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Protecting patient privacy when sharing patient-level data from clinical trials

BACKGROUND: Greater transparency and, in particular, sharing of patient-level data for further scientific research is an increasingly important topic for the pharmaceutical industry and other organisations who sponsor and conduct clinical trials as well as generally in the interests of patients part...

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Autores principales: Tucker, Katherine, Branson, Janice, Dilleen, Maria, Hollis, Sally, Loughlin, Paul, Nixon, Mark J., Williams, Zoë
Formato: Online Artículo Texto
Lenguaje:English
Publicado: BioMed Central 2016
Materias:
Acceso en línea:https://www.ncbi.nlm.nih.gov/pmc/articles/PMC4943495/
https://www.ncbi.nlm.nih.gov/pubmed/27410040
http://dx.doi.org/10.1186/s12874-016-0169-4
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author Tucker, Katherine
Branson, Janice
Dilleen, Maria
Hollis, Sally
Loughlin, Paul
Nixon, Mark J.
Williams, Zoë
author_facet Tucker, Katherine
Branson, Janice
Dilleen, Maria
Hollis, Sally
Loughlin, Paul
Nixon, Mark J.
Williams, Zoë
author_sort Tucker, Katherine
collection PubMed
description BACKGROUND: Greater transparency and, in particular, sharing of patient-level data for further scientific research is an increasingly important topic for the pharmaceutical industry and other organisations who sponsor and conduct clinical trials as well as generally in the interests of patients participating in studies. A concern remains, however, over how to appropriately prepare and share clinical trial data with third party researchers, whilst maintaining patient confidentiality. Clinical trial datasets contain very detailed information on each participant. Risk to patient privacy can be mitigated by data reduction techniques. However, retention of data utility is important in order to allow meaningful scientific research. In addition, for clinical trial data, an excessive application of such techniques may pose a public health risk if misleading results are produced. After considering existing guidance, this article makes recommendations with the aim of promoting an approach that balances data utility and privacy risk and is applicable across clinical trial data holders. DISCUSSION: Our key recommendations are as follows: 1. Data anonymisation/de-identification: Data holders are responsible for generating de-identified datasets which are intended to offer increased protection for patient privacy through masking or generalisation of direct and some indirect identifiers. 2. Controlled access to data, including use of a data sharing agreement: A legally binding data sharing agreement should be in place, including agreements not to download or further share data and not to attempt to seek to identify patients. Appropriate levels of security should be used for transferring data or providing access; one solution is use of a secure ‘locked box’ system which provides additional safeguards. SUMMARY: This article provides recommendations on best practices to de-identify/anonymise clinical trial data for sharing with third-party researchers, as well as controlled access to data and data sharing agreements. The recommendations are applicable to all clinical trial data holders. Further work will be needed to identify and evaluate competing possibilities as regulations, attitudes to risk and technologies evolve.
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spelling pubmed-49434952016-07-26 Protecting patient privacy when sharing patient-level data from clinical trials Tucker, Katherine Branson, Janice Dilleen, Maria Hollis, Sally Loughlin, Paul Nixon, Mark J. Williams, Zoë BMC Med Res Methodol Correspondence Article BACKGROUND: Greater transparency and, in particular, sharing of patient-level data for further scientific research is an increasingly important topic for the pharmaceutical industry and other organisations who sponsor and conduct clinical trials as well as generally in the interests of patients participating in studies. A concern remains, however, over how to appropriately prepare and share clinical trial data with third party researchers, whilst maintaining patient confidentiality. Clinical trial datasets contain very detailed information on each participant. Risk to patient privacy can be mitigated by data reduction techniques. However, retention of data utility is important in order to allow meaningful scientific research. In addition, for clinical trial data, an excessive application of such techniques may pose a public health risk if misleading results are produced. After considering existing guidance, this article makes recommendations with the aim of promoting an approach that balances data utility and privacy risk and is applicable across clinical trial data holders. DISCUSSION: Our key recommendations are as follows: 1. Data anonymisation/de-identification: Data holders are responsible for generating de-identified datasets which are intended to offer increased protection for patient privacy through masking or generalisation of direct and some indirect identifiers. 2. Controlled access to data, including use of a data sharing agreement: A legally binding data sharing agreement should be in place, including agreements not to download or further share data and not to attempt to seek to identify patients. Appropriate levels of security should be used for transferring data or providing access; one solution is use of a secure ‘locked box’ system which provides additional safeguards. SUMMARY: This article provides recommendations on best practices to de-identify/anonymise clinical trial data for sharing with third-party researchers, as well as controlled access to data and data sharing agreements. The recommendations are applicable to all clinical trial data holders. Further work will be needed to identify and evaluate competing possibilities as regulations, attitudes to risk and technologies evolve. BioMed Central 2016-07-08 /pmc/articles/PMC4943495/ /pubmed/27410040 http://dx.doi.org/10.1186/s12874-016-0169-4 Text en © The Author(s). 2016 Open AccessThis article is distributed under the terms of the Creative Commons Attribution 4.0 International License (http://creativecommons.org/licenses/by/4.0/), which permits unrestricted use, distribution, and reproduction in any medium, provided you give appropriate credit to the original author(s) and the source, provide a link to the Creative Commons license, and indicate if changes were made. The Creative Commons Public Domain Dedication waiver (http://creativecommons.org/publicdomain/zero/1.0/) applies to the data made available in this article, unless otherwise stated.
spellingShingle Correspondence Article
Tucker, Katherine
Branson, Janice
Dilleen, Maria
Hollis, Sally
Loughlin, Paul
Nixon, Mark J.
Williams, Zoë
Protecting patient privacy when sharing patient-level data from clinical trials
title Protecting patient privacy when sharing patient-level data from clinical trials
title_full Protecting patient privacy when sharing patient-level data from clinical trials
title_fullStr Protecting patient privacy when sharing patient-level data from clinical trials
title_full_unstemmed Protecting patient privacy when sharing patient-level data from clinical trials
title_short Protecting patient privacy when sharing patient-level data from clinical trials
title_sort protecting patient privacy when sharing patient-level data from clinical trials
topic Correspondence Article
url https://www.ncbi.nlm.nih.gov/pmc/articles/PMC4943495/
https://www.ncbi.nlm.nih.gov/pubmed/27410040
http://dx.doi.org/10.1186/s12874-016-0169-4
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