human research involves populations in conflict zones foreign prisoners etc 6 Exceptions Edit U S regulations identify several research categories that are considered exempt from IRB oversight These categories include Research in conventional educational settings such as those involving the study of instructional strategies or effectiveness of various techniques curricula or classroom management methods In the case of studies involving the use of educational tests there are specific provisions in the exemption to ensure that subjects cannot be identified or exposed to risks or liabilities 7 Research involving the analysis of existing data and other materials where the data is either already publicly available or will be analyzed such that individual subjects cannot be identified 7 Studies intended to assess the performance or effectiveness of public benefit or service programs or to evaluate food taste quality or consumer acceptance 7 Generally human research ethics guidelines require that decisions about exemption are made by an IRB representative not by the investigators themselves 8 International ethics review committees EditMain article Ethics committee Numerous other countries have equivalent regulations or guidelines governing human subject studies and the ethics committees that oversee them However the organizational responsibilities and the scope of the oversight purview can differ substantially from one nation to another especially in the domain of non medical research The United States Department of Health and Human Services maintains a comprehensive compilation of regulations and guidelines in other countries as well as related standards from a number of international and regional organizations 9 Naming and composition EditAlthough IRB is a generic term used in the United States by the FDA and HHS each institution that establishes such a board may use whatever name it chooses Many simply capitalize the term Institutional Review Board as the proper name of their instance Regardless of the name chosen the IRB is subject to the US FDA s IRB regulations when studies of FDA regulated products are reviewed and approved At one time such a committee was named the Committee for the Protection of Human Subjects Originally IRBs were simply committees at academic institutions and medical facilities to monitor research studies involving human participants primarily to minimize or avoid ethical problems Today some of these reviews are conducted by for profit organizations known as independent or commercial IRBs The responsibilities of these IRBs are identical to those based at academic or medical institutions and within the US they are governed by the same US federal regulations In the US regulations set out the board s membership and composition requirements with provisions for diversity in experience expertise and institutional affiliation For example the minimum number of members is five at least one scientist and at least one non scientist The guidance strongly suggests that the IRB contain both men and women but there is no regulatory requirement for gender balance in the IRB s membership The full requirements are set out in 21 CFR 56 107 10 Convened and expedited reviews EditUnless a research proposal is determined to be exempt see below the IRB undertakes its work either in a convened meeting a full review or by using an expedited review procedure 11 When a full review is required a majority of the IRB members must be present at the meeting at least one of whom has primary concern for the nonscientific aspects of the research 11 The research can be approved if a majority of those present are in favor 11 An expedited review may be carried out if the research involves no more than minimal risk to subjects or where minor changes are being made to previously approved research 12 The regulations provide a list of research categories that may be reviewed in this manner 12 An expedited review is carried out by the IRB chair or by their designee s from the board membership In the US research activity cannot be disapproved by expedited review 12 Pharmaceutical trials and good clinical practice EditThe International Conference on Harmonisation sets out guidelines for registration of pharmaceuticals in multiple countries It defines Good Clinical Practice GCP which is an agreed quality standard that governments can transpose into regulations for clinical trials involving human subjects 13 Here is a summary of several key regulatory guidelines for oversight of clinical trials Safeguard the rights safety and well being of all trial subjects Special attention should be paid to trials that may include vulnerable subjects such as pregnant