Ceded IRB Review. The project involves prisoners or other vulnerable populations that require special considerations.

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The first assessment to make when including collaborators in research is whether the collaborating entity is engaged in research (see OHRP s Guidance on Engagement in Research). IRB oversight of engaged entities is required. Investigators working at multiple institutions and with multiple IRBs may choose to have one IRB become the IRB of record over some or all participating sites (commonly referred to as ceded review, reliance agreements, or deferral of IRB oversight.) This means that the NAU IRB either assumes (reviewing IRB) or gives up (relying IRB) its oversight of the research activity to another equally qualified IRB. These agreements are designed to reduce duplication and increases efficiency by designating a single IRB review when more than one site is involved in a research project. The NAU HRPP will not consider deferring IRB oversight to another IRB when: The project involves prisoners or other vulnerable populations that require special considerations. NAU serves as a coordinating center for a non-industry sponsored clinical trial (regardless of phase); The proposed IRB of record does not have sufficient knowledge of local context (as required by federal guidelines) to assume IRB oversight for sites that fall under NAU HRPP purview; A NAU study team member has a conflict of interest that requires a management plan and the management plan prohibits or limits activities that the individual can engage in related to human subjects research; Studies for which administrative or campus policies otherwise prohibit or limit options for IRB deferral. Responsibilities of the NAU when relying on another IRB Before a project may be ceded to another IRB the institution must verify that all institutional approvals are in place prior to issuing the approval to cede. The HRPP is the clearing house for such requests, and a request for deferral of IRB oversight must be submitted to HRPP. The HRPP will verify that all institutional approvals have been obtained, including but not limited to: Scientific review Payor coverage analysis Site authorizations Conflict of Interest Radiation safety or biological safety HSPP Office Use Only Ceded IRB Review v2017-01 Page 1 of 5

CITI training In addition to required local approvals, the HRPP will verify the protocol, consent, and other study documents comply with local and state law. This is required for all ceded studies, even those where the NAU has existing standing agreements. Responsibilities of the NAU as the reviewing IRB A full IRB application must be submitted to the NAU IRB for review and approval by a NAU affiliated individual as Principal Investigator. The Multi-site appendix must also be included for each site where the NAU IRB is requested to assume oversight. All requirements of the NAU must be met as usual for any IRB review, and individual documentation from each site will be required via signed agreements (see below). For sites where the NAU is the lead institution (may also be called the coordinating center) and the external site has its own IRB, a copy of the initial IRB approval must be submitted to the HRSP office for file completion. At the time of NAU continuing review, documentation of continued oversight is necessary to demonstrate continued compliance. The NAU Principal Investigator should maintain appropriate documentation of site approvals and consent forms. IRB Authorization Agreements (IAA) Federal regulations require that an IRB authorization agreement (IAA) be developed and signed by both institutions. All studies will require that an IA be obtained, unless 1) the project has been deemed exempt, or 2) organizations for which NAU has a standing agreement in place. The IAA includes a detailed list of obligations for both the Relying and Receiving IRB. This process can sometimes go quickly, but it is not uncommon for it to take months. How long it may take to finalize an agreement depends on several factors, including the responsiveness of the other IRB and its experience with ceded agreements, as well as, whether language in the IAA requires negotiation. Study teams are advised to keep this in mind when considering requesting ceding to another IRB. Occasionally a collaborator is not affiliated with an institution at all, but will be engaged in human research activities for a NAU project. The NAU IRB may serve as the IRB of record for this individual, but it is very case specific. In addition, the NAU IRB will require a separate signed individual authorization agreement. Please contact the Human Research Protection Program to discuss. Responsibilities of the NAU Investigator when ceding review to a relying IRB Ceded IRB Review v2017-01 Page 2 of 5

