THE IRB OFFICE IS LOCATED INSIDE THE OFFICE OF SPONSORED PROGRAMS OFFICE AT 422K THOMPSON HALL.
TO
SUBMIT : PLEASE SIMPLY LEAVE YOUR IRB APPLICATIONS IN THE BOX TO THE
RIGHT INSIDE THE DOOR OF OUR OFFICE. IF THE DOOR IS CLOSED, PLEASE KNOCK FOR ASSISTANCE.
THERE
ARE NO IRB MATERIALS AVAILABLE IN THE OFFICE. ALL INFORMATION AND
MATERIALS ARE AVAILABLE ON OUR WEBSITE. IF YOU HAVE ANY ADDITIONAL
QUESTIONS AFTER YOU HAVE SUBMITTED YOUR APPLICATION, PLEASE E-MAIL THE RESEARCH COMPLIANCE MANAGER AT MBROOKS@TC.EDU
Effective May 19, 2009, IRB applications no longer require a department chair's signature. The New Study Application has been updated to reflect this policy change
The Teachers College Institutional Review Board (IRB) is pleased to announce that in an effort to cut down on paper usage, we will no longer require additional paper copies of applications, and will instead accept applications submitted electronically, effective February 1st, 2010. For all applications, no matter what the category of Review, we will require the following:
All current versions of Microsoft should be capable of using pdf-making software in order to produce a single pdf document. The college will also make this software available in the Computer Lab located in Room 242 Horace Mann.
COMMON ERRORS GUIDE FOR FIRST TIME APPLICANTS
To better serve first-time applicants for IRB review, OSP has published the first ever Common Errors Guide at Teachers College. Using samples taken from IRB applications over the last three years, the guide addresses how investigators can avoid recurring pitfalls in the area of human subjects research.
HIPAA
The Health Insurance Portability & Accountability Act (HIPAA) contains provisions that protect the privacy of medical records, including records reviewed or created in the context of research. The new provisions go into effect on April 14, 2003. The memo below details the actions TC is taking to ensure compliance with HIPAA, some guidance to help you determine if your research is subject to HIPAA, and the actions to take if it does. One thing that is absolutely essential to bear in mind is that HIPAA’s privacy requirements will apply to all research in which data collection is currently underway at TC, and not just research set to start after April 14. Everyone currently collecting research data needs to take a moment to determine whether or not HIPAA applies to them. In most instances it will not. My apologies for the length of this memo, but the information is important and getting all of it out now will, we hope, help to avoid confusion later on.
Institutional Compliance with HIPAA:
1. HIPAA requires
that all institutions appoint a privacy committee to review research protocols
for compliance with HIPAA privacy mandates. Effective March 24, 2003,
Acting Dean Aaron Pallas has appointed the Teachers College Institutional
Review Board (IRB) as our Privacy Committee for HIPAA purposes.
2. New, revised IRB application forms addressing HIPAA compliance will
be put online in time for the April 14 deadline.
Determining if HIPAA applies to your research:
3. Determining whether
or not HIPAA applies to you or not depends first and foremost on where
you are doing your data collection. HIPAA will apply if you are collecting
personal health information (PHI) in or from a HIPAA-covered entity. HIPAA-covered
entities include:
· Hospitals, including teaching hospitals and medical research
centers
4. If you answer “yes”
to the above, will you be collecting or reviewing private, identifiable
medical information, such as diagnosis, treatment, medical history, etc?
5. If “yes”, then will the identities of the individuals from
whom you are collecting data be known to you?
Investigator Compliance with HIPAA:
If the answer to all three of the above is “yes”, then your research is subject to HIPAA. In practical terms, this means you must do one of two things: 1) obtain consent from research subjects to create, use and disclose Private Health Information (this consent is separate from and in addition to your previously approved Informed Consent Document) or 2) request a waiver of HIPAA authorization.
In order to bring your research into compliance with HIPAA, you need to take the following actions:
9. If you plan on
requesting a waiver, your memo must provide assurances that the confidentiality
measures in your originally approved protocol meet the above criteria,
or else it should add additional measures to ensure the above criteria
are met.
10. The IRB has authorized all modifications made for HIPAA compliance
purposes between now and April 14 to be made administratively. We can
promise a quick turn around time for approvals.
Again, it’s important to recognize that most research conducted under TC’s auspices will not be subject to HIPAA. The two questions to ask are 1) where am I collecting this data? and 2) are there identifiers linking the data to an individual? Also bear in mind that just because your research is exempt for IRB purposes doesn’t mean it’s exempt from HIPAA. The most common example of IRB exempt research that is subject to HIPAA is a review of medical or health care record that was exempt under category 4). Review of archival data.
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