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CasesAn EBAA, FDA and Legal Perspective

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Title: CasesAn EBAA, FDA and Legal Perspective


1
Cases-An EBAA, FDA and Legal Perspective
  • EBAA June 2009
  • Jayne S Weiss MD, Program Director
  • Seattle, Washington

2
Case 1
  • Eye bank used tissue on a medical examiners
    case.
  • History
  • Patient had the usual negative lab work, but when
    autopsy results came back several months later,
    she had signs of active hepatitis on pathology.

3
Case 1
  • Medical Director spoke to Medical Examiner who
    was surprised at this finding. He couldn't say
    whether this was infectious or autoimmune.
  • How should Medical Director proceed?
  • Suggested by James Caudill MD MIB- West Virginia

4
CASE 1 EBAA MEDICAL STANDARDS
5
Case 1 Infectious hepatitis?
  • Eye bank used tissue on ME case
  • Infectious disease testing was negative
  • Several months later, autopsy report indicates
    signs of active hepatitis
  • ME unable to say if hepatitis was infectious or
    autoimmune

DBG
6
Case 1 Medical Standards
  • D1.120 Contraindications for donors
  • Active viral hepatitis
  • Hepatitis B surface antigen positive
  • Hepatitis C seropositive
  • G1.280 Non-required laboratory results
  • Medical director must review and act on them
  • B1.000 Membership
  • Compliance with Federal, State regulations

DBG
7
Case 1 Adverse reaction report?
  • G1.000 Adverse reaction reporting
  • Distributing bank notifies source bank
  • Source bank investigates and
  • Notifies EBAA within 30 days
  • Notifies FDA within 15 days if relevant
    communicable disease agent or disease involved
  • Has an adverse reaction been reported?

DBG
8
Case 1 Recall?
  • G1.290 Tissue recall or withdrawal
  • Positive test results of information about
    behavioral risks or medical history, received
    after release of tissue, that indicate a risk for
    transmission of a relevant communicable disease
    must be reported to the medical director,
    consignee, EBAA, and FDA
  • Does the information received indicate a risk for
    transmission of a relevant communicable disease?

DBG
9
CASE 1 FDA
10
Case 1 Summary
FDA
  • Cornea donor is a medical examiners (ME) case
  • Information obtained for donor eligibility,
    including donor screening and testing
    information, is all negative prior to
    distribution
  • Autopsy results received 3 months after
    distribution of corneas showed active hepatitis
    on pathology slides
  • ME cannot verify whether hepatitis is infectious
    or autoimmune
  • How does medical director proceed?

11
Case 1 Discussion
FDA
  • Donor Eligibility (DE) Determination based upon a
    review of donor screening and testing is required
    ( 1271.50)
  • Donor screening includes a review of relevant
    medical records ( 1271.75)
  • Some relevant medical records are records that
    must be reviewed, and
  • Others must be reviewed if available
  • ( 1271.3(s))

12
Case 1 Donor Eligibility (DE) Determination
FDA
  • 1271.50 requires a DE determination, based on
    screening and testing
  • Donor is eligible if free from risk factors for
    or clinical evidence of relevant communicable
    diseases, free from risks associated with
    xenotransplantation, and tests negative or
    nonreactive
  • A responsible person must determine and document
    the eligibility of a donor
  • Risks/risk factors specifics of testing
    discussed in guidance

13
Case 1 Relevant Medical Records
FDA
  • Under 1271.75(a) donor screening includes
    review of relevant medical records (as defined in
    1271.3(s))
  • Relevant medical records are a collection of
    documents that includes
  • Current donor medical history interview
  • Current report of physical assessment or physical
    exam
  • Other records, if available

14
Case 1 Relevant Medical Records
FDA
  • If available records include the following
  • ( 1271.3(s))
  • Laboratory test results
  • Medical records
  • Coroner and autopsy reports and
  • Records or other information received from any
    source pertaining to risk factors for relevant
    communicable disease (e.g., social behavior,
    clinical signs and symptoms, treatments).
    Examples include
  • Medical examiner reports
  • Police records
  • Records from other establishments

15
Case 1 Relevant Medical Records
FDA
  • In the DE Guidance, we explain that we define
    available to mean that a record or information
    exists, or is pending, and can be obtained
    through due diligence, within a reasonable amount
    of time.
  • A reasonable amount of time is a period of time
    that would allow for the collection of important
    information without compromising the utility of
    the tissue.
  • One example was given in the guidance regarding
    corneas and autopsy reports.

