VA Research
Actions Insufficient to Further Strengthen Human Subject Protections
Gao ID: GAO-03-917T June 18, 2003
Every year thousands of veterans volunteer to participate in research projects under the auspices of the VA. Research offers the possibility of benefits to individual participants and to society, but it is not without risk to research subjects. VA studies, like other federally funded research programs, are governed by regulations designed to minimize risks and protect the rights and welfare of research participants. VA must ensure that veterans have accurate and understandable information so that they can make informed decisions about volunteering for research. In September 2000, GAO reported on weaknesses it found in VA's systems for protecting human subjects. VA concurred with GAO's recommendations that its human subject protections could be strengthened by taking actions in five domains--guidance, training, monitoring and oversight, handling of adverse event reports, and funding of human subject protection activities. (VA Research: Protections for Human Subjects Need to Be Strengthened, (GAO/HEHS-00-155, Sept. 28, 2000)). GAO was asked to assess whether VA has made sufficient progress in implementing the recommendations and to examine the recent changes in VA's organizational structure for monitoring and overseeing human subject protections.
VA has not taken sufficient actions to strengthen its human subject protection systems since GAO made recommendations nearly 3 years ago. Continuing weaknesses VA has not sufficiently addressed include ensuring that its policy for implementing federal regulations for the protection of human subjects is up to date; training occurs periodically for all personnel involved in human subject protections; those charged with reviewing risks have information that can help them interpret reports of adverse events; and sufficient funding is allocated to support human subject protection activities. VA has taken some important steps to strengthen aspects of its human subject protections by providing some necessary guidance and offering training to research personnel. Moreover, it strengthened its internal oversight and instituted an external accreditation program, with reviews of all its medical centers' human subject protection programs scheduled through summer 2005. VA is now in the midst of a reorganization of its headquarters research offices that was begun without adequate planning and notice. VA did not initially ensure the independence of compliance activities although more recent actions appear to have restored the integrity of the compliance function. VA has not clarified responsibilities for education, training, and policy development. Until it does so, it is unclear how the reorganization will affect VA's efforts to further strengthen its human subject protections.
GAO-03-917T, VA Research: Actions Insufficient to Further Strengthen Human Subject Protections
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Testimony:
Before the Subcommittee on Oversight and Investigations, Committee on
Veterans' Affairs, House of Representatives:
United States General Accounting Office:
GAO:
For Release on Delivery Expected at 10:00 a.m.
Wednesday, June 18, 2003:
VA RESEARCH:
Actions Insufficient to Further Strengthen Human Subject Protections:
Statement of Cynthia A. Bascetta:
Director, Health Care--Veterans':
Health and Benefits Issues:
GAO-03-917T:
GAO Highlights:
Highlights of GAO-03-917T, a testimony before the Subcommittee on
Oversight and Investigations, Committee on Veterans‘ Affairs, House of
Representatives
Why GAO Did This Study:
Every year thousands of veterans volunteer to participate in research
projects under the auspices of the VA. Research offers the possibility
of benefits to individual participants and to society, but it is not
without risk to research subjects. VA studies, like other federally
funded research programs, are governed by regulations designed to
minimize risks and protect the rights and welfare of research
participants. VA must ensure that veterans have accurate and
understandable information so that they can make informed decisions
about volunteering for research.
In September 2000, GAO reported on weaknesses it found in VA‘s systems
for protecting human subjects. VA concurred with GAO‘s recommendations
that its human subject protections could be strengthened by taking
actions in five domainsūguidance, training, monitoring and oversight,
handling of adverse event reports, and funding of human subject
protection activities. (VA Research: Protections for Human Subjects
Need to Be Strengthened, [GAO/HEHS-00-155, Sept. 28, 2000]).
GAO was asked to assess whether VA has made sufficient progress in
implementing the recommendations and to examine the recent changes in
VA‘s organizational structure for monitoring and overseeing human
subject protections.
What GAO Found:
VA has not taken sufficient actions to strengthen its human subject
protection systems since GAO made recommendations nearly 3 years ago.
Continuing weaknesses VA has not sufficiently addressed include
ensuring that
* its policy for implementing federal regulations for the protection
of human subjects is up to date;
* training occurs periodically for all personnel involved in human
subject protections;
* those charged with reviewing risks have information that can help
them interpret reports of adverse events; and
* sufficient funding is allocated to support human subject protection
activities.