women children prisoners the elderly or persons with diminished comprehension Obtain trial protocol s amendment s written Informed Consent Form s ICFs and consent form updates the investigator proposes for use in the trial subject recruitment procedures e g advertisements written information to be provided to subjects investigator s brochure available safety information information about payments and compensation available to subjects the investigator s current curriculum vitae and or other documentation evidencing qualifications and any other documents the IRB may need to fulfill its responsibilities Review both the amount and method of payment to subjects to assure neither presents problems of coercion or undue influence on the trial subjects Payments to a subject should be prorated and not wholly contingent on completion of the trial by the subject Information regarding payment to subjects including the methods amounts and schedule of payment to trial subjects should be set forth in the written informed consent form and any other written information to be provided to subjects The way payment will be prorated should be specified Ensure that the proposed trial is reviewed within a reasonable time and document opinions and decisions in writing clearly identifying the trial the documents reviewed and recorded dates for approvals required modifications prior to approval disapproval of a proposed trial or termination suspension of any prior approval Continuing review of ongoing trials is required at intervals appropriate to the degree of risk to human subjects but at least once per year The reviewers may also request that more information be given to subjects when in their judgment the additional information would add meaningfully to the protection of the rights safety and or well being of the subjects When a non therapeutic trial is to be carried out with the consent of the subject s legally acceptable representative reviewers should determine that the proposed protocol and or other document s adequately address relevant ethical concerns and meets applicable regulatory requirements for such trials Where the protocol indicates prior consent of the trial subject or the subject s legally acceptable representative is not possible the review should determine that the proposed protocol and or other document s adequately addresses relevant ethical concerns and meets applicable regulatory requirements for such trials i e in emergency situations Adapting IRB review to social science EditWhile the Belmont principles and U S federal regulations were formulated with biomedical and social behavioral research in mind the enforcement of the regulations the examples used in typical presentations regarding the history of the regulatory requirements and the extensiveness of written guidance have been predominantly focused on biomedical research Numerous complaints by investigators about the fit between the federal regulations and its IRB review requirements as they relate to social science research have been received 14 Broad complaints range from the legitimacy of IRB review the applicability of the concepts of risk as it pertains to social science e g possibly unneeded over burdensome requirements and the requirements for the documentation of participants informed consent i e consent forms 15 Researchers have tried to determine under what instances participants are more likely to read informed consent forms and ways to improve their efficacy in the social sciences 16 Social scientists have criticized biomedical IRBs for failing to adequately understand their research methods such as ethnography For this reason some large research institutions have set up multiple specialized IRBs and may have one committee that exclusively oversees social science research In 2003 the US Office for Human Research Protections OHRP in conjunction with the Oral History Association and American Historical Association issued a formal statement that taking oral histories unstructured interviews as if for a piece of journalism collecting anecdotes and similar free speech activities often do not constitute human subject research as defined in the regulations and were never intended to be covered by clinical research rules 17 Other US federal agencies supporting social science have attempted to provide guidance in this area especially the National Science Foundation In general the NSF guidelines assure IRBs that the regulations have some flexibility and rely on the common sense of the IRB to focus on limiting harm maximizing informed consent and limiting bureaucratic limitations of valid research 18 Adapting IRB review to big data research EditAspects of big data research