16
Case 1 Example from DE Guidance
FDA
  • You know that an autopsy report will be prepared
    on a cadaveric donor, but the report will not be
    complete for several weeks.
  • If waiting several weeks to review the autopsy
    report would compromise the utility of the
    tissue, perhaps because your HCT/P (e.g., cornea)
    needs to be released within a limited timeframe,
    then the report could not be obtained in a
    reasonable time period.
  • Under these circumstances, it might not be
    necessary to wait to review the final report of
    autopsy results before distribution of the HCT/P.

17
Case 1 Example from DE Guidance
FDA
  • If this is the case, you should use the available
    information when considering the donors
    eligibility, including the presumed cause of
    death and other relevant preliminary autopsy
    findings and all other information obtained about
    the donor.
  • Also, you should review the final autopsy report
    when it becomes available.
  • If any new information in the final report
    indicates that the donor is ineligible, you
    should consider notifying the consignees of the
    distributed HCT/Ps and submit to FDA an HCT/P
    deviation report within 45 days, if applicable.

18
Case 1 Discussion
FDA
  • While HCT/Ps may be distributed prior to
    obtaining the if available relevant medical
    records if waiting for those records would
    compromise the utility of the HCT/P, relevant
    information obtained after distribution still
    must be considered by the responsible person in
    determining donor eligibility
  • If the newly obtained information adversely
    affects the Donor Eligibility Determination, an
    HCT/P deviation report must be submitted to FDA
    (1271.350(b))

19
CASE 1 LEGAL
  • ARETA KUPCHYK

20
CASE 2
  • 80 year old woman had PKP in 2005 for PBK. Graft
    did well.

21
Case 2
  • HistoryFeb 2008-Rapid Neurological Degeneration
    March 2008-Surgeon/medical notified by
    Neurologist of Clinical DX of CJD
  • What Is Appropriate Investigation of Case?
  • Suggested by Alan Sugar MD, Ann Arbor, Michigan

22
CASE 2 EBAA MEDICAL STANDARDS
23
Case 2 CJD?
  • 80 year old female had penetrating keratoplasty
    in 2005 for pseudophakic bullous keratopathy,
    graft doing well
  • Feb 2008 Rapid neurological degeneration
  • Mar 2008 Neurologist makes clinical diagnosis of
    CJD
  • Discuss investigation

DBG
24
How is CJD diagnosed?
  • Clinical criteria?
  • Prion protein in spinal fluid, blood, tissue?
  • Genetic testing?
  • Brain biopsy?

DBG
25
Ideal investigation
  • Brain biopsy of donor
  • Tissue not typically available at time CJD
    diagnosis is considered years later
  • Brain biopsy of recipient
  • Tissue may or may not be available upon death of
    recipient

DBG
26
What else can be done
  • Review available donor records
  • Medical Standard M1.100 requires permanent
    retention of minimum information for tracking
  • Test corneal tissue for prion protein
  • May be more accessible than brain biopsy
  • Look for all potential sources
  • Family history, genetic testing for familial form
  • Exposure consistent with variant form

DBG
27
Get Help National Prion Disease Pathology
Surveillance Center
  • NPDPSC
  • www.cjdsurveillance.com
  • 216 368-0587
  • Tests for sporadic, familial, or variant CJD
  • Western blot (frozen tissue)
  • Immunohistochemistry, histology (fixed tissue)
  • Genetic analysis (blood or frozen tissue)

DBG
28
CJD In Cornea Recipients
  • 1 proven case of transmission in 1974
  • CJD confirmed by biopsy in donor and recipient
  • Not eye bank tissue
  • Prior to current screening standards
  • Whole globe present in OR with recipient
  • 9 additional cases
  • 8 probably, 1 possibly due to corneal tissue

