When an investigator retires mid-study and the replacement refuses to use theElectronic Data Capture (EDC)system, thedata managermust not take unilateral action but rathercollaborate with the study teamto explore acceptable solutions.
Per theGCDMP (Chapter: Project Management in Data Management), any deviation from the established data capture method — particularly a change that affects regulatory compliance, data consistency, or site operations — requires a cross-functional assessment. The study team, which includes clinical operations, project management, regulatory affairs, and data management, should evaluate feasible alternatives such as:
Allowing paper CRF entry followed by centralized data transcription,
Retraining site staff on EDC use, or
Temporarily suspending data entry until compliance can be restored.
Immediate site closure (option A) or unilateral decisions by data management (options C and D) violate escalation and communication protocols. Collaborative decision-making ensures continuity, compliance, and data integrity, in line withICH E6 (R2) GCPandFDA 21 CFR Part 11.
Reference (CCDM-Verified Sources):
SCDM Good Clinical Data Management Practices (GCDMP), Chapter: Project Management and Communication, Section 5.2 – Handling Site and Investigator Changes
ICH E6 (R2) Good Clinical Practice, Section 4.1 – Investigator Responsibilities
FDA Guidance for Industry: Computerized Systems Used in Clinical Investigations – Section on EDC Operations and Site Management
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