An Unanticipated problem is any event, experience, issue, instance, problem or outcome that meets all 3 of the following criteria: Show
Unanticipated Problems that meet the definition of an Serious Adverse Events A small number of Adverse Events are considered Unanticipated Problems. If an Adverse Event meets ALL 3 the criteria listed above, then the event is considered an Adverse event AND an Unanticipated Problem: Those events that meet the definition of both adverse event and unanticipated problem are reported to the IRB-HSR through the Adverse Event reporting system as previously described using IRB Online.
For additional information on Serious Adverse Events: https://research.virginia.edu/irb-hsr/serious-adverse-events Unanticipated Problems that meet the definition of Protocol Violation or Other Noncompliance IssueA small number of Protocol Violations are considered Unanticipated Problems ONLY if they meet all 3 of the criteria listed above. Events that meet the definition of both protocol violation and unanticipated problem are reported to the IRB-HSR using the Protocol Violation/Noncompliance /Enrollment Exception Form.
For additional information on Protocol Violations and other Noncompliance Issues: https://research.virginia.edu/irb-hsr/managing-protocol-after-initial-approval Look under Protocol Violation/Noncompliance/Enrollment Exceptions section
Unanticipated Problems that meet the definition of Data BreachA data breach may result from a violation of the Privacy Plan in the protocol (in which case it would be reported as a Protocol Violation. However there may also be a data breach that does NOT result from a Protocol Violation and meets the criteria for an Unanticipated Problem. If the Data Breach (not resulting from a Protocol Violation) meets all 3 of the following criteria below it would be reported using the Unanticipated Problem Reporting Form:
For more information on Data Breach: https://research.virginia.edu/irb-hsr/data-breach
Reporting Timeline Requirement for Unanticipated ProblemsIf an Unanticipated Problem should occur during the conduct of any study under the jurisdiction of the IRB-HSR, the PI should notify the IRB-HSR within 7 days from the time the PI/Study team receive knowledge of the event.
How to submit an Unanticipated Problem to the IRBEvents that meet the definitions of a Serious Adverse Event and unanticipated problem are reported to the IRB-HSR through the Adverse Event reporting system as previously described using IRB Online.
For additional information on Serious Adverse Events: https://research.virginia.edu/irb-hsr/serious-adverse-events
Events that meet the definition of both protocol violation/noncompliance and unanticipated problem are reported to the IRB-HSR using the Protocol Violation/Noncompliance/Enrollment Exception Form.
For additional information on Protocol Violations and other Noncompliance Issues: https://research.virginia.edu/irb-hsr/managing-protocol-after-initial-approval Look under Protocol Violation/Noncompliance/Enrollment Exceptions
Unanticipated problems that that are not the result of an adverse event or protocol violation must be submitted to the IRB-HSR within 7 calendar days from the time the study team receives knowledge of problem using the Unanticipated Problem Report.
Documentation of IRB’s Receipt of Unanticipated Problem The IRB will provide a copy of the Unanticipated Problem Form OR the Protocol Violation/Noncompliance/Enrollment Form to document IRB receipt. Documents should be placed in the regulatory files.
If the Unanticipated Problem is an AE, then it will be reported using IRB Online and automatic emails will be returned to the study team to document receipt. The emails should be placed in the regulatory files.
IRB Review of the Unanticipated Problem All reports of Unanticipated Problems are reviewed by the full board. Once the board’s review is complete the study team will receive an assurance form for the Full Board Determination: Any actions required by the board will be listed on the assurance form. The study team must complete any actions required by the board and file the Assurance Form in the regulatory files.
Mandatory IRB reporting of Unanticipated Problems Per federal regulations the IRB must report Unanticipated Problem to OHRP and the FDA (if applicable). If the Unanticipated Problem meets the definition of an Adverse Event, the sponsor is responsible for making the report to FDA. Per IRB policy these reports are copied to institutional officials involved in research oversight. The PI, study coordinator and IRB Coordinator will receive a copy of the letter
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