SUSAR reporting SOP – Clinical Research Made Simple https://www.clinicalstudies.in Trusted Resource for Clinical Trials, Protocols & Progress Thu, 16 Oct 2025 17:55:32 +0000 en-US hourly 1 https://wordpress.org/?v=6.9.1 SOP for EudraVigilance SUSAR/ICSR Submissions and Follow-Ups https://www.clinicalstudies.in/sop-for-eudravigilance-susar-icsr-submissions-and-follow-ups/ Thu, 16 Oct 2025 17:55:32 +0000 ]]> https://www.clinicalstudies.in/?p=7077 Read More “SOP for EudraVigilance SUSAR/ICSR Submissions and Follow-Ups” »

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SOP for EudraVigilance SUSAR/ICSR Submissions and Follow-Ups

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“description”: “This SOP outlines the process for submitting and managing SUSARs (Suspected Unexpected Serious Adverse Reactions) and ICSRs (Individual Case Safety Reports) through EudraVigilance. It ensures compliance with EMA pharmacovigilance regulations, timelines, and follow-up obligations.”,
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Standard Operating Procedure for EudraVigilance SUSAR/ICSR Submissions and Follow-Ups

SOP No. CR/OPS/137/2025
Supersedes NA
Page No. 1 of 78
Issue Date 26/08/2025
Effective Date 01/09/2025
Review Date 01/09/2026

Purpose

The purpose of this SOP is to establish standardized procedures for reporting and managing Suspected Unexpected Serious Adverse Reactions (SUSARs) and Individual Case Safety Reports (ICSRs) through the European Medicines Agency’s (EMA) EudraVigilance system. This ensures compliance with EU Clinical Trials Regulation (CTR), Good Pharmacovigilance Practices (GVP), and applicable EMA guidance.

Scope

This SOP applies to sponsors, investigators, CROs, pharmacovigilance staff, and regulatory affairs personnel involved in EU clinical trials requiring SUSAR/ICSR submissions. It covers electronic submissions, timelines, MedDRA coding, follow-ups, case reconciliation, and inspection readiness.

Responsibilities

  • Sponsor: Ensures timely SUSAR and ICSR submissions via EudraVigilance and overall compliance with EMA regulations.
  • Investigator: Reports SAEs to sponsor promptly and provides follow-up data for SUSAR assessment.
  • CRO: Assists in preparation, validation, and electronic submission of safety reports.
  • Pharmacovigilance Team: Manages safety database, ensures MedDRA coding accuracy, and prepares narratives.
  • Regulatory Affairs: Oversees submission compliance and communicates with EMA/NCAs.
  • QA: Audits safety reporting workflows and ensures inspection readiness.

Accountability

The Sponsor’s Pharmacovigilance Lead is accountable for compliance with EMA SUSAR/ICSR reporting requirements. Investigators are accountable for site-level SAE reporting accuracy.

Procedure

1. SAE Identification
1.1 Investigators report SAEs to sponsor within 24 hours.
1.2 Sponsor evaluates for SUSAR criteria.
1.3 Record in SAE/SUSAR Log (Annexure-1).

2. Case Assessment
2.1 Assess seriousness, causality, and expectedness against reference safety information (RSI).
2.2 Document in SUSAR Assessment Log (Annexure-2).

3. EudraVigilance Submission
3.1 Submit fatal/life-threatening SUSARs within 7 days.
3.2 Submit other SUSARs within 15 days.
3.3 Submit all ICSRs electronically via EudraVigilance.
3.4 Record in EudraVigilance Submission Log (Annexure-3).

4. MedDRA Coding
4.1 Use latest MedDRA version for coding adverse events.
4.2 Record coding validation in MedDRA Coding Log (Annexure-4).

5. Follow-Up Reporting
5.1 Submit follow-up ICSRs with additional information within 15 days.
5.2 Document in Follow-Up Log (Annexure-5).

6. Case Reconciliation
6.1 Perform quarterly reconciliation of EudraVigilance submissions with internal safety database.
6.2 Document in Reconciliation Log (Annexure-6).

