CONDUCTING COMPLIANCE ASSESSMENTS Allen Ditch Director Corporate Quality Bristol Myers Squibb Medical Research Summit March 6, 2003.

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Presentation transcript:

CONDUCTING COMPLIANCE ASSESSMENTS Allen Ditch Director Corporate Quality Bristol Myers Squibb Medical Research Summit March 6, 2003

PwC Agenda Types of Assessments Objectives Selecting the Site(s) to Audit Investigator Site Audit & Follow-Up FDA Clinical Investigator Inspection

PwC Objectives Ensure rights & safety of study subjects Ensure integrity of data Verify compliance with regulatory requirements Verify compliance with protocol requirements

Selecting the Investigator Site To Be Audited Study Drug, Protocol or Project Number of Patients Accrued Complexity of Study Experience of the Investigator / Site History with the company (via monitors or audits) Experience of the monitor or CRO For Cause - concerns identified

Preparing for the Investigator Site Assessment Notify the internal clinical group (monitor / medical monitor) Discuss plans and process with internal clinical group Request data base, CRFs, regulatory documents Conduct In-House audit Request specific charts depending on the situation Clinical Group arranges the assessment visit Conduct the assessment

Conducting the Investigator Site Assessment Interview responsible site personnel - confirm no changes since last monitoring visit or study start Review regulatory study file Compare CRF entries to source records Confirm any deviations Assess Pharmacy - records, storage Assess any special requirements - freezer, diagnostic equipment

PwC INTERVIEW STAFF Verify involvement of the investigator Verify responsibilities delegated Review informed consent process Review other systems implemented at investigator site

PwC Regulatory documents - FD1572, CVs, IRB composition, lab normals, financial disclosure statement …... Most recent consent form and all versions IRB approval and appropriate reapproval(s) Current protocol and all amendments Signature log - site staff Monitor log and correspondence Study specific Financial payments usually not reviewed STUDY FILE REVIEW

PwC Verify involvement of the investigator Who is doing what (consent, randomize, exams, dose adjustments) Confirm source records support dates and data in CRF Confirm all sources for records identified SOURCE RECORD REVIEW

PwC PHARMACY REVIEW Verify investigator involvement Verify records are maintained and up-to-date Verify drug only dispensed to study subjects Verify storage conditions are appropriate Review Inventory supplies Preparation area (if appropriate)

Subject registered or examined on holiday/weekend Subjects seen when physician is not in the office New concomitant medicine; no new adverse event No corrective action for known problems SAEs not in CRF Consent form irregularity Lack of study drug accountability Lab results repeating or rounded Everything is too perfect ??? RED FLAGS - The watch out

PwC Wrap-up discussion with site staff –summarize processes found in compliance –review anything requiring corrective action Audit report written and addressed to clinical area Action Plan to address findings in established time frame Open items followed by audit team until closure Post - Assessment & Follow-Up

PwC NDA support vs. for cause Standard format / process Inspection results are available through FOI Warning Letters posted on the FDA Home Page FDA Compliance Program URL: FDA INSPECTIONS

QUESTIONS & DISCUSSION