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Conflict of Interest Issues for the Research Administrator NCURA August 5, 2013 Policy/Compliance 08/05/131.

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Presentation on theme: "Conflict of Interest Issues for the Research Administrator NCURA August 5, 2013 Policy/Compliance 08/05/131."— Presentation transcript:

1 Conflict of Interest Issues for the Research Administrator NCURA August 5, 2013 Policy/Compliance 08/05/131

2 Today’s Presenters  Lois Brako (lbrako@umich.edu) – Assistant Vice President for Research, Regulatory and Compliance Oversightlbrako@umich.edu  Terri Maxwell (tmax@umich.edu) – Senior Project Representative, Office of Research and Sponsored Projectstmax@umich.edu  Cathy Handyside (chandys@umich.edu) – Senior Product Manager, Information and Technology Serviceschandys@umich.edu  Lori Deromedi (lderomed@umich.edu) – Compliance Change Management, Office of the Vice President for Researchlderomed@umich.edu 08/05/132

3 U-M by the Numbers  3 : Campuses - Ann Arbor, Dearborn, Flint  19 : Schools and colleges (Ann Arbor campus)  7,141 : Total regular faculty  36,710 : Total staff and supplemental faculty  60,798 : Total enrollment  $1,274,000,000 : Research volume 08/05/133 What’s at stake for U-M 2012 data

4 COI Regulations  Public Health Service (PHS/NIH)  1995 Regulation – Responsibilities of the Investigator  2011 Revised Regulation – Responsibilities of the Institution  http://grants.nih.gov/grants/policy/coi/ http://grants.nih.gov/grants/policy/coi/  National Science Foundation (NSF)  2005 Grant Policy Manual – Responsibilities of the Institution and Investigator  http://www.nsf.gov/pubs/manuals/gpm05_131/gpm5.jsp http://www.nsf.gov/pubs/manuals/gpm05_131/gpm5.jsp  Food and Drug Administration (FDA)  2013 Guidance documents (e.g., Financial Disclosure by Clinical Investigators)  http://www.fda.gov/downloads/RegulatoryInformation/Guidances/ UCM341008.pdf http://www.fda.gov/downloads/RegulatoryInformation/Guidances/ UCM341008.pdf 08/05/134

5 COI Regulations: Commonalities  Common regulatory points:  Definitions:  Investigator  Outside interest  Conflict of interest  Significant financial conflict of interest  Institutional policy requirements:  Disclose outside interests to institution  Report significant conflicts 08/05/135

6 6 COI Compliance: Who’s Involved? Regulatory Compliance Investigator Research Administrator COI Office Sponsored Projects Office Contracts Office Information Technology Performance Support Discloses outside interests Ensures compliance Provides structure Facilitates disclosure process

7 Why Should We Care about COI?  Investigator Point of View  Undue influence on professional judgment  Balance between primary obligations to the university vs. outside interest  Research Administrator Point of View  Research objectivity/integrity  Open publication of research results  Appropriate use of funds  Projection of human subjects  Proper transfer of intellectual property  Maintain relationships with/fulfill obligations to colleagues, students, and trainees 08/05/137 COI policies provide researchers and the institution a way to manage actual or perceived conflicts of interest; safeguarding objectivity in research… …and avoiding negative news headlines.

8 Institutional Responsibilities  What do research institutions look for to determine COI?  Commitment to the home institution  Outside activities do not negatively impact institutional responsibilities  Outside activities do not exceed institutional policy limit for time and effort  Publication is credited to institution  Use of institutional resources is approved by the institution  Impact on objectivity of their research (real or perceived)  Impact on human subject rights  Loss of trust in physician/patient relationships  Impact on students and trainees  Student progress is not affected 08/05/138 COI Office

9 Common COI Situations  Investigator serves on a Board of Directors, Scientific Advisory Board, or consults for a company that is sponsoring research or is involved in human subject research  Investigator holds equity in a start-up company and is collaborating on a SBIR or STTR award with the company  Investigator wants to use institutional facilities or resources for work on behalf of an outside entity (e.g., equipment, lab space)  PI wants to have graduate students or other trainees work on projects for an outside entity with which the PI has an FCOI  Investigator want to buy research supplies/software from a company with which he/she has a relationship 08/05/139 COI Office