7. Inspection Readiness
7.1 Maintain inspection-ready SUSAR/ICSR records.
7.2 Conduct mock inspections documented in Inspection Readiness Log (Annexure-7).

Abbreviations

  • SOP: Standard Operating Procedure
  • SUSAR: Suspected Unexpected Serious Adverse Reaction
  • ICSR: Individual Case Safety Report
  • EMA: European Medicines Agency
  • CTR: Clinical Trials Regulation
  • CRO: Contract Research Organization
  • QA: Quality Assurance
  • MedDRA: Medical Dictionary for Regulatory Activities
  • RSI: Reference Safety Information

Documents

  1. SAE/SUSAR Log (Annexure-1)
  2. SUSAR Assessment Log (Annexure-2)
  3. EudraVigilance Submission Log (Annexure-3)
  4. MedDRA Coding Log (Annexure-4)
  5. Follow-Up Log (Annexure-5)
  6. Reconciliation Log (Annexure-6)
  7. Inspection Readiness Log (Annexure-7)

References

Version: 1.0

Approval Section

Prepared By Ravi Kumar, Pharmacovigilance Specialist
Checked By Sunita Reddy, QA Officer
Approved By Dr. Anil Sharma, Head Clinical Operations

Annexures

Annexure-1: SAE/SUSAR Log

Date Subject ID Event Investigator Status
01/09/2025 E101 Severe Hepatic Failure PI Reported

Annexure-2: SUSAR Assessment Log

Date Event Assessment Reviewed By Status
02/09/2025 Severe Hepatic Failure Related and Unexpected Safety Officer Confirmed

Annexure-3: EudraVigilance Submission Log

Date Case ID Submitted To EMA Submitted By Status
03/09/2025 EV-2025-01 Yes Reg Affairs Accepted

Annexure-4: MedDRA Coding Log

Date Case ID Term Coded By Status
03/09/2025 EV-2025-01 Hepatic Failure PV Specialist Validated

Annexure-5: Follow-Up Log

Date Case ID Follow-Up Information Submitted To Status
05/09/2025 EV-2025-01 Additional Labs EMA Filed

Annexure-6: Reconciliation Log

Date Database Reconciliation Done By Status
15/09/2025 Internal vs EudraVigilance QA Officer Matched

Annexure-7: Inspection Readiness Log

Date Agency Simulation Performed By Status
20/09/2025 EMA Mock Inspection QA Team Completed

Revision History

Revision Date Revision No. Revision Details Reason for Revision Approved By
26/08/2025 00 Initial version New SOP creation Head Clinical Operations

For more SOPs visit: Pharma SOP

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SOPs for Expedited Adverse Event Handling in Clinical Trials https://www.clinicalstudies.in/sops-for-expedited-adverse-event-handling-in-clinical-trials-2/ Sun, 07 Sep 2025 15:54:02 +0000 https://www.clinicalstudies.in/sops-for-expedited-adverse-event-handling-in-clinical-trials-2/ Read More “SOPs for Expedited Adverse Event Handling in Clinical Trials” »

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SOPs for Expedited Adverse Event Handling in Clinical Trials

Creating Robust SOPs for Expedited Adverse Event Handling in Clinical Trials

Why SOPs Are Critical for Expedited AE Handling

Clinical trials involve inherent risks, and protecting participants requires rapid detection, classification, and reporting of safety events. Standard Operating Procedures (SOPs) serve as the foundation for ensuring that Serious Adverse Events (SAEs) and Suspected Unexpected Serious Adverse Reactions (SUSARs) are managed in compliance with global regulations. Regulators including the FDA (21 CFR 312.32), EMA (EU-CTR 536/2014), MHRA (UK), and CDSCO (India) mandate specific timelines for expedited reporting. SOPs ensure that these requirements are consistently met, preventing delays that could compromise participant safety or trigger inspection findings.

Expedited reporting timelines are unforgiving: investigators must notify sponsors within 24 hours, while sponsors must submit fatal or life-threatening SUSARs within 7 days and other SUSARs within 15 days. SOPs act as blueprints, spelling out workflows, responsibilities, and communication channels to ensure compliance. Without robust SOPs, trial teams risk inconsistent decision-making, delays, and regulatory penalties.