VA has taken some important steps to strengthen aspects of its human
subject protections by providing some necessary guidance and offering
training to research personnel. Moreover, it strengthened its internal
oversight and instituted an external accreditation program, with
reviews of all its medical centers‘ human subject protection programs
scheduled through summer 2005.
VA is now in the midst of a reorganization of its headquarters
research offices that was begun without adequate planning and notice.
VA did not initially ensure the independence of compliance activities
although more recent actions appear to have restored the integrity of
the compliance function. VA has not clarified responsibilities for
education, training, and policy development. Until it does so, it is
unclear how the reorganization will affect VA‘s efforts to further
strengthen its human subject protections.
www.gao.gov/cgi-bin/getrpt?GAO-03-917T.
To view the full product, including the scope
and methodology, click on the link above.
For more information, contact Cynthia A. Bascetta at (202) 512-7101.
[End of section]
Mr. Chairman and Members of the Subcommittee:
I am pleased to be here to discuss the protection of human subjects who
participate in research conducted through the Department of Veterans
Affairs (VA). Every year thousands of veterans volunteer to participate
in research projects under the auspices of VA. Research offers the
possibility of benefits to individual participants and to society, but
it is not without risk to research subjects. VA studies, like other
federally funded research programs, are governed by regulations
designed to minimize risks and protect the rights and welfare of
research participants. VA must ensure that veterans who agree to become
subjects in VA research are given accurate and understandable
information about procedures, risks, and benefits so that they can make
informed decisions about volunteering. Concerns about VA's protection
of its human research subjects came to national attention in March
1999. At that time, all human research was suspended at the West Los
Angeles VA Medical Center after officials there failed to correct long-
standing problems with its system for protecting human
subjects.[Footnote 1] Recently, serious concerns were raised about the
safety of research programs at several VA medical centers, including
the Albany VA medical center, where the possibility of patient deaths
related to research is under investigation.
In September 2000, we testified before this subcommittee on weaknesses
we found in VA's systems for protecting human subjects.[Footnote 2] VA
concurred with our recommendations to take immediate steps to ensure
that human subjects would be protected in accordance with all
applicable regulations. We made specific recommendations for actions in
five domains--guidance, training, monitoring and oversight, handling of
adverse event reports, and funding of human subject protection
activities. You asked us to assess whether VA has made sufficient
progress in implementing our recommendations and to examine the recent
changes in VA's organizational structure for monitoring and overseeing
human subject protections.
My testimony is based on an update of VA's progress in implementing our
September 2000 recommendations and a review of VA's recent and ongoing
reorganization of its research offices. To do our work, we reviewed
documents, including VA memorandums, policies, and guidance and
interviewed key officials in VA headquarters. We conducted our work
from May through June 2003 in accordance with generally accepted
government auditing standards.
In summary, VA has not taken sufficient action to strengthen
protections for human subjects, although it has made some progress. VA
needs to address continuing weaknesses we identified nearly 3 years
ago. Specifically, VA has not revised its policy for implementing
federal regulations for the protection of human subjects. VA also has
not established training requirements, in policy, to ensure that all
research personnel will be informed of, and stay current with, ways to
comply with all applicable regulations for the protection of human
subjects. VA actions regarding two other recommendations are
incomplete. VA has not ensured that those charged with reviewing risks
related to ongoing research activities have information that can help
them interpret reports of actual adverse events that research subjects
experience while participating in studies. VA has also not ensured that
sufficient funding is allocated to support human subject protection
activities. On the other hand, VA has strengthened aspects of its human
subject protections by providing some necessary guidance and offering
training to research personnel. Moreover, it strengthened its internal
oversight and instituted an external accreditation program, with
reviews of all its medical centers' human subject protection programs
scheduled through summer 2005.
In 2003, VA began a reorganization of its research offices without
adequate planning and notice. We found that VA did not initially ensure
the independence of compliance activities although more recent actions
appear to have restored the integrity of the compliance function. In
addition, VA has not clarified responsibilities for education,
training, and policy development. Until these responsibilities are
clarified, it is unclear how the reorganization will affect VA's
progress in further responding to our recommendations to strengthen its
human subject protections.
Background:
Conducting research is one of VA's core missions.[Footnote 3] VA
researchers have been involved in a variety of important advances in
medical research, including development of the cardiac pacemaker,
kidney transplant technology, prosthetic devices, and drug treatments
for high blood pressure and schizophrenia. In fiscal year 2002, VA
supported studies by more than 3,000 scientists at 115 VA facilities.