Duffy P. NEJM 290692, 1974
DBG
29
CJD In Cornea Recipients
Maddox RA. Cornea 27851, 2008
DBG
30
CJD CDC Analysis
  • Based on
  • US eye banking statistics
  • Age-stratified annual CJD mortality rates
  • Age stratified annual mortality other than CJD

Maddox RA. Cornea 27851, 2008
DBG
31
CJD CDC Conclusions
  • Sporadic, coincidental CJD unrelated to donor
    tissue is expected to occur in one cornea
    recipient in the USA every 1.5 years
  • It is unlikely that the possible and probable
    cases are due to corneal tissue
  • There are additional unrelated, coincidental
    cases that remain unreported
  • EBAA screening criteria minimize risk

DBG
Maddox RA. Cornea 27851, 2008
32
CASE 2 FDA
33
Case 2 Summary
FDA
  • 80 year old woman had penetrating keratoplasty in
    2005 for pseudophakic bullous keratopathy. Graft
    did well.
  • Feb 2008Rapid neurological degeneration
  • March 2008Surgeon/medical notified by
    neurologist of clinical DX of CJD
  • Discuss appropriate investigation of case

34
Case 2 Adverse Reaction Investigation
FDA
  • 1271.350(a) You must investigate any adverse
    reaction involving a communicable disease related
    to an HCT/P that you made available for
    distribution.
  • 1271.160(b)(2) Ensure that procedures exist for
    receiving, investigating, evaluating, and
    documenting information relating to core GTP
    requirements, including complaints, and for
    sharing any information pertaining to the
    possible contamination of the HCT/P or the
    potential transmission of a communicable disease
    by the HCT/P

35
Case 2 Adverse Reaction Investigation
FDA
  • 1271.200(e) You must document and maintain
    records of all equipment maintenance, cleaning,
    sanitizing, calibration, and other activities
    performed in accordance with section 1271.200.
    (s.a. records related to recovery instruments)
  • 1271.320(b) You must maintain a record of
    complaints that you receive in a file designated
    for complaints. (c) You must review and evaluate
    each complaint relating to core GTP requirements
    to determine if the complaint is related to an
    HCT/P deviation or to an adverse reaction

36
Case 2 Information to Review (from GTP Draft
Guidance)
FDA
  • Pre- and post-processing culture results
  • Donor screening records
  • Donor testing results
  • Donor eligibility determination
  • Donor identification code
  • Lot number
  • Receipt of complaints involving recipients of
    other HCT/Ps from the same donor
  • Occurrence of any processing deviations from your
    established SOPs

37
Case 2 Examples of Additional Info (from GTP
Draft Guidance)
FDA
  • Date of implantation
  • Symptoms of infection in the recipient and dates
    of onset
  • Pathology reports
  • Recipients risk factors
  • Physicians impression about the cause of the
    adverse reaction
  • Recipients clinical records

38
CASE 2 LEGAL
  • ARETA KUPCHYK

39
CASE 3
  • Medical Director CaseHistory 19 year old, COD
    Multiple Trauma D/T MVANo significant PMHSocial
    History- 2 years in Juvenile Detention w/
    Homemade Tattoos involving shared needles and ink
    (not within last 12 months)

40
Case 3
  • NOK (Mother) has not had any contact with son
    within last 3 years many risk questions answered
    "I don't know".Cannot reach Father or Girlfriend
    for medical/social questionnaire

41
Case 3
  • Medical examiner-External exam notes the Homemade
    Tattoos Donor's EMA cited state at the time of
    exam.
  • Can this tissue be used?

