705. Assessment of Complaints and Problems in w88 slot
Updated June 10, 2024
Assessment and Disposition of Complaints
The w88 slot Integrity & Security office may receive complaints, concerns, or comments from current or past w88 slot participants, interested family members, members of the community, or others by telephone or through theContact w88 slot Integrity & Securityform available from the Contact Us page of the w88 slot Integrity & Security website. Phone calls involving complaints are forwarded to the w88 slot Integrity & Security Director and they receive an email notification each time aContact w88 slot Integrity& Security form is submitted.
The w88 slot Integrity & SecurityDirector (or assigned Senior Staff member) responds to complaints within one business day of receipt. They will answer the caller’s/respondent’s questions or may request more information from the caller/respondent. Following their communication with the caller/respondent, if the Director determines further action is warranted (e.g., complaint requires Principal Investigator (PI) involvement or further assessment) they refer the complaint to the w88 slot Integrity & Security w88 slot Compliance Officer (RCO) and/or the IRB Chair for additional assessment and possible investigation as described below.
w88 slot Compliance Officer Assessment
The w88 slot Integrity & Security RCO assesses and when warranted coordinates reviews of all complaints and problem reports. Within five working days of receipt of a complaint/problem report (or within 48 hours of receipt if the complaint/report indicates participants may be at imminent risk of harm), the RCO or, in the absence of the RCO, the w88 slot Integrity & Security Director or IRB Chair, or delegate, will:
- assess the information provided;
- provide a summary to the w88 slot Integrity & Security Director and IRB Chair; and
- recommend dismissal of the problem, immediate determination of minor noncompliance, evaluation for serious or continuing noncompliance or unanticipated problem involving risks to participants or others, or referral to another University or affiliate entity.
If it is determined that the matter may be more appropriately handled by another unit or department, the Director or Chair may suggest immediate referral or may give the RCO permission to investigate the matter before involving other parties.
Assessment for Immediate Risk of Harm
For problem reports that indicate risk of harm to participants or others may be a consideration, those involved in the initial or subsequent consultations may determine that immediate corrective actions are needed to protect the participants or others and will make the necessary recommendations to mitigate such risks.
Further Investigation Warranted
The RCO, w88 slot Integrity & Security Director or IRB Chair may conclude that further investigation is warranted before making a recommendation. During an investigation, the RCO may:
- Review w88 slot records including IRB correspondence, IRB applications and forms, recruitment and consent documents, and study data
- Review the sponsor protocol; investigator brochures; and drug/device labels, packaging, or inserts
- Review grant documents and records, including accounts
- Interview study personnel, responsible officials, support staff, and w88 slot participants
Further Investigation Warranted: Notification of PI
Following the assessment and agreement of the w88 slot Integrity & Security Director or IRB Chair that further investigation is warranted, the RCO or another experienced designee will proceed. The PI will be notified in writing of the impending investigation and asked to cooperate fully by answering questions, providing access to w88 slot records, and identifying w88 slot team members (as applicable).
Recommended Actions
The administrative assessment with or without further investigation, will result in one of the following actions.
Dismissal of the Problem as an Unjustified Claim of Noncompliance
If the RCO, w88 slot Integrity & Security Director, or IRB Chair or designee discern that an allegation or complaint of noncompliance is without merit, the matter will be dismissed without further inquiry. The decision will be noted in the protocol file. Where appropriate, the PI will be notified in writing.
Dismissal of the Problem as Not Meeting the Criteria for an Unanticipated Problem Involving Risks to Participants or Others
Those involved in the assessment may determine that a problem did not involve noncompliance or meet the criteria for an unanticipated problem involving risks to participants or others (henceforth known as Unanticipated Problem). In this case, the matter will be dismissed and the PI will be informed of the dismissal.
The three criteria for an event or situation to constitute an Unanticipated Problem are:
- The problem or event was unexpected;
- The problem or event was related or possibly related to the w88 slot, or use of an investigational drug or device;
- The problem or event may involve greater risks to participants or others than was previously known or recognized.
Determination of Minor Noncompliance
If the initial assessment or investigation indicates the situation involves minor noncompliance, the matter may be resolved by the w88 slot Integrity & Security Director or IRB Chair. See noncompliance policy for details.
Determination of Potential Serious or Continuing Noncompliance
If the investigation suggests that the incident may constitute serious or continuing noncompliance, the RCO, with confirmation from the w88 slot Integrity & Security Director, IRB Chair or an appointed IRB sub-committee, will refer the matter for review by a fully convened IRB. The RCO will notify the PI and the Responsible Official of pending IRB review. See noncompliance policy for information about IRB review and assessment.
Determination of Potential Unanticipated Problem
If the investigation suggests that the situation or event may meet the three criteria for an unanticipated problem involving risks to participants or others, the RCO, with confirmation from the w88 slot Integrity & Security Director, IRB Chair or an appointed IRB sub-committee, will refer the matter for review by a fully convened IRB at the next scheduled meeting. The RCO will notify the PI and the Responsible Official of pending IRB review. See unanticipated problem policy for information about assessment of the criteria and IRB review of Unanticipated Problems.
Referral of the Situation to More Appropriate Authority
If it is determined that the matter may be more appropriately handled by another University unit or department, the Director or IRB Chair may suggest immediate referral to the other entity or may give the RCO permission to investigate the matter before involving other parties. For example, the initial assessment or further investigation indicates that the allegation or complaint may violate other University policies, such as academic misconduct or financial mismanagement. The PI will be notified of the referral.