Beyond compliance, SOPs also safeguard data integrity. By standardizing procedures, sponsors and CROs avoid discrepancies between Case Report Forms (CRFs), narratives, and pharmacovigilance databases. Consistency is especially important in global trials where requirements vary slightly across jurisdictions.

Core Components of an Expedited AE Handling SOP

A comprehensive SOP for expedited AE handling must cover the following sections in detail:

  • Purpose and Scope: Define the intent of the SOP and specify which clinical studies, investigational sites, and staff it applies to.
  • Definitions: Provide regulatory-aligned definitions for AE, SAE, SUSAR, expectedness, causality, seriousness, and awareness date. Using ICH E2A/E2D language ensures global harmonization.
  • Roles and Responsibilities: Assign tasks clearly. For example, investigators → notify within 24 hours; sponsors → classify and report within 7/15 days; CROs → support safety database entry.
  • Reporting Timelines: List global requirements side-by-side, including FDA, EMA, MHRA, and CDSCO rules.
  • Workflow: Provide a stepwise process with flowcharts showing intake, review, reporting, follow-up, and reconciliation steps.
  • Documentation: Include templates for SAE reporting forms, regulatory submission cover letters, and SUSAR narratives.
  • Escalation Pathways: Define how urgent cases (deaths, ICU admissions) are escalated, including out-of-hours contact points.
  • Training: Specify how investigators and staff are trained on expedited reporting obligations, with refresher training frequency.
  • Quality Control: Outline monitoring, reconciliation, and audit checks to ensure compliance.

By embedding these elements, SOPs become actionable tools rather than just documentation. For instance, a sample clause might state: “All SAEs must be reported to the sponsor within 24 hours of site awareness. Sponsors must evaluate seriousness, causality, and expectedness within 48 hours and submit expedited SUSAR reports within mandated regulatory timelines.”

Illustrative Table: Global Expedited Reporting Timelines

Agency Fatal/Life-Threatening SUSARs Other SUSARs Investigator → Sponsor Follow-up Requirements
FDA (US) 7 days 15 days Within 24 hours Additional 8 days
EMA (EU) 7 days 15 days Immediate/24 hours Submit via EudraVigilance
MHRA (UK) 7 days 15 days Immediate/24 hours Local expedited submission
CDSCO (India) 7 days 15 days 24 hours (also to EC & CDSCO) Causality within 10 days

This comparative view helps SOP authors embed region-specific requirements into a single harmonized document.

Case Study: SOP Implementation in Oncology Trials

Oncology trials provide rich case examples, as they involve high rates of SAEs. Consider the case of an immunotherapy trial where a participant develops autoimmune encephalitis:

  • Step 1: Investigator identifies SAE (encephalitis) and notifies sponsor within 24 hours using SAE form.
  • Step 2: Sponsor’s safety physician reviews the case, classifies it as serious, related, and unexpected → SUSAR.
  • Step 3: Sponsor submits expedited SUSAR report to FDA, EMA, MHRA, and CDSCO within 7 days.
  • Step 4: Follow-up lab data and imaging submitted within 8 additional days.
  • Step 5: Case included in DSUR and reconciled across CRF, PV database, and TMF.

Here, the SOP ensured clarity at every step, avoided delays, and provided inspection-ready documentation.

Inspection Readiness: Regulatory Expectations

During inspections, regulators evaluate both the written SOPs and evidence of implementation. Common inspection requests include:

  • Copies of SOPs for expedited SAE handling.
  • Training logs showing investigator awareness of 24-hour notification obligations.
  • Evidence of compliance with 7/15-day SUSAR timelines.
  • Reconciliation records aligning CRFs, narratives, and safety database entries.
  • Audit trails from electronic safety systems.

Frequent inspection findings include SOPs being too generic, lack of clarity on escalation pathways, and staff being unaware of expedited timelines. To mitigate these risks, sponsors should conduct mock inspections and update SOPs whenever regulations evolve.

