Remote Services and Technology in Clinical Trials Require More Regulatory Clarity for Investigators:
A Call to Action
Jimmy Bechtel
The Society for Clinical Research Sites
W

ith the continued implementation of technology and remote services in clinical trials, there is a persistent lack of clarity and understanding around regulatory oversight. Investigators and clinical research site staff have not been properly guided or coached on how to ensure continued oversight when these new trial execution elements are utilized. This ambiguity is unfortunately causing undue hesitation and reluctance to accept trials that incorporate remote services and technology, not to mention the serious consequences that this lack of clarity brings with it.

Regulatory Gaps and Ambiguity

Regulatory frameworks have traditionally been developed with in-person interactions and on-site monitoring in mind. The increasing adoption of digital and remote modalities in clinical trials presents challenges for sponsors in adapting their oversight practices to this evolving landscape. Confusion exists regarding the applicability of existing Food and Drug Administration (FDA) guidance documents to these new formats. These guidances, which address critical areas like data security, patient confidentiality, and the validity of remotely collected data, often provide a high-level overview of the FDA’s current regulatory perspective. While valuable, this leaves sponsors with the significant burden of interpreting these and other guidance to design, operationalize, and implement trials at the clinical research site level. This interpretation process often involves making subjective judgments about what constitutes scientifically rigorous methods to assess the safety and efficacy of new medical products within the bounds of the regulations.

Further complicating matters, the content of some existing FDA guidance documents may be perceived as vague or outdated. This lack of clarity regarding specific requirements for digital and remote trials leads to uncertainty among investigators and site staff about their roles and responsibilities. This, in turn, can result in inconsistent implementation of the protocols and potential deviations from regulatory expectations. Such deviations can have serious consequences, including delays in clinical investigations and the potential for compromised data integrity.

Impact on Investigators and Clinical Research Site Staff

Clinical research sites are at the forefront of the transition to digital health and are tasked with the dual responsibility of embracing innovative methods to optimize efficiencies in clinical research while ensuring data integrity, quality, and regulatory compliance. Without clear regulatory guidance, these professionals face significant challenges, such as:

  1. Uncertainty in Implementation: Clinical research sites need clear guidance from sponsors on implementing remote monitoring, telehealth visits, and electronic documentation while adhering to Good Clinical Practice (GCP) regulations. The framework developed by the FDA serves as an essential resource for sponsors and contract research organizations (CROs) to provide this guidance to sites. This framework not only helps alleviate concerns at the site level but also acts as a reference for sites to facilitate effective communication with their sponsors when questions arise.

    Utilizing this framework can significantly reduce uncertainty and ensure that digital health technologies are implemented correctly and compliantly. By adhering to the appropriate regulations and guidances, clinical research sites can maintain the integrity and quality of their data, ensuring regulatory compliance and ultimately contributing to the success of clinical trials. This proactive approach is crucial for the ongoing success of clinical research in the evolving landscape of digital health.

  2. Risk of Noncompliance: Without specific regulatory direction, there is an increased risk of noncompliance, which can jeopardize the validity of the trial and lead to regulatory penalties. The FDA’s Compliance Program Guidance Manual for Clinical Investigators provides detailed information on compliance expectations that could be referenced when confusion exists in this space. As it pertains to data acquisition, much can be gleaned from the Digital Health Technologies for Remote Data Acquisition in Clinical Investigations, which helps provide further clarity around the verification, validation, and risk considerations for collecting clinical trial data in a compliant way.
  3. Reluctance to Innovate: The fear of regulatory repercussions discourages investigators from adopting new methodologies, potentially slowing down the advancement of more efficient and patient-friendly trial elements. The FDA’s guidance documents such as Decentralized Clinical Trials for Drugs, Biological Products, and Devices offer insights on how to proceed with innovative trial designs while maintaining compliance.

The Need for Clarification

To address the challenges faced by clinical research sites, it is crucial for regulatory bodies, such as the FDA and EMA (European Medicines Agency), to provide comprehensive and clear guidance documents that reflect the realities of modern clinical trials. These regulatory guidances should serve as a foundational guide for sponsors and CROs. The expectation is for these agencies to outline standards and parameters that sponsors and CROs can then use to develop detailed operational, logistical, and implementation plans specific to each trial.

