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| Severe Acute
Respiratory Syndrome (SARS) |
December
11,
2003
Deputy Associate
Director for Science, CDC
Local IRB
Review of Severe Acute Respiratory Syndrome (SARS) Laboratory Investigational
Test Protocols--CDC Protocols 3911 and 3918
Dean Erdman,
Dr.P.H.
Principal Investigators, CDC Protocol 3911
Lia Haynes, Ph.D.
Principal Investigaor, CDC Protocol 3918
National Center for Infectious Diseases, CDC
This is
to clarify issues concerning local institutional review board (IRB)
review of Severe Acute Respiratory Syndrome (SARS) Laboratory Investigational
Test Protocols from the Centers for Disease Control and Prevention:
CDC Protocol 3911--
Implementation of the SARS coronavirus real-time RT-PCR assay at participating
public health laboratories to detect SARS-CoV in respiratory secretions, blood,
plasma, serum and stool; and CDC Protocol 3918--Implementation
of the SARS Coronavirus EIA at participating public health laboratories
to detect SARS-CoV in blood samples.
The scope
of possible use of these protocols can not be definitively determined
at this time. In addition, the need to have these protocols widely
available at this time as well as the possible urgent nature of utilizing
these tests for a public health response to a SARS epidemic makes
local IRB review problematic. Accordingly, CDC has elected to use
the CDC IRB as a national IRB to review these protocols, and the
Food and Drug Administration has concurred in this decision. Unless
otherwise precluded by local law or institutional policy, each local
site that becomes involved in these protocols may rely on the CDC
IRB to meet the FDA regulatory requirements of IRB review. Instructions
to this effect will be included in the materials distributed to participating
sites.
Sites which
are precluded by local law or institutional policy from relying on another
IRB, or those sites that otherwise decide to perform their own IRB review
regardless of the national IRB review, need to consider the following
factors in their review.
- CDC
has determined that the use of these investigational tests for
use in detecting SARS-CoV infection does not constitute research
subject to regulation under 45 CFR 46.102(d). Therefore, these
protocols should be reviewed for compliance with FDA regulations
found at 21 CFR 50 and 56.
- FDA has
determined that protocol 3918 does not require an Investigational Device
Exemption as outlined in 21 CFR 812.2(b).
- Due to
time constraints and competing priorities, CDC program and IRB staff
will not be able to respond to specific issues and concerns arising
from these reviews. If substantial issues are identified which prevent
approval, the local site may be referred to FDA for guidance on use
of these products.
- FDA regulations
concerning one-time emergency use of investigational products prior
to IRB review may be applicable in certain settings. Consult with your
local human research protection program for guidance and procedures.
I hope
that this clarifies the issues concerning local IRB review of these protocols.
John
R. Livengood, M.D., M.Phil.
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