42
CASE 3 EBAA MEDICAL STANDARDS
43
Case 3 Suspicious social history
  • 19 year old male dies in MVA
  • No significant illnesses
  • History of 2 years in juvenile detention, had
    non-professional tattoos done with shared
    needles, but not within last 12 months
  • Medical/social interview with mother, who has not
    had contact with son in 3 years, results in many
    I dont know responses
  • Unable to contact father or girlfriend

DBG
44
Case 3 Medical Standards
  • D1.000 Donor eligibility
  • Medical and social histories are important
    aspects of donor evaluation.
  • Donor history must include information from at
    least one of the following pathologist or ME
    report, family interview, medical record or
    treating physician interview, and
  • Medical director oversight to review donor
    information where questions arise in the above
    areas

DBG
45
Case 3 Does it pass muster?
  • Incarceration and needle-sharing tattoos were
    greater than 12 months ago.
  • There is a family interview.
  • Is the family interview adequate?
  • Would you consider this donor eligible?

DBG
46
CASE 3 FDA
47
Case 3 Summary
FDA
  • 19 y/o died of multiple trauma secondary to motor
    vehicle accident
  • No significant Past Medical History
  • Social History gt 12 months ago
  • Was in juvenile detention center, and
  • Has homemade tattoos involving shared needles and
    ink
  • NOK (mother) has not had contact with the donor
    for the past 3 years, answers many risk questions
    with I dont know
  • Cannot reach father or girlfriend for
    medical/social questionnaire
  • Medical Examiner notes on exam the homemade
    tattoos

48
Case 3 Donor Eligibility (DE) Determination
FDA
  • 1271.50 requires a DE determination, based on
    screening and testing
  • Donor is eligible if free from risk factors for
    or clinical evidence of relevant communicable
    diseases, free from risks associated with
    xenotransplantation, and tests negative or
    nonreactive
  • A responsible person must determine and document
    the eligibility of a donor
  • Risks/risk factors specifics of testing
    discussed in guidance

49
Case 3 Discussion
FDA
  • Donor Eligibility (DE) Determination based upon a
    review of donor screening and testing is required
    ( 1271.50)
  • Donor screening includes a review of relevant
    medical records for risk factors for, and
    clinical evidence of, relevant communicable
    disease agents and diseases ( 1271.75)
  • Relevant medical records are a collection of
    documents that includes ( 1271.3(s))
  • Current donor medical history interview
  • Current report of physical assessment or physical
    exam
  • Other records, if available

50
Case 3 Relevant Risk Factors
FDA
  • The DE Guidance provides information regarding
    risk factors for relevant communicable diseases
  • Following is a list of conditions and behaviors
    that increase the donors relevant communicable
    disease risk. Except as noted in this section,
    and in accordance with 1271.75(d), you should
    determine to be ineligible any potential donor
    who exhibits one or more of the following
    conditions or behaviors.

51
Case 3 Donor Screening
FDA
  • 1271.75 states that you must screen a donor of
    cells or tissue by reviewing the donors relevant
    medical records for risk factors for, and
    clinical evidence of, relevant communicable
    disease agents and diseases
  • It further states that you must determine
    ineligible a donor who is identified as having
    either risk factors for, or clinical evidence of,
    any of the relevant communicable disease agents
    or diseases for which screening is required or
    communicable disease risk associated with
    xenotransplantation

52
Case 3 Relevant Risk Factors (from DE Guidance)
FDA
  • 8. Persons who have been in juvenile detention,
    lock up, jail or prison for more than 72
    consecutive hours in the preceding 12 months
    (Refs. 29, 67, and 68) (risk factor for HIV,
    Hepatitis B and Hepatitis C).
  • 10. Persons who have undergone tattooing, ear
    piercing or body piercing in the preceding 12
    months, in which sterile procedures were not
    used, e.g., contaminated instruments and/or ink
    were used, or shared instruments that had not
    been sterilized between uses were used (Ref. 69).

53
Case 3 Discussion
FDA
  • The histories regarding incarceration and
    tattooing, both occurring/ending gt12 months ago,
    in and of themselves do not necessitate
    determining the donor to be ineligible under
  • 1271.75
  • In this case, it seems that the responsible
    person cannot complete a DE determination as
    required under 1271.50 without obtaining
    answers to all questions in the donor medical
    history interview, since these questions identify
    risk factors for relevant communicable diseases
  • Would need to seek an alternate historian who can
    provide the additional information in order to
    complete the DE determination

54
CASE 3 LEGAL
  • ARETA KUPCHYK
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