Once a study has been ceded to another IRB, the NAU investigator is responsible to report and update the ceded IRB according to their policies and procedures. The NAU HRPP also should be notified for: Post Review Correspondence After a project has been ceded to another IRB, the NAU IRB is no longer the IRB of record for the study. Many times the NAU HRPP does not receive copies of correspondence with the investigator, including updating renewal periods. It is the responsibility of the investigator to submit copies of renewals and study closures to the HRPP so we can keep our records up to date. If the NAU IRB has not submitted any renewals or study closure within two years of the ceded review the PI will be contacted asking about the status. If the PI doesn't reply to the email within 30 days the project will be closed in our system. Reportable Items The NAU does require that all local unanticipated problems (UP) or reportable items be submitted to the HRPP for our files. This is so the HRPP can maintain local knowledge regarding local subjects and problems with the ceded study. Many times, copies of paperwork submitted to the ceded IRB will suffice for documenting the items. Sometimes a separate reportable item form, may be required. See the HRPP Guidance, Reporting local information. Please contact the HRPP with questions when a UP or local reportable item arises. Concluding the study Investigators are responsible for concluding all Human Research activities as soon as possible after the project is completed or no longer involves human research participants. Submit a copy of the conclusion paperwork from the reviewing IRB so the University of Arizona can complete their records. If the NAU is the reviewing IRB, submit the appropriate HRPP Form to conclude the study. HIPAA Authorizations Some IRBs will not or do not approve HIPAA authorization forms. If the ceded IRB does not review authorization forms, the investigator must submit the authorization form to the NAU HRSP for review. Please ask the ceded IRB what their policy is regarding HIPAA authorization forms. If necessary, submit a request for amendment to the HRPP for review. Renewal periods The renewal period is given to the project by the ceded IRB. The NAU HRPP does not issue approval periods for ceded studies. Ceded IRB Review v2017-01 Page 3 of 5

Responsibilities of the Reviewing IRB Not all organizations will agree to accept responsibility for another site or investigator. Policies regarding accepting IRB oversight for other institutions vary widely and some IRBs will NOT serve as IRB of record for another institution. Study teams are expected to contact the proposed IRB of record regarding whether it is willing to serve as IRB of record before submitting a request to cede IRB review. Confirmation should be obtained from the proposed IRB of record's staff and not from other researchers at that institution. At a minimum, the Reviewing IRB is responsible for: Maintaining a current and active Federalwide Assurance (FWA) with the Department of Human Research Protections (OHRP). Agreeing to accept responsibility for all activities and actions of the investigator as it relates to the proposed study. Conducting initial and continuing reviews, review amendments to approved protocols and reportable events, all in accordance with applicable state and federal laws, regulations, guidance, and rulings related to the protection of human subjects. Suspending or terminate IRB approval of research, and shall notify the Relying IRB in writing of all determinations resulting from review of unanticipated problems, serious or continuing noncompliance, and other noncompliance with approved protocols. Notifying the Relying IRB in the event that the Reviewing IRB receives an inquiry from any governmental official related to research under the purview of the Reviewing IRB. The Reviewing IRB shall inform the Relying IRB immediately, and shall provide any new information to the Relying IRB during the course of such inquiry. Maintaining records of all studies. The records will include, at a minimum, the date the application was submitted, the application and all related correspondence, including revised applications, correspondence between the IRB and the investigator, review determinations, dates of approval, location of research activity, minutes related to review activities, all study documents released with the approval or exemption determination, as well as oversight actions. The Reviewing IRB shall make these records available to the Relying IRB. The Reviewing IRB shall retain these records for the period of time required by all relevant federal and state laws, statutes and regulations and the Reviewing IRB s Institutional policy. Responsibilities of the Relying IRB At a minimum, the relying IRB is responsible for the following: Maintain a current and active Federalwide Assurance (FWA) with the Department of Human Research Protections (OHRP). Ceded IRB Review v2017-01 Page 4 of 5

In the event that the Relying IRB is audited or receives a notice of action (e.g. FDA 483) from any government official related to research under the purview of the Reviewing IRB, the Relying IRB will inform the Reviewing IRB immediately, and shall provide any new information to the IRB during the course of such inquiry. In the event the Relying IRB imposes sanctions or actions against a researcher or research study (e.g. non-compliance, Conflict of Interest determination), the Relying IRB will inform the Reviewing IRB immediately, and shall provide any new information to the IRB during the course of such action. Ceded IRB Review v2017-01 Page 5 of 5