VA researchers receive additional grants and contracts from other
federal agencies, such as the National Institutes of Health, research
foundations, and private industry sponsors, including pharmaceutical
companies.
To protect the rights and welfare of human research subjects, 17
federal departments and agencies, including VA, have adopted
regulations designed to safeguard the rights of subjects and promote
ethical research. These regulations, known as the Common Rule,
establish minimum standards for the conduct and review of research to
ensure that studies are conducted in accordance with certain basic
ethical principles. These principles require that subjects voluntarily
give their informed consent to participate in research, that the risks
of research are reasonable in relation to the expected benefits to the
individual or to society, and that procedures for selecting subjects
are fair.[Footnote 4]
The Common Rule creates a system in which the responsibility for
protecting human subjects is assigned to three groups:
* Investigators are responsible for conducting research in accordance
with regulations.
* Institutions are responsible for establishing oversight mechanisms
for research, including committees known as institutional review boards
(IRB), which are to review both research proposals and ongoing research
to ensure that the rights and welfare of human subjects are protected.
VA medical centers engaged in research involving human subjects may
establish their own IRBs or secure the services of an IRB at an
affiliated university or other VA medical center.
* Agencies, including VA, are responsible for ensuring that their IRBs
comply with applicable federal regulations and have sufficient space
and staff to accomplish their obligations.
VA is responsible for ensuring that all human research it conducts or
supports meets the requirements of VA regulations, regardless of
whether that research is funded by VA, the research subjects are
veterans, or the studies are conducted on VA grounds. In addition, two
components of the Department of Health and Human Services (HHS) have
oversight responsibilities for some VA research. The Food and Drug
Administration (FDA) is responsible for protecting the rights of human
subjects enrolled in research with products it regulates--drugs,
medical devices, biologics, foods, and cosmetics. HHS-funded research
is subject to oversight by its Office for Human Research Protections
(OHRP). Both FDA and OHRP have the authority to monitor those studies
conducted under their jurisdiction, and each can take action against
investigators, IRBs, or institutions that fail to comply with
applicable regulations. To facilitate assurance of compliance with
federal regulations for the protection of human subjects, VA awarded a
contract to the National Committee for Quality Assurance (NCQA) to
provide external accreditation of its medical centers' human research
protection programs in August 2000.
Two VA headquarters offices have responsibilities that are directly
related to human subject protections. Responsibility for the
administration of VA's research program rests with its Office of
Research and Development (ORD), which allocates appropriated research
funds to VA researchers. To help ensure that VA research is conducted
ethically, legally, and safely, VA created an independent office to
conduct compliance and oversight activities--the Office of Research
Compliance and Assurance (ORCA)--in 1999. This office was given
responsibilities for promoting and enhancing the ethical conduct of
research and investigating allegations of research noncompliance; it
reported directly to the Under Secretary for Health. In early 2003, VA
reorganized its research offices and replaced ORCA with a new office,
the Office of Research Oversight (ORO). ORCA's responsibilities for
education, training, and policy guidance were transferred to ORD.
ORCA's responsibilities for compliance activities were assigned to ORO.
In March 2003, ORD issued a memorandum announcing a 90-day national
"stand down" for VA human subject research to be effective from March
10 through June 6, 2003, although research was permitted to continue
during this period. The stand down was intended to focus efforts on
identifying and correcting problems with VA's systems for protecting
human subjects and to notify investigators that disciplinary actions
may result from noncompliance with federal regulations governing the
conduct of their research. ORD also asked medical center managers to
attest that their IRBs are constituted as required by VA regulations
and that they meet regularly enough to review research protocols and
adverse events; that their research staff has obtained training in
human subject protections; and that they have checked the credentials
of all personnel involved in research, including investigators,
research team members, IRB members and staff, and research and
development committee members.
