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== Introduction == | == Introduction == | ||
Potential research conflicts of interest arise in a variety of circumstances in the academic medical center setting. '''Examples''' include but are not limited to the following: | Potential research conflicts of interest arise in a variety of circumstances in the academic medical center setting. '''Examples''' include but are not limited to the following: | ||
# Receipt of significant consulting fees, | # Receipt of significant consulting fees, honoraria, speakers’ bureaus fees and other payment or remuneration from commercial sponsors of research; | ||
# Payments related to recruiting or enrolling research subjects; | # Payments related to recruiting or enrolling research subjects; | ||
# Financial interests in commercial sponsors of research; | # Financial interests in commercial sponsors of research; | ||
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# Philanthropic support from commercial sponsors of research; | # Philanthropic support from commercial sponsors of research; | ||
# Serving as a director of a company that sponsors research; | # Serving as a director of a company that sponsors research; | ||
# Employing research subcontractors in which a Covered Person or an immediate member of | # Employing research subcontractors in which a Covered Person or an immediate member of their family has a substantial financial interest. | ||
== Definitions == | == Definitions == | ||
'''Covered Persons''' means all individuals engaged in research for or on behalf of UNMC. Any financial interest accruing to the immediate family, including parent(s), or spouse of a parent, spouse, dependent child of a Covered Person, or anyone that a Covered Person may claim as a dependent under the Internal Revenue Code; or any financial interest accruing to a business or other entity in which the Covered Person or | '''Covered Persons''' means all individuals engaged in research for or on behalf of UNMC. Any financial interest accruing to the immediate family, including parent(s), or spouse of a parent, spouse, dependent child of a Covered Person, or anyone that a Covered Person may claim as a dependent under the Internal Revenue Code; or any financial interest accruing to a business or other entity in which the Covered Person or their immediate family member owns a controlling interest, will be treated as a financial interest of the Covered Person.<br /> | ||
'''Responsible Person''' means the principal investigator and any other person who, in the principal investigator’s professional judgment, is responsible for the design, conduct or reporting of the research, whether or not salary is requested. The term “Responsible Person” may include research coordinators and technicians. <br /> | '''Responsible Person''' means the principal investigator and any other person who, in the principal investigator’s professional judgment, is responsible for the design, conduct or reporting of the research, whether or not salary is requested. The term “Responsible Person” may include research coordinators and technicians. <br /> | ||
'''Conflict of Interest (COI)''' refers to situations when the Covered Person’s personal financial interests or fiduciary duties owed to third parties may compromise, or have the appearance of compromising, a Covered Person’s professional judgment or behavior in carrying out | '''Conflict of Interest (COI)''' refers to situations when the Covered Person’s personal financial interests or fiduciary duties owed to third parties may compromise, or have the appearance of compromising, a Covered Person’s professional judgment or behavior in carrying out their research obligations. <br /> | ||
'''Significant Financial Interest''' means anything of monetary value that exceeds $5,000 received in the past twelve months | '''Significant Financial Interest''' means anything of monetary value that exceeds $5,000 received in the past twelve months or anticipated to be received in the next twelve months, from sources that might reasonably appear to be affected by the Covered Person’s research activities. For equity holdings the limit is $500. Significant financial interest examples include but are not limited to: <br /> | ||
# Salary, royalties, or a commitment for future royalties or other remuneration received outside of the University of Nebraska system, Nebraska Medicine or University Dental Associates (UDA); | # Salary, royalties, or a commitment for future royalties or other remuneration received outside of the University of Nebraska system, Nebraska Medicine or University Dental Associates (UDA); | ||
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## income from service on advisory committees or review panels for public or nonprofit entities; | ## income from service on advisory committees or review panels for public or nonprofit entities; | ||