pose formidable challenges for research ethics and thus show potential for wider applicability of formal review processes 19 20 21 One theme is data breaches but another with high difficulty is potentially dangerous predictive analytics with unintended consequences via false positives or new ways to invade privacy A 2016 article on the hope to expand ethics reviews of such research included an example of a data breach in which a big data researcher leaked 70 000 OkCupid profiles with usernames and sexual orientation data 20 It also gave an example of potential privacy invasion and government repression in which machine learning was used to build automated gaydar labeling strangers as probably gay based on their facial photographs 20 Analogies with phrenology 19 and Nazis identifying people as probably part Jewish based on facial features have been made to show what can go wrong with research whose authors may have failed to adequately think through the risks of harm Such challenges broach familiar themes such as mistaken identity pre crime and persecution in new applications Managing conflicts of interest EditWhile the IRB approval and oversight process is designed to protect the rights and welfare of the research subjects it has been the subject of criticism by bioethicists and others for conflicts of interest resulting in lax oversight 22 23 In 2005 the for profit Western Institutional Review Board claimed to conduct the majority of reviews for new drug submissions to the FDA 24 In a 2006 study of 575 IRB members at university medical centers over one third reported industry financial ties and over one third admitted they rarely or never disclosed conflicts of interest to other board members 25 In 2009 the US Government Accountability Office GAO set up a series of undercover tests to determine whether the IRB system was vulnerable to unethical manipulation In one test a fake product Adhesiabloc was submitted to a number of IRBs for approval for human tests The product company and CVs of the supposed researchers were all fictitious and documents were forged by the GAO The product was deliberately formulated to match some significant risk criteria of the FDA and was described by GAO as a gel that would be poured into a patient s stomach after surgery to collect the bits and pieces left over from an operation Despite this one IRB approved the device for human testing Other IRBs to whom the device was submitted rejected the application one of them saying it was the riskiest thing I ve ever seen on this board However none of the IRBs approached detected that the company and product were fake The GAO also set up a fake IRB and obtained requests for approval from companies They succeeded in getting assurance approval from the HHS for their fake IRB At the time the US HHS has only three staff to deal with 300 IRB registrations and 300 assurance applications per month HHS stated that it would not be worthwhile to carry out additional evaluation even if they had the staff to do it 26 27 28 29 30 See also EditClinical trial Data monitoring committee Declaration of Helsinki Ethical problems using children in clinical trials Ethics committee European Union Informed consent Inside the Ethics Committee IRB Ethics amp Human Research journal National Commission for the Protection of Human Subjects of Biomedical and Behavioral Research Office for Human Research Protections Unethical human experimentation in the United StatesReferences Edit The Office of Human Research Protection Institutional Review Board Guidebook Chapter 3 Section A Risk Benefit Analysis pp 1 10 1 Retrieved May 30 2012 Mohamadi Amin Asghari Fariba Rashidian Arash 2014 Continuing review of ethics in clinical trials a surveillance study in Iran Journal of Medical Ethics and History of Medicine 7 22 PMC 4648212 PMID 26587202 Code of Federal Regulations HHS gov 2010 01 15 Retrieved 2014 03 28 IRBs and Assurances hhs gov 22 December 2010 Human Research Protection Program HRPP Archived 2014 09 16 at the Wayback Machine HRPP Information Sheet for DoD Addendum Archived 2014 09 16 at the Wayback Machine a b c Office for Human Research Protections January 15 2009 Part 46 Protection of Human Subjects Code of Federal Regulations hhs gov p US 45 CFR 46 101 Retrieved 19 August 2014 Ritter F et al Running Behavioral Studies with Human Participants Sage Publications Inc 2013 ISBN 9781452217420 International Compilation of Human Research Protections Office for Human Research Protections U S Department of Health and Human Services PART 56 INSTITUTIONAL REVIEW BOARDS Food and Drug Administration United States 28 June 1991 Archived from the original on 13 August 2011 Retrieved 2009 05 12 a