IP Accountability in Outpatient Clinical Trials

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Presentation transcript:

IP Accountability in Outpatient Clinical Trials Jessica Rinaldi, CCRP Farber Institute for Neurosciences

21 CFR §312.62 “Disposition of drug. An investigator is required to maintain adequate records of the disposition of the drug, including dates, quantity, and use by subjects. If the investigation is terminated, suspended, discontinued, or completed, the investigator shall return the unused supplies of the drug to the sponsor, or otherwise provide for disposition of the unused supplies of the drug under §312.59.” CFR = FDA regulation. Minimum necessary to comply with federal requirements.

ICH E6 Good Clinical Practice: Consolidated Guidance Section 4.6.3 “The investigator/institution and/or a pharmacist or other appropriate individual, who is designated by the investigator/institution, should maintain records of the product's delivery to the trial site, the inventory at the site, the use by each subject, and the return to the sponsor or alternative disposition of unused product(s). These records should include dates, quantities, batch/serial numbers, expiration dates (if applicable), and the unique code numbers assigned to the investigational product(s) and trial subjects. Investigators should maintain records that document adequately that the subjects were provided the doses specified by the protocol and reconcile all investigational product(s) received from the sponsor.” ICH = guidance… not enforceable, but officially accepted by FDA as interpretation of corresponding regulations. In the case of IP handling, ICH is more robust than FDA regs. CFR requires maintaining “adequate records of the disposition of the drug, including dates, quantity, and use by subjects.” ICH explains how to achieve that.

Receiving Investigational Drugs At the end of a trial, all drug assigned to a site must be accounted for, whether dispensed to patients, lost or damaged in transit, or returned to sponsor unused. An accurate investigational drug accounting process begins with the sponsor's shipping records. When possible, request that sponsor, CRA, or shipping vendor send a supply notice to the site before sending IP. What the Sponsor records as being sent to site is what the site becomes responsible for. Scenario: if site knows a patient will be discontinuing from study drug soon, site can communicate that a re-supply be cancelled in order to avoid needing to track and store a surplus of unused IP.

Receiving Investigational Drugs NEVER open the box on the right! Call your CRA/Sponsor immediately, and document with a photo if appropriate.

Receiving Investigational Drugs Upon opening the package: Verify that the contents are intact and undamaged. Check temperature monitor for alerts, if present. Compare the invoice to the lot number, expiration date, quantity, and dosage on each kit. Retain all shipping documents in site files. Register shipment as received in IWRS (or protocol specific inventory log). The very first person to open the shipping box should immediately inspect the contents against a packing slip. *Note for IW[V]RS – Interactive Web [Voice] Response System – more widely available in newer studies, but if there is no electronic system the site should still maintain an inventory log noting shipping receipt dates.

Receiving Investigational Drugs Report damage, temperature excursions, and content discrepancies to the sponsor immediately. Assess current inventory: You may need to reschedule patients if a damaged IP shipment leaves you with insufficient supply!

Maintaining Record of Inventory Record all kits shipped on Master IP log. You may need to specify: Shipment ID number Receipt date Quantities - # of pills or volume per dispensable unit Best practice – Record each unit received on its own line; do not batch receipt of multiple units in a single line Dosage or strength Production lot or batch numbers Individual kit/bottle numbers Expiration dates IP logs are frequently supplied by the sponsor or CRO and may require only some of the above items or additional elements. Follow the sponsor’s requirements; however, if you judge that the required information is not sufficient to accurately track the dispensation and return of IP you may record additional information.

Master IP Log, Example This is a sample only: Your protocol may or may not require this level of detail.

IP Storage Store IP according to protocol-specified conditions. This may include temperature, humidity, and sunlight restrictions. You may need proof of temperature and/or humidity conditions: Manual logging is inexpensive but risks missing records and unknown excursions Consider electronic data logging devices for convenience, accuracy, and 24/7 coverage

IP Storage Store IP in a dedicated room or cabinet accessible only to research staff Controlled substances should also be secured in a locked cabinet with access further limited only to the specific individuals delegated to dispense the medication. Consider using IDS if your facilities do not provide adequate security

Dispensing IP to Subjects Medication may be dispensed only by appropriately trained and delegated study personnel Dispensation records usually record the same set of information in multiple places: Subject source Subject-specific IP Log Master IP Log Completion of IP label The redundancy in recording is one way to double check that all records are accurate.

Dispensing IP to Subjects Source documents should be completed to meet the documentation requirements of the protocol and may include: Dosage and frequency ordered Best practice: Confirmatory statement from PI or Co-I ex. “Patient may start/continue study drug at [dosage]” “Patient should titrate up/down to [new dosage]” Individual bottle/kit/vial numbers dispensed * Number of pills or volume per bottle/kit/vial Record of any instructions or education to patient concerning dosing instructions *Scenario: If there is no individual number per kit (lot number only) accounting for all kits in of one lot that were sent to site can be more difficult. This is a case where additional labeling is often called for – numbering and dating each kit in a shipment so that the individual kit can be tracked from receipt, to dispensation, to patient return, to return to vendor.

Dispensing IP to Subjects IP Labels must be completely filled out where any site-specific information is left blank by sponsor and may include: Subject ID Visit Number Date Dispensed Site Identifier and PI Name Contact Phone Number Dosage and Administration Frequency

Collecting Used IP ALL dispensed IP should be accounted for at time of return. Useful techniques: Calculate the amount of drug that patient should have used since last visit, if applicable. Count returned IP while the patient is still at the visit and before dispensing additional IP. Compare to patient records (diaries, calendars, etc.) and calculate compliance; anything other than 100% compliance may need to be explained and documented. Not an exhaustive list, and not always necessary for every study. Follow protocol first, and record additional information wherever there seems to be a discrepancy or potential for a monitor to question compliance or adherence.

Resources Reference Documents Temperature Monitoring FDA 21CFR 312 ICH E6 Guideline for Good Clinical Practice, Section 4.6 Temperature Monitoring LogTag Data Monitors: http://www.logtagrecorders.com/ Control Solutions: http://www.vfcdataloggers.com/