10 Managing COI for Research Activity  Policies and procedures:  Disclosure  Annual  Changes reported within 30 days (PHS)  Review  Unit  Central Office  Person  Project  Management  Reporting 08/05/1310 COI Office RA

11 Discloser’s Responsibilities 08/05/1311  Main outside interest considerations:  Activity related to institutional responsibilities  Consulting/Advisi ng  Leadership roles  Board roles  Ownership/Equity  Intellectual Property  Travel (PHS)  Disclosers need to be aware of changes:  Timing  Thresholds  Travel (PHS)  Research Administrators (RAs) assist faculty and staff in units:  Disclosure Policies  Disclosure System  Resources for help Investigato r RA

12 Sponsored Projects Office Role  Sponsored Projects (pre-award office) ensures COI compliance through proposal and award management processes  At time of proposal submission, checks whether PHS FCOI regulations apply  YES:  Verifies all Investigators at all sites must have disclosed  Verifies who will manage COI for sub-award Investigators (your institution or theirs)  NO: follows applicable federal regulations and institutional COI review procedures 08/05/1312 Sponsored Projects Office

13 COI Check at Award  For NIH awards, U-M Sponsored Projects uses the “Just-In- Time” (JIT) point to alert the COI Office that an award is likely  COI Office: review and management  Reviews Investigators’ outside interests in context of the research activities to be conducted  If a conflict of interest is determined, establishes a management plan and creates the FCOI report for Sponsored Projects to submit to the sponsor  Sponsored Projects Office: reporting  Reports to the sponsor BEFORE any funds are drawn down.  Submits via Commons  Key elements are entered in text boxes or radio buttons  Uploads actual FCOI Plan  Or, submits FCOI report directly to the sponsor per their instructions 08/05/1313 Sponsored Projects Office COI Office

14 COI Check for Sub-Awards  At time of application: management  Investigator/RA obtains sub-award institution’s PHS COI policy attestation  Own policy or listed on the FDP Clearinghouse demonstrates compliance (policy and disclosure “trust model”)  No policy or not on FDP Clearinghouse? Subcontractor investigators disclose to the awardee institution. Research Administrators obtain completed forms.  Sponsored Projects/Contracts Office records attestation  At time of award: management, review, reporting  RA requests up-to-date disclosures, if needed  Contracts Administration (post-award office) verifies sub-award institution’s PHS COI policy attestation via the draft agreement  If applicable, COI Office reviews disclosures  If FCOI Report (from COI Office or sub-award institution) included, Sponsored Projects reports to the sponsor 08/05/1314 Sponsore d Projects Office Contracts Office RA

15 Subcontract COI Terms  By signature, Subcontractor certifies that they :  Have an up-to-date, written and enforced administrative process to identify and manage FCOI which complies with 42 CFR Part 50 for PHS research projects; or follow the awardee institution’s process  Promote and enforce Investigator compliance with requirements including disclosure of significant financial interests  Make information about Investigators’ disclosures and Subcontractor’s reviews (regardless of COI determination) available to the awardee institution  Report any FCOI to the awardee institution and PHS within 45 days of any identified FCOI and before expenditure of authorized funds  Fully comply with the requirements of 45 CFR Part 94, Responsible Prospective Contractors 08/05/1315 Contracts Office Paraphrased from FDP forms

16 Changes/Annual Review  Annual disclosure required by PHS and/or institution  COI Office reviews annually or when change reported  A new outside interest creating an FCOI in the course of a project requires notification to Sponsor within 60 days  If change is not reported within 60 days, a retrospective review of Investigator’s activities is required to determine if there was any bias to the research  A lengthy report of that review has to be submitted to the sponsor including the reason for the retrospective review 08/05/1316 Sponsore d Projects Office COI Office

17 Information Technology Role  Tools and Automation  Disclosure  Review  Management  Reporting 08/05/1317 Information Technology

18 Performance Support Role  Change Management  Plan  Coordinate with campus  One voice for compliance  Audience evaluation  Methods  Targeted communications  E-mail  Web  Job aids  Web pages design  Simplify  Resources  Not all text 08/05/1318  Research Administrators assist with unit communication:  Unit procedures  Resources for help Performance Support RA


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