Best Practices for SOP Development and Maintenance

Robust SOPs are not static—they must evolve with regulatory updates and operational lessons learned. Best practices include:

  • Cross-functional drafting: Involve clinical operations, pharmacovigilance, regulatory affairs, and QA in SOP creation.
  • Local adaptation: Reflect country-specific rules such as CDSCO’s requirement for EC notification.
  • Use of visuals: Incorporate flowcharts, timelines, and decision trees to simplify processes.
  • Periodic review: Update SOPs every 2 years or whenever significant regulatory changes occur.
  • Integration with systems: Align SOP steps with EDC and safety database functionalities.

For example, many sponsors now embed automated alerts in safety databases to remind staff of 7-day reporting deadlines, reducing reliance on manual tracking. External references such as ClinicalTrials.gov demonstrate how protocols often outline safety reporting workflows, reinforcing the importance of SOP clarity.

Challenges in SOP Implementation

Despite having well-written SOPs, many organizations face challenges such as:

  • Investigator non-compliance with 24-hour reporting obligations.
  • Communication delays between sites and sponsors across time zones.
  • Incomplete SAE forms delaying causality assessment.
  • Discrepancies between clinical operations and pharmacovigilance teams.

To overcome these challenges, sponsors should provide real-time safety hotlines, 24/7 PV desks, and regular joint training workshops with CROs and site staff.

Key Takeaways

SOPs for expedited AE handling are indispensable for regulatory compliance, participant safety, and inspection readiness. Clinical teams should:

  • Develop detailed SOPs that clearly define roles, timelines, and workflows.
  • Embed 24-hour, 7-day, and 15-day reporting requirements across all processes.
  • Ensure training and periodic audits to reinforce awareness.
  • Leverage technology for alerts, reconciliation, and documentation.
  • Continuously update SOPs to reflect evolving regulations and lessons learned.

By following these principles, sponsors and CROs can ensure consistent expedited reporting, safeguard patients, and maintain regulatory trust across global trials.

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SOPs for Expedited Adverse Event Handling in Clinical Trials https://www.clinicalstudies.in/sops-for-expedited-adverse-event-handling-in-clinical-trials/ Sun, 07 Sep 2025 06:38:29 +0000 https://www.clinicalstudies.in/sops-for-expedited-adverse-event-handling-in-clinical-trials/ Read More “SOPs for Expedited Adverse Event Handling in Clinical Trials” »

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SOPs for Expedited Adverse Event Handling in Clinical Trials

Designing SOPs for Expedited Adverse Event Handling in Clinical Trials

Why SOPs Are Critical for Expedited AE Handling

Standard Operating Procedures (SOPs) form the backbone of pharmacovigilance systems in clinical research. Regulators including the FDA, EMA, MHRA, and CDSCO expect sponsors and CROs to maintain written SOPs that define workflows for adverse event (AE) and serious adverse event (SAE) reporting. When it comes to expedited reporting timelines (7 days, 15 days, and 24-hour notification windows), SOPs ensure compliance, consistency, and inspection readiness.

Without SOPs, teams risk inconsistent classification of SAEs and SUSARs, missed deadlines, and inspection findings that may jeopardize trial approval. Well-drafted SOPs define who does what, when, and how, leaving no ambiguity in handling expedited reports. For global trials, SOPs also harmonize requirements across jurisdictions, ensuring investigators and sponsors align with regulatory timelines.

Moreover, SOPs protect sponsors legally by demonstrating due diligence. In regulatory inspections, auditors often ask to review expedited reporting SOPs and verify that they have been implemented, trained, and followed.

Core Elements of an Expedited AE Handling SOP

To be effective, SOPs for expedited AE handling must address the following components:

  • Scope and applicability: Define which studies, sites, and personnel are covered.
  • Definitions: Clearly define AE, SAE, SUSAR, expectedness, seriousness, and causality terms.
  • Responsibilities: Assign duties to investigators, sponsors, CROs, and safety departments.
  • Timelines: Include global rules (24-hour investigator notification, 7/15-day SUSAR reports).
  • Workflows: Step-by-step processes for intake, assessment, reporting, and follow-up.
  • Documentation: Templates for SAE forms, narratives, and regulatory submissions.
  • Training: Define how staff are trained on expedited AE handling.
  • Quality control: Monitoring, reconciliation, and audits to ensure SOP adherence.

