The purpose of this policy is to describe the agreement with the Department of Health and Human Services Office of Human Research Protection (OHRP) through the FWA.
The purpose of this policy is to describe the IRB charter, appointments, and administrative structure.
The College of St. Scholastica IRB prepares and maintains documentation of its activities as required by federal regulation and in accordance with the IRB’s record retention policy. Required documents must be submitted to the appropriate funding entity as required. This policy applies to all controlled documents used in research reviewed by the IRB.
Except when an expedited review procedure is used, the CSS IRB will review proposed research at convened meetings at which a quorum is present. The IRB will meet monthly or at some other frequency determined by the IRB Chair and the IRB Administrator. These policies and procedures apply to all research submitted to the CSS IRB.
The CSS Institutional Review Board (IRB) functions independently. Attempts to coerce or otherwise unduly influence the actions of the IRB are forbidden by policy and are to be reported. Likewise, the CSS IRB must remain free from the influence of financial and other organizational interests. No individual with responsibility for the business and financial interests of the organization may serve on the IRB.
This information is intended as guidance in making a preliminary determination regarding the need for IRB oversight. Whenever there is uncertainty as to whether a project is considered Research or QI, the investigator should request guidance from The College of St. Scholastica (CSS) IRB.
All The College of St. Scholastica (CSS) faculty, students, and staff involved in activities that fall under the federal definitions of Human Subjects Research are required to comply with federal and state laws as well as CSS IRB policies and procedures for the protection of human research subjects. This policy outlines the process to follow if an investigator is unsure if the research is human subjects research as defined by the regulations and CSS IRB policy.
It is the policy of this institution that when students are used as research participants, the researchers should carefully review and understand the concepts of coercion and undue influence.
The purpose of this policy is to help clarify when student research falls under the purview of the CSS IRB and when it most probably does not. Classroom research assignments do not require IRB review beyond faculty supervision if the goal of the classroom research assignment is educational and not intended for generalizable knowledge.
Exempt research projects present risks so benign to the human subjects who participate in them, that the federal regulations, (45 CFR 46.104), say such projects are exempt from full Institutional Review Board (IRB) review. However, these categories of research are not exempt from expedited review by The College of St. Scholastica IRB. The purpose of this document is to describe research activities involving human subjects that meet exemption criteria under 45 CFR 46.104.
The Secretary of the Department of Health and Human Services and the Food and Drug Administration have established and published in the Federal Register a list of categories of research that may be reviewed by the IRB through an expedited review procedure (45 CFR §46.110). This policy describes the categories and IRB procedure for expedited review.
All research proposals that intend to enroll human subjects must meet certain criteria before study related procedures can be initiated. Three core principles: respect for persons, beneficence and justice, as discussed in the Belmont Report are the basis of the criteria for IRB approval. All regulatory criteria must be met, and any applicable state or local laws apply. In addition, certain other criteria that are unique to The College of St. Scholastica may apply and must be met as well.
Minimal risk means that the probability and magnitude of harm or discomfort anticipated in the research are not greater in and of themselves than those ordinarily encountered in daily life or during the performance of routine physical or psychological examination or tests (45 CFR 46.102(i). The regulatory definition of minimal risk is problematic and imperfect. This SOP is a guide in making minimal risk determinations.
It is the policy of The College of St. Scholastica to allow the use of deception or incomplete disclosure of information in research with human participants when the deception or incomplete disclosure is of scientific value and does not place the research participant in significant financial, physical, legal, psychological, or social risk. The Human Subject Regulations do not address research involving deception.
Common Rule regulations (45 CFR 46.116) allow the IRB to waive the requirement for obtaining informed consent or parental permission or to approve a consent procedure that leaves out or alters some or all of the elements of informed consent otherwise required under the regulations. The purpose of this Standard Operating Procedure (SOP) is to provide guidance on obtaining and approving requests for a waiver of informed consent at The College of St. Scholastica (CSS).
The College of St. Scholastica (CSS) requires that legally effective informed consent of the subject or of the subject’s parents or guardian before an investigator can involve the person in research. Consent must be documented in writing in accordance with applicable federal regulations unless the IRB finds that the conditions for a waiver of consent (CSS IRB SOP #15 Waiver or Alteration of Consent (Waiver Request Form Reviewer Checklist) or a waiver of documentation of consent (CSS IRB SOP #18
Both the HHS regulations at 45 CFR 46.115(a)(2) and the FDA regulations at 21 CFR 56.115(a)(2) specifically require that an institution, or when appropriate, an IRB, prepare and maintain adequate documentation of IRB activities.
The default in the US regulations is that the consent document is signed by the research participant. However, the regulations also contain flexibility to approve a waiver of the documentation of consent, in essence, while there is a consent process and information is communicated to the potential subject, the person does not have to sign a consent document. Note that a waiver of documentation of consent is different than a waiver or alteration of consent.
When participating in a cooperative project with another institution, the CSS IRB may enter into a joint review arrangement, rely upon the review of another qualified IRB, or make similar arrangements for avoiding duplication of effort (45 CFR § 46.114 (c)).
The CSS IRB may agree to delegate the responsibility for initial and continuing review to another institution's IRB. In turn, that institution’s IRB agrees to assume responsibility for initial and continuing review.
The CSS IRB requires that human subject research activities be reviewed in accordance with federal regulations (CFR 45 §46.109 (e) (f)) and at intervals appropriate to the degree of risk.
