If research subjects' consent was obtained before the compliance date, but the Institutional Review Board (IRB) subsequently modifies the informed consent document after the compliance date and requires that subjects be reconsented, is authorization now required from these previously enrolled research subjects under the HIPAA Privacy Rule?

Answer:

Yes. If informed consent or reconsent (ie., asked to sign a revised consent or another informed consent) is obtained from research subjects after the compliance date, the covered entity must obtain individual authorization as required at 45 CFR 164.508 for the use or disclosure of protected health information once the consent obtained before the compliance date is no longer valid for the research. The revised informed consent document may be combined with the authorization elements required by 45 CFR 164.508.

See Privacy Rule and Research and other frequently asked questions about research for more information about Institutional Review Boards and privacy.

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Date Created: 12/20/2002
Last Updated: 03/14/2006

Content created by Office for Civil Rights (OCR)
Content last reviewed on July 26, 2013