For instance, an SOP should state: “Investigators must notify the sponsor of all SAEs within 24 hours of awareness. Sponsors must assess causality and expectedness within 48 hours and submit expedited reports to regulatory agencies within required timelines.”

Sample Workflow for SAE/SUSAR Reporting

The following workflow illustrates a standard expedited SAE handling process:

  1. Investigator: Detects SAE → reports to sponsor within 24 hours.
  2. Sponsor Safety Team: Confirms seriousness, causality, and expectedness within 48 hours.
  3. Regulatory Submission: Fatal/life-threatening SUSAR → 7-day report; all other SUSARs → 15-day report.
  4. Follow-up: Submit additional information (labs, autopsy, imaging) as soon as available.
  5. Reconciliation: Align CRFs, safety database, and TMF monthly.

This workflow, embedded in SOPs, ensures that reporting clocks are met consistently and that documentation is audit-ready.

Case Example: Implementing an Expedited AE SOP in Oncology

Scenario: In a Phase II immunotherapy trial, a patient develops autoimmune hepatitis requiring hospitalization. The event is serious, related, and unexpected → SUSAR.

  • Investigator Action: SAE reported to sponsor within 24 hours via SAE form.
  • Sponsor Review: PV physician confirms causality and expectedness within 48 hours.
  • Regulatory Submission: SUSAR submitted to FDA, EMA, MHRA, and CDSCO within 7 days.
  • Follow-up: Lab reports, biopsy results submitted in 8 additional days.
  • SOP Check: Internal audit verifies compliance with timelines.

This case illustrates how SOP-driven workflows prevent delays, ensure consistency, and withstand inspection scrutiny.

Inspection Readiness: What Auditors Expect

During inspections, regulators review expedited AE SOPs for the following:

  • Clear alignment with GCP and ICH E2A/E2D guidelines.
  • Evidence of training logs for investigators and staff.
  • Proof of adherence to 24-hour, 7-day, and 15-day reporting rules.
  • Consistency between SOPs, CRFs, narratives, and safety databases.
  • Evidence of reconciliation and periodic review.

Common inspection findings include SOPs that are too generic, lack of clarity on responsibilities, or evidence that staff were unaware of expedited reporting timelines. Therefore, SOPs must be both written and operationalized.

Best Practices for SOP Development

To build robust SOPs for expedited AE handling, sponsors and CROs should:

  • Engage cross-functional teams (clinical operations, PV, QA, regulatory) in SOP drafting.
  • Incorporate country-specific timelines (e.g., CDSCO’s 24-hour + 10-day causality rule).
  • Use decision trees and flowcharts to simplify classification steps.
  • Include templates for SAE forms, narratives, and expedited submission logs.
  • Schedule periodic SOP reviews to align with updated FDA, EMA, or ICH guidelines.

Public resources such as the WHO International Clinical Trials Registry provide valuable examples of safety reporting obligations that can guide SOP updates.

Key Takeaways

SOPs for expedited AE handling are essential for regulatory compliance and patient safety. Clinical teams should:

  • Define clear workflows and responsibilities in SOPs.
  • Embed regulatory timelines (24 hours, 7 days, 15 days) in procedures.
  • Train staff and monitor compliance continuously.
  • Reconcile safety data across EDC, PV, and TMF systems regularly.
  • Audit SOPs periodically to ensure alignment with evolving global rules.

By implementing well-drafted and operational SOPs, sponsors and CROs ensure consistent expedited reporting, inspection readiness, and protection of trial participants worldwide.

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SOP for SUSAR Reporting to Appropriate Authorities/Portals https://www.clinicalstudies.in/sop-for-susar-reporting-to-appropriate-authorities-portals/ Wed, 27 Aug 2025 21:44:27 +0000 ]]> https://www.clinicalstudies.in/sop-for-susar-reporting-to-appropriate-authorities-portals/ Read More “SOP for SUSAR Reporting to Appropriate Authorities/Portals” »

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SOP for SUSAR Reporting to Appropriate Authorities/Portals

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Standard Operating Procedure for SUSAR Reporting to Authorities and Portals

Department Clinical Research
SOP No. CR/SAE/044/2025
Supersedes NA
Page No. 1 of 22
Issue Date 26/08/2025
Effective Date 01/09/2025
Review Date 01/09/2026

Purpose

The purpose of this SOP is to provide standardized procedures for the reporting of Suspected Unexpected Serious Adverse Reactions (SUSARs) to regulatory authorities and designated portals. It ensures expedited safety communication and regulatory compliance globally.

