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Ann Melvin, MD
Associate Program Director, Research Subject Advocate Program

Office: W-6607 (6th floor-Whale Entrance)
Mailstop W-6607
(206) 987-2535
ann.melvin@seattlechildrens.org

Anthony Back, MD
Associate Program Director, Research Subject Advocate Program

Office: SCCA
358081
(206) 288-6797
tonyback@seattlecca.org

Jason Malone, CIP
Associate Program Director, Research Subject Advocate Program

Office: UWMC SS702
356178
(206) 598-4734
jmmalone@u.washington.edu

Data and Safety Monitoring Plans

UW GCRC requirements for data and safety monitoring are based on overall NIH requirements, and those of the National Center for Research Resources (NCRR), which supports the GCRC.

NIH policy requires that investigators submit a general description of the Data and Safety Monitoring Plan (DSMP) for clinical investigations (biomedical and behavioral intervention studies) as part of the research application. A general description of a monitoring plan establishes the overall framework for the study's data and safety monitoring. It should describe the entity that will be responsible for monitoring, and how adverse events (AEs) will be reported to the Institutional Review Board ( IRB ), the GCRC, and the appropriate federal agencies (NIH, Office of Biotechnology Activities (OBA) and/or FDA) in accordance with current NIH and/or FDA and local or state regulations. The purpose of a DSMP is to insure the safety of participants, the validity of data, and the appropriate termination of studies for which significant benefits or risks have been uncovered or when it appears that the investigation cannot be concluded successfully.

The detailed DSMP must be reviewed and approved by the GCRC Scientific Advisory Committee (SAC) prior to the initiation of the study, as part of the Application to Use the GCRC.  DSMPs may be submitted concurrently to the IRB and to the SAC (as part of the GCRC application) for parallel review.

When designing an appropriate DSMP the following principles should be considered:

  1. All investigation requires monitoring.
  2. The benefits of the investigation should outweigh the risks.
  3. The monitoring plan should be commensurate with the risks.
  4. Monitoring should be commensurate with the size and complexity of the investigation.

DSMP Guidelines

Guidelines for developing a DSMP are detailed below. It is not necessary that the DSMP cover all possible aspects of each element down to the last detail. Rather, the plan should describe processes for dealing with these elements such that a reasonable reviewer would conclude that the institution or investigator has a serious, robust process in place for assuring the safety of research participants and the oversight of data integrity.

The minimum required DSMP content includes the following:

  • Assessment of level of risk of the investigation
  • The entity that will be responsible for monitoring
  • Adverse event (AE) grading and attribution scale
  • Plan for unanticipated AE reporting
  • Plan for annual reporting of AEs
  • Plan for safety review - by whom and at what frequency

The assessment of the level of risk of the investigation is an important component of the DSMP, as it determines the intensity and structure of the subsequent monitoring procedures. The NCRR requires a data safety and monitoring board (DSMB) for any investigation that places participants at significant risk. The NIH requires a DSMB for Phase III clinical investigations (or any multi-site clinical trial) involving interventions that entail potential risk to participants. In general this would apply to all risk-level IV studies, and may include some risk-level III studies. These requirements apply to all investigations regardless of source of funding, (NIH, industry, local, etc.). The ultimate decision regarding the level of risk of the investigation, and thus the monitoring requirements, will be made by the IRB and the GCRC Scientific Advisory Committee (SAC). For more information on NIH guidance on when DSMBs are needed, click here.

Sample DSMPs
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