Research on de-identified biospecimens typically does not meet the definition of human subject; therefore, no IRB approval is required. This means the researcher would not have identifiable biospecimens at any time before, during, or after the conduct of the study. The researcher also cannot hold a code that would connect the identity of the subject with the biospecimens.
However, if you are using an investigational (not yet FDA approved) in vitro diagnostic device, even when all biospecimens are de-identified/anonymous, expedited IRB review is required per the FDA regulations on medical devices. Consent can likely be waived with an IDE exemption for diagnostic devices. See FDA guidance
Examples of studies not needing IRB approval (please see below for submission requirements for Human Subjects Research Determination form):
- An investigator requests biospecimens from an approved biorepository in a de-identified manner. In this case, the biorepository would be acting as a third party to ensure the biospecimen is not identifiable.
- An investigator requests biospecimens and associated medical record information from an approved biorepository in a de-identified manner. In this case, the biorepository would be acting as a third party to ensure the biospecimens and associated medical record information are not identifiable.
- An investigator requests biospecimens and/or identifiable information of deceased individuals but will not use or disclose identifiers of the decedent’s relatives, employers, or household members. The investigator should complete the Research on Decedents Form in eCompliance for confirmation of no IRB approval needed.
Submission Requirements: Instead of submitting an IRB application, investigators should submit the Human Subject Research Determination (HSRD) Form for IRB documentation of not human subjects research (with the exception above regarding decedents). If using a biorepository to obtain the biospecimens, upload a letter or email from the biorepository confirming the de-identification process. There will not be a HIPAA or consent waiver approved by the IRB with this submission since the study is not subject to IRB review and oversight.