If you are completely new to the IRB process, this page should help make the IRB process
clearer and provide some guidance for submitting your first protocol.
Usually, one of the first questions new researchers ask is whether their project must
be reviewed by the IRB. Merely including people in your project does not necessarily
mean the study involves “human subjects” as federal regulations define a “human subject.” If there is any ambiguity as to whether your project should be reviewed by the
IRB, your first step should be to make a determination.
The determination of whether or not a project or activity is defined as human subject
research rests on the answers to the following questions:
- Is it research?Federal regulation defines research as a systematic investigation, including research
development, testing, and evaluation, that is designed to develop or contribute to generalizable knowledge.
Research is usually described in a protocol, a formal document that describes the
research question or hypothesis and how it is to be tested (methodology) to establish
facts and reach conclusions.
- Is the intent to produce generalizable knowledge? Generalizable knowledge is knowledge that is expressed in theories, principles, or
statements of relationships that can be generally applied to our experiences. Activities
designed to contribute to generalizable knowledge are those designed to draw general
conclusions, inform policy, or generalize findings beyond a single individual or an
internal program. The information is collected to share with others in a discipline
and is created to make a broad statement (conclusion) about a group of people, procedures,
programs, etc.
- If the activity is not a systematic investigation designed to contribute to generalizable
knowledge, the activity does not meet the regulatory definition of research.
Generalizable knowledge includes one or more of the following concepts: (1) The information
contributes to a theoretical framework or an established body of knowledge; (2) The
primary beneficiaries of the study are other researchers, scholars, and practitioners
in the field of study; (3) Publication, presentation or other distribution of the
results is intended to inform the field of study; and, (4) The results are intended
to be replicated in other settings.
- Does it involve human subjects?
Although a seemingly straightforward question, whether or not an activity involves
human subjects can be somewhat confusing, especially when using coded private information
or specimens. Human subjects are defined as living individuals about whom an investigator
conducting research obtains:
-
- Data through intervention or interaction with the individual, or
- Identifiable private information
In this context, coded means:
- Identifying information (such as name or social security number) that would enable
the investigator to readily ascertain the identity of the individual to whom the private
information or specimens pertain has been replaced with a number, letter, symbol,
or combination thereof (i.e., the code); and
- A key to decipher the code exists, enabling linkage of the identifying information
to the private information or specimens.
Intervention includes both physical procedures by which data are gathered (for example,
venipuncture) and manipulations of the subject or the subject's environment that are
performed for research purposes. Interaction includes communication or interpersonal
contact between investigator and subject. Private information includes information about behavior that occurs in a context in which an individual
can reasonably expect that no observation or recording is taking place, and information
which has been provided for specific purposes by an individual and which the individual
can reasonably expect will not be made public (for example, a medical record). Private
information must be individually identifiable (i.e., the identity of the subject is or may readily be ascertained by the investigator
or associated with the information) in order for obtaining the information to constitute
research involving human subjects. Determinations of what does or does not involve
human subject research must be made by the IRB or individuals designated by the IRB
Chair who have sufficient training and expertise in making such determinations.
In analyzing a particular activity under this question, it is important to focus on what is being obtained by the investigators. If the investigators are not obtaining either data through intervention or interaction
with living individuals, or identifiable private information, then the research activity does not involve human
subjects.
Research Involving Coded Private Information or Biological Specimens
Whether or not an activity is classified as “not involving human subjects” or qualifies
for exemption under 45 CFR 46.101(b)(4) is determined by the following:
- The source of the data (primary or secondary data)
- Ability or inability of the investigator to link data or specimens to specific individuals
either directly or indirectly through coding systems
Research involving only coded private information or specimens is not considered human
subject research if both of the following conditions are met:
- The private information or specimens were not collected specifically for the currently
proposed research project through an interaction or intervention with living individuals
(i.e., it is pre-existing data); and
- The investigator(s) cannot readily ascertain the identity of the individual(s) to
whom the coded private information or specimens pertain because, for example:
- The investigators and the holder of the key enter into an agreement prohibiting the
release of the key to the investigators under any circumstances, until the individuals
are deceased (note that the HHS regulations do not require the IRB to review and approve
this agreement);
- There are IRB-approved written policies and operating procedures for a repository
or data management center that prohibit the release of the key to the investigators
under any circumstances, until the individuals are deceased; or
- There are other legal requirements prohibiting the release of the key to the investigators,
until the individuals are deceased.
The exemption under 45 CFR 46.101(b)(4) applies to research involving private information
and specimens when:
- Data is already existing at the time the research is proposed and is available publicly,
or
- The information is recorded by the investigator(s) in such a manner that subjects
cannot be identified, directly or through identifiers linked to subjects.
This exemption would not apply if the investigators, having obtained identifiable
private information or specimens from existing records or specimens, record the data
or information in a coded manner, since the code would enable subjects to be identified
through identifiers linked to the subjects.
Survey Use
If you intend on using surveys in your protocol (IRB Application), please refrain
from using Google Forms, Google Docs or personal survey accounts (example: a Survey
Monkey account associated with your personal email address). Use a campus supported
Survey Monkey account or Microsoft 365 Forms to create and administer your survey.
If you have any questions on how to obtain an institutional Survey Monkey account,
how to use Microsoft 365 Forms or an alternative survey creator you plan to use, please
contact Nadine Hylton.