Scope

This SOP applies to sponsors, investigators, and CROs responsible for safety reporting in clinical trials. It covers initial SUSAR detection, expedited submission to regulatory authorities, follow-up reports, and reconciliation of SUSAR data across systems.

Responsibilities

  • Principal Investigator (PI): Identifies potential SUSARs and reports to sponsor within required timelines.
  • Sponsor/CRO: Submits SUSARs to regulatory authorities via appropriate portals such as FDA Safety Reporting Portal, EMA EudraVigilance, and CDSCO SUGAM.
  • Regulatory Affairs Department: Ensures compliance with reporting timelines and maintains submission records.
  • QA Officer: Verifies completeness and compliance of SUSAR reports during audits and inspections.

Accountability

The sponsor is accountable for regulatory SUSAR submissions, while the PI remains accountable for initial identification and timely reporting to the sponsor.

Procedure

1. Identification of SUSAR
Investigators assess seriousness, unexpectedness, and causality.
Report suspected SUSARs to sponsor within 24 hours.

2. Reporting Timelines
Fatal or life-threatening SUSARs: Submit to regulatory authority within 7 calendar days.
All other SUSARs: Submit within 15 calendar days.

3. Submission Process
Prepare Case Safety Report in ICH E2B(R3) format.
Submit electronically via FDA Safety Reporting Portal, EMA EudraVigilance, or CDSCO SUGAM.
Maintain regulatory acknowledgment receipts.

4. Follow-Up Reports
Update regulatory authorities with follow-up data (clinical outcome, lab results).
Maintain audit trail of all submissions.

5. Documentation
Record SUSARs in SUSAR Submission Log (Annexure-1).
File all submission receipts in ISF and TMF.

6. Reconciliation
Periodically reconcile SUSARs reported at site, sponsor database, and regulatory systems.

7. Archiving
Retain SUSAR records for minimum 5 years post-trial or as per applicable regulations.

Abbreviations

  • SOP: Standard Operating Procedure
  • PI: Principal Investigator
  • SUSAR: Suspected Unexpected Serious Adverse Reaction
  • CRO: Clinical Research Organization
  • QA: Quality Assurance
  • TMF: Trial Master File
  • ISF: Investigator Site File
  • FDA: Food and Drug Administration
  • EMA: European Medicines Agency
  • CDSCO: Central Drugs Standard Control Organization

Documents

  1. SUSAR Submission Log (Annexure-1)
  2. SUSAR Case Report Template (Annexure-2)
  3. Regulatory Acknowledgment Record (Annexure-3)

References

Version: 1.0

Approval Section

Prepared By Rajesh Kumar, Clinical Research Associate
Checked By Sunita Reddy, QA Officer
Approved By Dr. Anil Sharma, Principal Investigator

Annexures

Annexure-1: SUSAR Submission Log

Date Subject ID Event Regulatory Authority Submission Date Acknowledgment
12/09/2025 CT2025-SITE01-111 Unexpected anaphylaxis EMA 13/09/2025 Yes

Annexure-2: SUSAR Case Report Template

Subject ID Event Description Date of Onset Causality Expectedness Outcome
CT2025-SITE01-111 Unexpected anaphylaxis 12/09/2025 Related Unexpected Recovered

Annexure-3: Regulatory Acknowledgment Record

Date Regulatory Authority Acknowledgment No. Verified By
13/09/2025 EMA EV-2025-9987 QA Officer

Revision History

Revision Date Revision No. Revision Details Reason for Revision Approved By
26/08/2025 00 Initial version New SOP creation Head, Clinical Research

For more SOPs visit: Pharma SOP

]]>
SOP for SAE Reporting to Regulators https://www.clinicalstudies.in/sop-for-sae-reporting-to-regulators/ Wed, 27 Aug 2025 09:48:49 +0000 ]]> https://www.clinicalstudies.in/sop-for-sae-reporting-to-regulators/ Read More “SOP for SAE Reporting to Regulators” »