The new provision for limited IRB review (45 CFR §46.104 d(2)(3), §46.111 (a)(7)). review allows certain research to be categorized as exempt, even when the identifiable information might be sensitive or potentially harmful if disclosed. In order to qualify for exemption, the study must meet the standards of the limited IRB review.
The CSS IRB must follow written procedures for ensuring prompt reporting to the IRB of proposed modifications in a research activity, and ensuring that changes in approved research, during the period for which IRB approval has already been given, may not be initiated without IRB review and approval except where necessary to eliminate apparent immediate hazards to the human subjects.
The CSS IRB will assure that additional protections are implemented, as necessary, to protect vulnerable research subjects (such as those with impaired decision-making capacity, neurological, developmental or psychiatric disorders; educational disadvantages; medical, social, or economic conditions; or other circumstances that might restrict the individual’s capacity to provide inform). The extent of additional protection afforded should depend upon the risk of harm and the likelihood of benefit.
The purpose of this standard operating procedure (SOP) is to ensure that adverse and serious adverse events are defined, recorded, reported, and evaluated as required by the CSS Institutional Review Board (IRB). Principal Investigators are required to immediately submit to the IRB any unanticipated problems involving risk to human subjects or others. The notification to the IRB must occur no later than 2 weeks from the time of identification of the unanticipated problem.
In the course of designing a research project, researchers may deem a focus group as the best way to gather data from several participants in a short amount of time. Focus groups are an important method for data collection in qualitative research. The use of video, audio, and digital recordings are other means of collecting data. While they offer many advantages to both researchers and research participants, they also raise some unique ethical concerns.
This Standard Operating Procedure is an aid to researchers and the CSS IRB in their deliberations about whether appropriate consideration has been given to the protection of human subjects when a study involving survey interviews or questionnaires is proposed.
The purpose of this Standard Operating Procedure (SOP) is to outline the courses of action the CSS IRB may take when reviewing and approving research involving human subjects.
The College of St. Scholastica (CSS) IRB will record issues of controversy in the IRB Minutes as recommended by the regulations of The Food and Drug Administration (FDA) and The Office for Human Research Protections (OHRP).
This document describes a permissible mechanism under which an institution holding an Office for Human Research Protections (OHRP)-approved Federalwide Assurance (FWA) (hereafter referred to as The College of St. Scholastica [CSS] IRB as the assured institution) may extend – for one or more research protocols – the applicability of its FWA to cover two types of collaborating individual investigators: collaborating independent investigators and collaborating institutional investigators.
It is the policy of the CSS IRB that all allegations of non-compliance with human subjects research must be reported promptly, each report will be investigated, and determinations made about these allegations. Issues or events that are reported are considered possible non-compliance until a final determination is made by the convened IRB or the IRB Chair. Non-compliance that is determined to be serious or continuing must be promptly reported to the appropriate entities.
Under 21 CFR 56.113 and 45 CFR 46.113, an IRB shall have the authority to suspend or terminate approval of research that is not being conducted in accordance with the IRB's requirements or that has been associated with unexpected serious harm to subjects. The conditions under which approval of previously approved research may be suspended or terminated, and the procedures to be followed for suspending or terminating research are described.
When all research-related interventions or interactions with human subjects have been completed, and all data collection and/or utilization/analysis of identifiable private information, for any purpose, have been concluded, then the research may be considered as completed and the application may be closed. The Principal Investigator should not close an IRB application as long as the investigator is utilizing individually identifiable private information collected as part of the research.
The purpose of this SOP is to describe the special regulatory requirements that the researcher and the IRB must take into consideration when a proposed research study involves children, a vulnerable population, to provide additional protection for children involved in research.
The CSS IRB does not currently review research involving prisoners. If this were to change, procedures consistent with the requirements of Subpart C of 45 CFR 46 will be developed.
If a subject were to become incarcerated while participating in a study that has not been approved for inclusion of prisoners, the IRB must be notified immediately so that the IRB can determine whether the subject may continue in the research, whether additional safeguards are needed, and other determinations.
The CSS IRB does not currently review research involving pregnant women. If a woman becomes pregnant while participating in a study that has not been approved for inclusion of pregnant women, the IRB must be notified immediately so that the IRB can determine whether the subject may continue in the research, whether additional safeguards are needed, and to make the determinations required by the regulations and these policies.
Federal regulations do not permit an IRB member to participate in the review of research in which he/she has a conflicting interest, except to provide information requested by the IRB. This requirement helps to ensure that financial or other interests do not compromise the rights and welfare of human research subjects. (45 CFR § 46.107 (d).)
CSS IRB approved human subjects training is required for all individuals involved in the conduct of research involving human subjects, regardless of funding source. The IRB will not release the approvals for new protocols until all individuals involved with human subjects on the project (i.e., direct contact with subjects or access to data) have completed the required training.
It is the policy of the CSS IRB that all research involving human research participants or the use of information about human research participants be planned and conducted in a manner that protects the privacy interests of the research participants and the confidentiality of any personal information about the research participants.
The purpose of this SOP is to describe the process for reviewing research that will be conducted by CSS researchers outside of the United States. This SOP also applies to community based research where the participants are of an immigrant culture within the United States.
It is the policy of the CSS IRB that all human research studies involving medical devices must be reviewed and conducted in compliance with Investigational Device Exemption (IDE) requirements (21 CFR 812) unless determined to be exempt via 21 CFR n812.2(c).