Once these frameworks are established, it is the responsibility of the sponsors and CROs to translate these regulatory guidelines into actionable procedures. These procedures must be communicated to the clinical research sites in the most clear and comprehensive manner possible, ensuring that all parties involved understand their roles and responsibilities. It is additionally the responsibility of the sponsors and CROs, as they listen and communicate with sites, to provide comment and guidance back to regulators when these procedures are not conducive to the efficient execution of the clinical trial. Part of this is the essential step of incorporating site feedback into the development of these guidances and not developing them in a unilateral manner.

By providing this high-level regulatory framework, agencies empower sponsors and CROs to address the specific needs of each trial comprehensively. This structured approach ensures that clinical research sites receive clear, detailed instructions tailored to their operational context, ultimately promoting the successful integration of digital and remote methods in clinical research.

Additionally, updated training and education is a pressing need. Enhanced training programs focusing on the regulatory aspects of digital and remote trials can equip investigators and site staff with the knowledge and confidence to implement these methods correctly.

Collaboration between regulatory bodies, industry organizations, and academic institutions can facilitate the development of robust, practical guidance. Regular workshops, webinars, and forums can also serve as platforms for knowledge sharing and consensus building.

Steps Towards Improved Clarity

Several steps can be taken to move towards clearer regulatory oversight in the context of digital and remote clinical trials:

  1. Updating Regulatory Frameworks: Regulators should prioritize updating existing guidance to address the specific requirements and challenges of remote trial components. This includes clear protocols for remote patient interactions, data management, and electronic record-keeping. The FDA and EMA, for example, have begun addressing these needs through specific guidance documents on digital health technologies and decentralized trials. These updates are crucial for ensuring that remote trial methods meet the same rigorous standards as traditional methods.
  2. Developing Technical Standards: Industry leaders and nonprofit organizations, such as the IEEE Standards Association (IEEE-SA) Clinical Trial Technology Modernization Network (CTTMN), play a vital role in developing and disseminating technical standards. The CTTMN standards set best practices and procedures for the industry and provide recommendations for conducting modern clinical trials using digital and remote technologies such as in Decentralized Clinical Trials (DCTs). The CTTMN’s work focuses on developing a standards framework for integrating technology in remote, modern clinical activities to support consistency, reliability, and regulatory compliance across the industry.
  3. Enhancing Communication: Continuous communication between regulatory authorities, industry partners, and clinical trial stakeholders is essential to address emerging issues promptly and ensure that guidance remains relevant and practical. This ongoing dialogue can help identify new challenges and opportunities, allowing for timely updates to regulatory frameworks and best practices. While clinical trial sites are open to provide feedback, it is up to the regulatory authorities and industry partners to build effective channels for communication and to make them known by clinical trial sites. Then, it is essential that the learnings through these channels be incorporated and that change made apparent. This not only facilitates necessary change driven by sites and their patients, but is also an effective feedback loop that enables continuous improvement.
  4. Leveraging Technology for Compliance: Adopting technology solutions designed to ensure compliance can bridge the gap between innovation and regulation. Secure platforms for telehealth, robust electronic data capture systems, and advanced data encryption methods are examples of technologies that can support compliance. These tools help maintain data integrity, protect patient privacy, and ensure that remote trial components meet regulatory standards.
  5. Building Multi-Collaborator Channels for Guidance Development: Current guidance development tends to happen in silos, where not all affected parties are consulted effectively, nor is their valued feedback always incorporated. It is critical for industry partners to act as a conduit, with their voices united to work together to create shared messaging. However, this development feedback needs to be delivered through channels conducive for partnership and multi-collaborator progress. This proactive approach can produce practical guidances with a higher level of acceptance, having been created with multiple perspectives incorporated.

By focusing on these areas, the clinical research industry can better navigate the complexities of digital and remote trials, ensuring that they are conducted safely, ethically, and in compliance with regulatory requirements. For further details on the development of technical standards, you can explore the IEEE Standards Association and their specific initiatives related to clinical trials such as the CTTMN.

Next Steps for the Industry

As the clinical trial landscape evolves, so must the regulatory frameworks that govern it. The integration of technology and remote services into clinical trials holds immense potential for advancing medical research and improving patient outcomes. However, the current regulatory ambiguity poses a significant barrier to its full realization.

Only through industry-wide clarification and proactive adaptation can we ensure that the promise of modern clinical trials is fully realized, maintaining the highest standards of oversight and patient safety. By addressing these gaps through clear, updated guidances and comprehensive training, the industry can foster a more confident and proactive approach among investigators and site staff. This, in turn, will pave the way for more efficient, inclusive, and innovative clinical trials, ultimately benefiting patients and the broader healthcare ecosystem.