Earlier Evaluation Showed VA Needed to Strengthen Human Subject
Protections:
In 2000, we concluded that medical centers we visited did not comply
with all regulations to protect the rights and welfare of research
participants. Based on our review of eight medical centers, we
documented an uneven, but disturbing, pattern of noncompliance with
human subject protection regulations. The cumulative weight of the
evidence indicated failures to consistently safeguard the rights and
welfare of research subjects. Among the problems we observed were
failures to provide adequate information to subjects before they
participated in research, inadequate reviews of proposed and ongoing
research, insufficient staff and space for IRBs, and incomplete
documentation of IRB activities. We found relatively few problems at
some sites that had stronger systems to protect human subjects, but we
observed multiple problems at other sites. Although the results of our
visits to medical centers could not be projected to VA as a whole, the
extent of the problems we found strongly indicated that human subject
protections at VA needed to be strengthened.
Although primary responsibility for implementation of human subject
protections lies with medical centers, their IRBs, and investigators,
we identified three specific systemwide weaknesses that compromised
VA's ability to protect human subjects. First, VA headquarters had not
provided medical center research staff with adequate guidance about
human subject protections and thus had not ensured that research staff
had all the information they needed to protect the rights and welfare
of human subjects. Second, insufficient monitoring and oversight of
local human subject protections by headquarters permitted noncompliance
with regulations to go undetected and uncorrected. Third, VA had not
ensured that funds needed for human subject protections were allocated
for that purpose at medical centers, with officials at some medical
centers reporting that they did not have sufficient resources for the
staff, space, training, and equipment necessary to accomplish their
mandated responsibilities.
To strengthen VA's protections of the rights and welfare of human
subjects, we recommended that VA take immediate steps to ensure that VA
medical centers, their IRBs, and VA investigators comply with all
applicable regulations for the protection of human subjects. The
specific actions we recommended involved guidance, training, monitoring
and oversight, handling of information about adverse events, and
funding of human subject protection activities. VA concurred with our
recommendations.
Insufficient Action Taken to Strengthen Protections for Human Subjects,
Although VA Has Made Some Progress:
VA has not taken sufficient action to strengthen protections for human
subjects since we made our recommendations nearly 3 years ago although
it has taken some important steps. ORD has not revised its policy on
human subject protections, and it has not established training
requirements, in policy, to ensure that research personnel obtain
periodic training. Moreover, VA has not established a mechanism for
handling adverse event reports to ensure that IRBs have the information
they need to safeguard the rights and welfare of human research
participants and it has not ensured that sufficient resources are
allocated to support human subject protection activities. On the other
hand, VA has strengthened aspects of its human subject protection
systems. ORCA developed a training program and conducted oversight
activities by investigating claims of research improprieties or
noncompliance and restricting or suspending four medical centers'
research activities when it found evidence of serious problems. VA also
instituted an external accreditation program that has the potential to
further strengthen VA's oversight of human subject protections.
Policy for Human Subject Protections Has Not Been Revised, but Other
Important Guidance Was Issued:
In 2000, we reported that we had found problems with VA's policy for
implementing federal regulations for the protection of human subjects.
These problems included requirements for obtaining and documenting
informed consent. For example, the policy requires use of a particular
form to document a subject's consent to participate in research. This
form calls for the signature of a witness, but does not indicate who
may serve as a witness, to what the witness is attesting, or the
circumstances under which a witness is needed.
In its comments to that report, VA indicated that ORD was in the
process of updating its policy on human subject protections and that it
expected to submit that policy for internal review by the end of August
2000. When we followed up in September 2001, VA reported that comments
were being incorporated into the draft policy. In September 2002, VA
reported that it was awaiting final review but has not issued its
revised policy as of June 2003. As a result, investigators, IRB members
and staff, and other research personnel do not yet have a clear, up-to-
date policy to follow when implementing human subject protections.
Consequently, VA cannot ensure that research staff know what they need
to do to protect the rights and welfare of human research subjects.
In addition to the problems we noted with VA's policy, we reported in
2000 that VA headquarters had not provided medical center staff with
adequate guidance to help them ensure the protection of human research
subjects. VA has made some progress in this area. For example, ORCA had
begun distributing some information to medical centers in early 2000.
By January 2003, it had posted about 60 information letters and 14
alerts on its web page and through electronic mail to research
facilities. These letters and alerts provide information about new HHS
guidance and policies regarding human subject protections, reports on
research ethics, and problems that ORCA staff observed during site
visits to VA medical centers. In addition, ORCA developed guidance
about human subject protections. For example, ORCA published a best
practices guide for IRB procedures in September 2001 and a tool for
medical centers to use to assess their human subject protection
programs in October 2001.
