CTMB Guidelines (Rev. October 2006) Section 5: Conducting the Quality Assurance Audit.

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CTMB Guidelines (Rev. October 2006) Section 5: Conducting the Quality Assurance Audit

Transcript of CTMB Guidelines (Rev. October 2006) Section 5: Conducting the Quality Assurance Audit.

Page 1: CTMB Guidelines (Rev. October 2006) Section 5: Conducting the Quality Assurance Audit.

CTMB Guidelines(Rev. October 2006)

Section 5: Conducting the Quality Assurance Audit

Page 2: CTMB Guidelines (Rev. October 2006) Section 5: Conducting the Quality Assurance Audit.

Source Documents

Used to verify protocol compliance and data submitted

May include items such as: Inpatient and/or outpatient medical recordsDx reports such as CT scans, CXR, EKG,

etcPathology and lab reportsPE & progress notes

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Source Documents

Any patient record that is signed and dated by a healthcare worker assessing the patient

Patient diariesDARFsStudy drug invoices and returnsAppropriately signed and dated ICF IRB documents and correspondence

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Audit Findings

Three sections to an audit report:

1) IRB and informed consent content2) Pharmacy review & use of NCI DARFs3) Patient case review

Page 5: CTMB Guidelines (Rev. October 2006) Section 5: Conducting the Quality Assurance Audit.

Audit Findings

Each of the three elements will receive a rating of:

1) Acceptable2) Acceptable Needs Follow-up3) Unacceptable

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Audit Findings

Written corrective action plan is required for any element that receives an Acceptable Needs Follow-up or Unacceptable

The CALGB Central Office must approve the action plan before submission to CTMB

Re-audits are required for any Unacceptable rating w/n 1 yr or sufficient accrual

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IRB Element

A minimum review of the following is required for each audited protocolFull board initial approval prior to first

registered patientFull annual review if study is open to

enrollment or patient receiving active txAll updates that affect more than minimal

risk w/n 90 days of group notification

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IRB Element

External IND safety reports that are unanticipated and > grade 3 attribution – unless the institution’s IRB has a local policy does not require report of these events. (CO approval of these policies must take place before audit.)

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IRB – Consent Content

The content of ICFs must be reviewed from a minimum of 3 protocols and must include the elements listed in the Code of by Federal Regulations

All side effects and alternatives to treatment listed in the model consent forms must also be in each consent form since they are NCI approved consents

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Pharmacy Audit

A member of the DAC will perform an audit of the pharmacy when study supplied drugs are involved.

Section 5.3 lists all procedures required for drug storage and accountability along with a list of compliant vs. non-compliant elements.

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Patient Case Review

A minimum of 10% of cases will be audited since the last audit

Categories to be audited: Signed and dated ICF Eligibility Protocol directed treatment, treatment sequence,

and dose delays or adjustments Disease response Treatment side effects Quality of data collection

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Patient Case Review

The responsible investigator and/or a designee should be available to auditors at all times to help locate data and answer questions.

Source documentation that is not available at audit time can be supplied to the team leader within two weeks to be included in the audit findings.

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Exit Interview

An executive session will take place between auditors only prior to the Exit Interview to prepare discussion of pre-liminary findings.

The team leader will lead the discussion at the Exit Interview, however the additional auditors may be asked to provide clarification or feedback on patients audited.