b c Office for Human Research Protections January 15 2009 Part 46 Protection of Human Subjects Code of Federal Regulations hhs gov p US 45 CFR 46 108 Retrieved 19 August 2014 a b c Office for Human Research Protections January 15 2009 Part 46 Protection of Human Subjects Code of Federal Regulations hhs gov p US 45 CFR 46 110 Retrieved 19 August 2014 International Conference on Harmonisation of technical requirements for registration of pharmaceuticals for human use Good Clinical Practice Retrieved 27 September 2012 Gunsalus C K Bruner Edward M Burbules Nicholas C Dash Leon Finkin Matthew Goldberg Joseph P Greenough William T Miller Gregory A Pratt Michael G 2016 06 29 The Illinois White Paper Qualitative Inquiry 13 5 617 649 doi 10 1177 1077800407300785 S2CID 144280954 Perrault E K Nazione S A 2016 Informed Consent Uninformed Participants Shortcomings of Online Social Science Consent Forms and Recommendations for Improvement Journal of Empirical Research on Human Research Ethics 11 3 274 280 doi 10 1177 1556264616654610 PMID 27329533 S2CID 206765294 Perrault Evan K Keating David M 2017 11 08 Seeking Ways to Inform the Uninformed Improving the Informed Consent Process in Online Social Science Research Journal of Empirical Research on Human Research Ethics 13 1 50 60 doi 10 1177 1556264617738846 PMID 29117849 S2CID 36363858 Ritchie Don Shopes Linda 2003 Oral History Excluded from IRB Review Application of the Department of Health and Human Services Regulations for the Protection of Human Subjects at 45 CFR Part 46 Subpart A to Oral History Interviewing Oral History Association Archived from the original on 17 January 2008 Retrieved 31 December 2008 a href Template Cite journal html title Template Cite journal cite journal a Cite journal requires journal help See also An Update on the Exclusion of Oral History from IRB Review March 2004 FAQs and Vignettes NSF National Science Foundation www nsf gov a b Chen Sophia 2017 09 18 AI research is in desperate need of an ethical watchdog Wired retrieved 2017 09 18 a b c Zhang Sarah 2016 05 20 Scientists are just as confused about the ethics of big data research as you Wired retrieved 2017 09 18 Gibney Elizabeth 2017 10 03 Ethics of Internet research trigger scrutiny Concern over the use of public data spurs guideline update Nature 550 7674 16 17 doi 10 1038 550016a PMID 28980649 S2CID 4468515 Emanuel Ezekiel J Lemmens Trudo Elliot Carl 2006 Should Society Allow Research Ethics Boards to Be Run As For Profit Enterprises PLOS Medicine 3 7 e309 doi 10 1371 journal pmed 0030309 PMC 1518668 PMID 16848618 Caroline McNeil 2014 03 03 Debate Over Institutional Review Boards Continues as Alternative Options Emerge JNCI Journal of the National Cancer Institute 99 7 502 503 doi 10 1093 jnci djk157 PMID 17405992 Elliott Carl 2005 12 13 Ethics for sale Slate com Retrieved 2014 03 28 Hospital IRBs are On the Take Tainted by Conflicts ofInterest NEJM AHRP ahrp org 29 November 2006 http www gao gov new items d09448t pdf bare URL PDF By Carl Elliott Poor Reviews Mother Jones Retrieved 2014 03 28 a href Template Cite magazine html title Template Cite magazine cite magazine a CS1 maint multiple names authors list link Mundy Alicia 22 April 2009 Coast IRB Caught in Sting to Close The Wall Street Journal 2 Archived June 2 2011 at the Wayback Machine FDA Approves Nonexistent Product from Nonexistent Company for Human Testing Food Freedom Foodfreedom wordpress com 2011 01 17 Retrieved 2014 03 28 Further reading EditEnfield K B amp Truwit J D 2008 The Purpose Composition and Function of an Institutional Review Board Balancing Priorities Respiratory Care 53 1330 1336 Fairchild A L amp Bayer R 1999 Uses and Abuses of Tuskegee American Association for the Advancement of Science 284 919 921 Perrault E K amp Nazione S A 2016 Informed Consent Uninformed Participants Shortcomings of Online Social Science Consent Forms and Recommendations for Improvement Journal of Empirical Research on Human Research Ethics 11 3 274 280 doi 10 1177 1556264616654610 Pope T M 2009 Multi Institutional Healthcare Ethics Committees The Procedurally Fair Internal Dispute Resolution Mechanism 31 Campbell Law Review 257 331 External links EditHuman Research Report a monthly newsletter for IRBs Office for Human Research Protections OHRP at HHS IRB Ethics amp Human Research a peer reviewed journal of The Hastings Center Ethics for Sale For profit ethical review coming to a clinical trial near you Carl Elliott and Trudo Lemmens Slate December 13 2005 Retrieved from https en wikipedia org w index php title Institutional review board amp oldid 1142216926, wikipedia, wiki, book, books, library,

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