Training Requirement Not Established in Policy, Although Training
Opportunities Offered:
In 2000, we found that VA did not have a systemwide educational program
focused on human subject protection issues. Although VA's human subject
protection regulations do not include any specific educational
requirements, we concluded that periodic training for investigators,
IRB members, and IRB staff is necessary to ensure that they can meet
their obligations to protect the rights and welfare of human research
subjects.
VA has not established training requirements in policy, although on two
occasions it has issued memorandums that required training. In August
2000, ORD issued a memorandum to medical center associate chiefs of
staff for research stating that all VA investigators had to meet
specific education requirements before submitting research proposals
during 2001. ORD's memorandum regarding the March 2003 stand down
stated that all research personnel must provide documentation that they
have completed both a course on the protection of human research
subjects and a course on good clinical practices within the past year;
otherwise all research personnel must complete this training by June 6,
2003. These additional personnel include research coordinators and
research assistants involved in human research; all members of VA
research offices, research and development committees, and IRBs; and
IRB staff (except secretarial staff). According to VA's policy for
distributing information, however, memorandums are not used to
establish permanent requirements or policy, and education and training
requirements for investigators were not published in a directive or
handbook, which are the documents VA uses to communicate policy
requirements. As a result, headquarters cannot systematically ensure
that all VA personnel involved in human subject research will be
informed of, and stay current with, ways to comply with all applicable
regulations for the protection of human subjects.
Despite the lack of policies requiring human subject protections
training, both ORD and ORCA have provided information since we made our
recommendation about available educational programs to investigators
and other research personnel. ORCA worked with academic institutions to
develop an optional training program for use by VA investigators, IRB
members, IRB staff, research administrative staff, and medical center
officials. This web-based training program includes quizzes after each
module; certification of successful completion requires achieving a
score of at least 75 percent correct. ORCA also presented a seminar on
research compliance and assurance to senior managers of each of VA's
networks,[Footnote 5] and ORD recently began providing training to
senior managers about their responsibilities regarding human subject
protections.
Internal and External Oversight Strengthened:
In 2000, we reported that VA had not identified widespread weaknesses
in its human subject protection systems because of its low level of
monitoring. VA has made progress in strengthening its oversight. ORCA,
which was created in 1999, was charged with advising the Under
Secretary for Health on all matters related to human subject
protections, promoting the ethical conduct of research, and conducting
prospective reviews and "for cause" investigations. Since becoming
operational, ORCA has investigated claims of improper conduct of
research and noncompliance. In about a dozen cases, it sent teams to
medical centers to conduct intensive for cause reviews. ORCA also
conducted six on-site reviews to follow up on findings from external
accreditation reviews. As a result of its investigations, ORCA
restricted or suspended research at four VA medical centers until
identified problems were corrected. For example, in March 2001, ORCA
restricted one medical center's human research activities by suspending
enrollment of new subjects in research after its investigation revealed
noncompliance with several regulations pertaining to IRBs.[Footnote 6]
ORCA lifted this restriction in February 2002 after the medical center
corrected the identified problems.
In addition to its internal oversight mechanisms, VA became the first
research organization to arrange for external accreditation of human
subject protection systems. External accreditation has the potential to
significantly strengthen oversight of human subject protections. In
August 2000, VA awarded a $5.8 million, 5-year contract to NCQA to
operate an accreditation program to assess medical centers' compliance
with federal regulations for the protection of human subjects. VA's
contract with NCQA requires it to develop accreditation standards, to
conduct a site visit every 3 years to each VA medical center conducting
human research, and to decide on the accreditation status of each
facility. According to a 2001 report by the Institute of Medicine, the
accreditation standards developed by NCQA provide a promising basis for
accreditation because they are explicitly linked to federal regulations
and pay attention to quality improvement.[Footnote 7] The Institute of
Medicine recommended that the NCQA standards be strengthened, for
example, by specifying how research subjects will be involved in human
subject protection systems.
NCQA began accrediting VA medical centers and has revised its
accreditation process. NCQA conducted accreditation visits to 23 VA
facilities from September 2001 through May 2002. An ORD official told
us that, of those 23 facilities, 20 were accredited with conditions, 2
were not accredited, and 1 withdrew from the process. A facility
accredited with conditions met most of the accreditation standards. On
the basis of its experience and feedback on its standards, NCQA
proposed--and ORD approved--revising the standards. NCQA discontinued
accreditation reviews while it revised its standards for evaluating
human subject protection programs. Revisions involved clarification of
standards, reduction of redundancies, and changes to the scoring
system. Some revisions were designed to respond to comments from the
Institute of Medicine. For example, NCQA adopted standards to encourage
a facility to obtain input from research subjects to improve its human
subject protection system. ORD approved a new set of standards in April
2003. Site visits are expected to resume in October 2003, with
accreditation reviews of all VA facilities involved in human subject
research planned for completion by summer 2005.