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SOP for SAE Reporting to Regulators

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Standard Operating Procedure for SAE Reporting to Regulators

Department Clinical Research
SOP No. CR/SAE/043/2025
Supersedes NA
Page No. 1 of 22
Issue Date 26/08/2025
Effective Date 01/09/2025
Review Date 01/09/2026

Purpose

The purpose of this SOP is to describe the procedures for reporting serious adverse events (SAEs) to regulatory authorities in compliance with global requirements. It ensures timely reporting, accurate documentation, and subject safety.

Scope

This SOP applies to investigators, sponsors, and CROs responsible for SAE submission to regulatory agencies. It covers expedited, periodic, and follow-up safety reporting, including electronic submissions via regulatory portals.

Responsibilities

  • Principal Investigator (PI): Notifies sponsor of SAEs and provides required documentation for regulatory submission.
  • Sponsor/CRO: Responsible for submitting SAEs to regulatory authorities within required timelines.
  • Regulatory Affairs Department: Manages submissions to FDA, EMA, CDSCO, and other authorities.
  • QA Officer: Reviews compliance with reporting requirements during audits and inspections.

Accountability

The sponsor is accountable for ensuring SAE regulatory reporting is accurate, timely, and compliant with global requirements. The PI remains accountable for initial SAE reporting to the sponsor.

Procedure

1. Initial SAE Notification
PI reports SAE to sponsor within 24 hours of awareness.
Sponsor initiates regulatory assessment for expedited submission.

2. Reporting Timelines
Fatal or life-threatening SAEs: Submit to regulatory authority within 7 calendar days.
All other SAEs: Submit within 15 calendar days.
Follow-up reports: Submit as soon as new information is available.

3. Submission Process
Prepare SAE Case Report using regulatory-compliant template.
Submit electronically via FDA Safety Reporting Portal, EudraVigilance (EMA), or SUGAM (CDSCO).
Maintain submission receipts in TMF and ISF.

4. Documentation
Maintain SAE Submission Log (Annexure-1).
File acknowledgment receipts from authorities.
Reconcile SAE submissions with safety database.

5. Reconciliation and Close-Out
Reconcile SAE site reports, sponsor records, and regulatory submissions.
Ensure all submissions are complete before study close-out.

6. Archiving
Archive SAE submissions and correspondence for minimum 5 years post-trial or as per regulatory requirements.

Abbreviations

  • SOP: Standard Operating Procedure
  • PI: Principal Investigator
  • SAE: Serious Adverse Event
  • CRO: Clinical Research Organization
  • QA: Quality Assurance
  • TMF: Trial Master File
  • ISF: Investigator Site File
  • FDA: Food and Drug Administration
  • EMA: European Medicines Agency
  • CDSCO: Central Drugs Standard Control Organization

Documents

  1. SAE Submission Log (Annexure-1)
  2. SAE Case Report Template (Annexure-2)
  3. Regulatory Acknowledgment Record (Annexure-3)

References

Version: 1.0

Approval Section

Prepared By Rajesh Kumar, Clinical Research Associate
Checked By Sunita Reddy, QA Officer
Approved By Dr. Anil Sharma, Principal Investigator

Annexures

Annexure-1: SAE Submission Log

Date Subject ID Event Regulatory Authority Submission Date Acknowledgment
12/09/2025 CT2025-SITE01-101 Severe allergic reaction FDA 13/09/2025 Yes

Annexure-2: SAE Case Report Template

Subject ID Event Description Date of Onset Causality Expectedness Outcome
CT2025-SITE01-101 Severe allergic reaction 12/09/2025 Possibly related Unexpected Recovered

Annexure-3: Regulatory Acknowledgment Record

Date Regulatory Authority Acknowledgment No. Verified By
13/09/2025 FDA ACK-FDA-2025-1122 QA Officer

Revision History

Revision Date Revision No. Revision Details Reason for Revision Approved By
26/08/2025 00 Initial version New SOP creation Head, Clinical Research

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