| Literature DB >> 23330068 |
Pauline McCormack1, Simon Woods, Annemieke Aartsma-Rus, Lynn Hagger, Agnes Herczegfalvi, Emma Heslop, Joseph Irwin, Janbernd Kirschner, Patrick Moeschen, Francesco Muntoni, Marie-Christine Ouillade, Jes Rahbek, Christoph Rehmann-Sutter, Francoise Rouault, Thomas Sejersen, Elizabeth Vroom, Volker Straub, Kate Bushby, Alessandra Ferlini.
Abstract
Drug trials in children engage with many ethical issues, from drug-related safety concerns to communication with patients and parents, and recruitment and informed consent procedures. This paper addresses the field of neuromuscular disorders where the possibility of genetic, mutation-specific treatments, has added new complexity. Not only must trial design address issues of equity of access, but researchers must also think through the implications of adopting a personalised medicine approach, which requires a precise molecular diagnosis, in addition to other implications of developing orphan drugs. It is against this background of change and complexity that the Project Ethics Council (PEC) was established within the TREAT-NMD EU Network of Excellence. The PEC is a high level advisory group that draws upon the expertise of its interdisciplinary membership which includes clinicians, lawyers, scientists, parents, representatives of patient organisations, social scientists and ethicists. In this paper we describe the establishment and terms of reference of the PEC, give an indication of the range and depth of its work and provide some analysis of the kinds of complex questions encountered. The paper describes how the PEC has responded to substantive ethical issues raised within the TREAT-NMD consortium and how it has provided a wider resource for any concerned parent, patient, or clinician to ask a question of ethical concern. Issues raised range from science related ethical issues, issues related to hereditary neuromuscular diseases and the new therapeutic approaches and questions concerning patients rights in the context of patient registries and bio-banks. We conclude by recommending the PEC as a model for similar research contexts in rare diseases.Entities:
Year: 2013 PMID: 23330068 PMCID: PMC3544553 DOI: 10.1371/currents.md.f90b49429fa814bd26c5b22b13d773ec
Source DB: PubMed Journal: PLoS Curr ISSN: 2157-3999
| Issue | Submitted by | Responses |
|---|---|---|
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| Clinician | Fruitful relationships with industry should not be jeopardised by adopting either a too restrictive approach or by a failure to safeguard the genuine interests of industry partners. There is a need to be open and honest with industry, noting the need for transparency without compromising commercially sensitive information.Patient registries should be open to access by industry partners and researchers and the Steering Committee for the registries ought to act as an intermediary to ensure ethical access to and use of data. |
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| Clinician | Since steroid use has become an international standard therapy it would be wrong to withdraw a beneficial treatment for research purposes. However not all patients have been exposed to steroids and therefore this information ought to be collated on the patient registries so as to be available for investigators of clinical trials. |
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| Clinician | An adequate response to this question would always be to a large extent ‘question specific’, ‘disease specific’, ‘intervention specific’, and (always) ‘protocol specific’. The particular features of the case will tell whether a patient would have an increased risk or any other additional burden. There is a real danger of creating a Catch 22 situation where a population qualifies for inclusion in research by virtue of having a rare disease but is at the same time disqualified from research due to the risk of over research. There may also be a further case on what might be called social or moral grounds that whilst it may not be scientifically necessary to use the same cohort it is fair and respectful (e.g. of autonomy) to do so only where there is little or no risk. |
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| Clinician | This is a highly topical and complex issue and one that raises questions about patient autonomy, paternalism, global governance, hope and hype regarding new biotechnologies. |
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| Parent/relative of patient | The very idea of buying a place on a clinical trial suggests a complete misunderstanding about the purposes of a trial and an unrealistic expectation about its outcome. A trial is the therapeutic testing of a potential treatment for humans; it is not a treatment or a cure. |
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| Patient organisation/parent | The PEC endorses the need for open and transparent communication between those accessing patient data via the registries and patient organisations but does not endorse the imposition of restrictive conditions which might prove to be counter-productive for the global registry in its relations with industry and researchers. The PEC does not agree that there is a right for patients to be involved in a clinical trial although it strongly endorses the right for clinical trials to happen in the most efficient and timely manner. In the interests of fairness and equity there should be effort to build the capacity for research to take place in every partner country. |
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| Scientist | There is currently no proof that long term treatment with the therapy in question - antisense oligonucleotides to induce exon skipping - is effective and safe as placebo-controlled trials have not yet been conducted. The placebo effect can not be discounted and in addition not much is known about longer term tolerability and toxicity of these compounds, especially in children and adolescents. N = 1 trials are not trials in the correct sense of the word. Rather they are the administration of potentially harmful substances to a patient in the (possibly unjustified) hope that it might help, but without evidence that there are reasonable chances that it will. There would be a serious risk of setting the entire field back should anything go wrong. |
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| Patient organisation | There are two aspects to this question – the constitution of TREAT-NMD and its structure. There must be an executive committee that is fit for purpose as well as much wider mechanisms for facilitating the patient voice throughout TREAT-NMD. It is critical that TREAT-NMD develops a structure that is synergistic with the aims and goals of patients, which must include a mechanism to collect, focused views and opinions. On the matter of ensuring that the patient voice is encouraged and facilitated throughout the Alliance then the PEC would encourage the questioner (UPPMD) to provide TREAT-NMD with advice and support regarding the good practices and approaches that have proven successful in the past. |
| The broad ethical principles identified by the PEC in the context of patient registries and relationships with industry |
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| 1. Consent – any collation and use of patient data should be premised upon the provision of high quality information either directly to the patient/family or to the registry ‘owner’ e.g. Patient organisation. |
| 2. All use of data should conform to the principles of informed consent |
| 3. In order to maximise best use of patient data e.g. to support the development of further research, relations with industry ought to be conducted on the basis of open access: making data available to all parties who satisfy the oversight committee requirements and , transparency about who is interested in the data and for what purposes (in dialogue with industry partners as to what is reasonable in terms of commercial confidentiality) |
| 4. Independent advice/scrutiny should be available to patients / patient organisations on the implications of granting access for industry to patient data. |
| 5. Confidentiality- respecting the interests of industry on matters of commercial sensitivity where such measure can be reasonably justified and do not conflict with point 6. |
| 6. Any arrangements/ partnerships with industry should be least restrictive of individual rights of patient participants. |
| Since the PEC was not an executive committee it was open to members who were qualified by experience and were able to declare no conflict of interest. | |
| Chair | • Philosopher and bioethicist with experience of research ethics at national and international level. |
| Vice Chair | • Parent, senior member of parent/patient organisation. |
| Professional members | • Senior Clinicians with a clinical/research interest in NMDs, Genetics/Bio-scientists actively researching NMDs and potential therapy. |
| Lay members | • Parents involved in patient/parent organisations. |
| Membership was drawn from Northern, Southern and Eastern Europe. | |