Actions Regarding Adverse Event Reports and Funding for Human Subject
Protection Activities Are Incomplete:
In 2000, we reported that IRBs have difficulty handling adverse event
reports and often lack key information necessary for their
interpretation. Since then, VA has not developed a mechanism for
handling adverse event reports to ensure that IRBs have information
that can help them interpret reports of actual adverse events that
research subjects experience while participating in studies. Federal
regulations require investigators to report to the IRB unanticipated
problems involving risks to subjects. In turn, IRBs are to review these
adverse event reports as part of their continuing assessment of the
adequacy of a study's protections for human subjects. ORD issued
guidance stating that analyses of adverse events should be provided to
IRBs for those clinical trials that VA funds at multiple medical
centers. ORCA staff participated in interagency discussions about how
to help IRBs handle adverse event reports and developed guidance
regarding what adverse events IRBs are to report to ORCA. As of June
2003, this guidance has not been issued and VA still lacks
comprehensive guidance to help IRBs interpret reports of adverse
events.
In 2000, we reported that VA did not know what level of funding was
necessary to support human subject protection activities and research
officials at five of eight medical centers we visited told us that they
had insufficient funds to ensure adequate operation of their human
subject protection systems. In May 2000, ORD provided networks with
suggestions for the level of administrative staffing of IRBs. ORD also
commissioned a study of the costs of operating IRBs within VA, which
was completed in June 2002. On June 13, 2003, VA issued a policy
regarding funding for human subject protection programs that medical
centers are to obtain from external sponsors of VA research.
Specifically, the sponsor of each industry-funded study is to be
charged 10 percent of the direct costs of the study or a flat fee of
$1,200, whichever is greater, by the medical center to help cover the
costs of the human subject protection program. We have not had the
opportunity to study the potential for this mechanism to help ensure
sufficient funding. VA has not specified a procedure for ensuring that
its medical centers--which conduct VA-funded research and research
funded by federal agencies and research foundations as well as
industries---will be allocated the funds necessary for their human
subject protection programs.
Recent Reorganization Appears to Maintain Independent Compliance
Function, but Other Roles and Responsibilities Unclear:
In 2003, VA began a reorganization of its research offices without
adequate planning and notice. We found that VA did not initially ensure
the independence of compliance activities, although more recent actions
appear to have restored the integrity of the compliance function. In
addition, VA has not clarified responsibilities for education,
training, and policy development.
VA's initial action to reorganize its research offices failed to ensure
the independence of compliance activities. In January 2003, officials
announced that the existing compliance office, ORCA, would be disbanded
and the compliance function and staff reassigned to ORD. As a result,
compliance field personnel began reporting their activities to ORD,
potentially compromising the independence of their compliance
investigations. In a series of memorandums issued from March through
May of 2003, VA announced that a new office, ORO, would replace ORCA.
VA memorandums indicated that ORO, like ORCA, would be independent of
ORD, and that ORO would be organizationally responsible to the Under
Secretary for Health.
According to generally accepted government auditing standards, offices
with responsibility for assessing regulatory compliance should be
organizationally independent of the offices they review and should
report to, and be accountable to, the head or deputy head of the
government entity.[Footnote 8] Because VA considered making ORD
responsible for compliance activities--where its independence would be
compromised--legislation was proposed in the House of Representatives
to establish an independent office within VA to oversee research
compliance with federal regulations.[Footnote 9]
According to VA memorandums and discussions with agency officials, ORO
will have responsibility for investigating allegations of research
noncompliance, misconduct, and improprieties. However, it is not clear
whether ORO will have authority to review a medical center's human
subject protection program in the absence of a prior allegation of a
problem; that is, whether it can conduct prospective investigations.
While VA memorandums indicate that ORO will have the same compliance
responsibilities that ORCA had and specify that for cause inspections
will be conducted; they are silent on routine inspections. Experts in
human subject protections have said that these routine inspections,
sometimes referred to as prospective inspections, are an essential way
to help prevent noncompliance. As of June 2003, a directive to
formalize the authorities and responsibilities of ORO has not been
issued. Consequently, ORO's compliance responsibilities remain
unclear.
Other roles and responsibilities are also unclear. For example, ORCA
previously had responsibilities for education and training. VA's
reorganization now assigns these responsibilities solely to ORD. The
implications of this transfer of responsibilities for strengthening
human subject protections are unclear. For example, when ORCA conducted
compliance reviews or followed up on results of accreditation reviews,
it provided instruction about what steps would be necessary to correct
identified problems. It is not clear whether or to what extent such
instruction, including technical assistance regarding a specific area
of noncompliance, would be considered to be education and training and
therefore not within ORO's responsibilities.
ORCA also had responsibility to participate in the development of
policies involving human subject protections. Under the reorganization,
ORD would have responsibility for policy development. Existing
memorandums are silent on whether ORO will have any role in, or can
contribute its expertise to, policy development. ORCA had been created
with the understanding that it would collaborate with ORD on
dissemination of information, communication, and policy development. It
is not clear to what extent VA's efforts to strengthen its human
subject protections will bring to bear the collective expertise of the
staff in its compliance and operational research offices. However,
having ORD take the lead on policies regarding compliance functions or
activities could be inappropriate to the extent that it interferes with
ORO's independence in executing its compliance functions.
Mr. Chairman, this concludes my prepared remarks. I will be pleased to
answer any questions you or other members of the subcommittee may have.
Contact and Acknowledgments:
For further information regarding this testimony, please contact
Cynthia A. Bascetta at (202) 512-7101. Kristen Joan Anderson, Jacquelyn
Clinton, Pamela Dooley, Lesia Mandzia, Marcia Mann, and Daniel Montinez
also contributed to this statement.
[End of section]
Related GAO Products:
Human Subjects Research: HHS Takes Steps to Strengthen Protections, but
Concerns Remain. GAO-01-775T. Washington, D.C.: May 23, 2001.
VA Research: Protections for Human Subjects Need to Be Strengthened.
GAO/HEHS-00-155. Washington, D.C.: September 28, 2000.
VA Research: System for Protecting Human Subjects Needs Improvements.
GAO/T-HEHS-00-203. Washington, D.C.: September 28, 2000.
Scientific Research: Continued Vigilance Critical to Protecting Human
Subjects. GAO/T-HEHS-96-102. Washington, D.C.: March 12, 1996.
Scientific Research: Continued Vigilance Critical to Protecting Human
Subjects. GAO/HEHS-96-72. Washington, D.C.: March 8, 1996.
FOOTNOTES
[1] The West Los Angeles VA Medical Center is now part of the VA
Greater Los Angeles Healthcare System.
[2] See U.S. General Accounting Office, VA Research: System for
Protecting Human Subjects Needs Improvements, GAO/T-HEHS-00-203
(Washington, D.C.: Sept. 28, 2000) and VA Research: Protections for
Human Subjects Need to Be Strengthened, GAO/HEHS-00-155 (Washington,
D.C.: Sept. 28, 2000).
[3] VA's four core health care missions are patient care, education,
research, and backup to the Department of Defense health system in war
or other emergencies.
[4] 38 C.F.R. pt. 16. VA regulations provide additional protections to
those participating in human subjects research. See 38 C.F.R. §17.85.
[5] VA has 21 Veterans Integrated Service Networks that coordinate the
activities of, and allocate funds to, VA medical centers, nursing
homes, and other facilities in each region.
[6] The IRB of this medical center served as the IRB-of-record for a
second VA medical center. Therefore, human research at two medical
centers was affected.
[7] Institute of Medicine, Preserving Public Trust: Accreditation and
Human Research Participant Protection Programs (Washington, D.C.:
National Academy Press, 2001).
[8] HHS separated its compliance office from its administrative office
after we voiced similar concerns about independence. As a result,
instead of reporting to the National Institutes of Health, which
conducts and funds research, OHRP has been reporting to HHS's Assistant
Secretary for Health since June 2000. See U.S. General Accounting
Office, Scientific Research: Continued Vigilance Critical to Protecting
Human Subjects, GAO/HEHS-96-72 (Washington, D.C.: Mar. 8, 1996).
[9] H.R. 1585, 108th Cong. (2003).