# Intellectual property rights (e.g. patents, copyrights and royalties from such rights); | # Intellectual property rights (e.g. patents, copyrights and royalties from such rights); | ||
#Equity interests (e.g. stocks, stock options or other ownership interests, both direct and indirect, i.e. trusts, etc.) that when aggregated for the Covered Person and the Covered Person’s spouse, parent, spouse of parent, and dependent children, exceeds $500 in value as determined through reference to public prices or other reasonable measures of fair market value, or represents more than five percent (5%) ownership interest in a single entity. Financial interests in mutual funds or retirement accounts where investment decisions are not under your direct control are excluded. | #Equity interests (e.g. stocks, stock options or other ownership interests, both direct and indirect, i.e. trusts, etc.) that when aggregated for the Covered Person and the Covered Person’s spouse, parent, spouse of parent, and dependent children, exceeds $500 in value as determined through reference to public prices or other reasonable measures of fair market value, or represents more than five percent (5%) ownership interest in a single entity. Financial interests in mutual funds or retirement accounts where investment decisions are not under your direct control are excluded.<br /> | ||
'''Foreign entities''' include, by way of example: foreign governments and agents thereof; foreign colleges, universities, and research institutions; business associations organized under or otherwise subject to the laws of foreign jurisdictions; and foreign journals and professional organizations.<br /> | |||
'''Foreign support''' includes financial or non-financial support for any aspect of any activity received by a Covered Person from a foreign entity. Examples of non-financial foreign support include but are not limited to: | |||
# Exchanges of data or other research materials; | |||
# Donations of equipment, software, or other materials; | |||
# Payment of travel-related expenses, including meals and lodging; and | |||
# Conferral of professional or honorary titles; academic, research, or clinical appointments; or other positions at a foreign entity, whether compensated or uncompensated. | |||
'''Activities supported by foreign entities''' are any activity for which a foreign entity provides financial or non-financial foreign support. Examples of activities supported by foreign entities include but are not limited to: | |||
# Serving as an employee or agent of a foreign entity; | |||
# Collaborating in research with a foreign entity, including designing experiments, collecting and analyzing data, preparing manuscripts for presentation or other publication, and presenting or otherwise publishing the results of research; | |||
# Providing consulting services to a foreign entity, whether or not such services are compensated; and | |||
# Developing partnerships or other business relationships with a foreign entity; | |||
# Accepting gifts, including donations of funding, accommodations, travel-related expenses, equipment, software, or any materials to be used in support of research, from a foreign entity. | |||
'''Institutional Conflict of Interest” (“Institutional COI”)''' may occur when the University or a Covered Person in a senior administrative position has a financial interest in a commercial entity that itself has an interest in a university research project, including potential conflicts with equity/ownership interests or royalty arrangements. An '''example''' of a potential Institutional COI is a proposed research project funded in whole or in part by an entity in which UNMC, an affiliated corporation, or other entity created to promote and facilitate technology transfer at UNMC (i.e., UNeMed), owns an equity interest or a future right to own an equity interest, the fair market value of which is greater than $500 or represents more than five percent (5%) ownership interest. <br /> | '''Institutional Conflict of Interest” (“Institutional COI”)''' may occur when the University or a Covered Person in a senior administrative position has a financial interest in a commercial entity that itself has an interest in a university research project, including potential conflicts with equity/ownership interests or royalty arrangements. An '''example''' of a potential Institutional COI is a proposed research project funded in whole or in part by an entity in which UNMC, an affiliated corporation, or other entity created to promote and facilitate technology transfer at UNMC (i.e., UNeMed), owns an equity interest or a future right to own an equity interest, the fair market value of which is greater than $500 or represents more than five percent (5%) ownership interest. <br /> | ||
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The following '''example''' would not normally be considered an Institutional COI: an equity, royalty or other interest held in a University of Nebraska endowment or similar account, which is segregated from the decision making processes of research activities. For example, a stock interest held in an account managed by a University of Nebraska Office of Business and Finance would not trigger a reporting requirement. | The following '''example''' would not normally be considered an Institutional COI: an equity, royalty or other interest held in a University of Nebraska endowment or similar account, which is segregated from the decision making processes of research activities. For example, a stock interest held in an account managed by a University of Nebraska Office of Business and Finance would not trigger a reporting requirement. | ||
== Conflict of Interest Officer == | == Conflict of Interest Officer == | ||
The Vice Chancellor for Academic Affairs shall appoint a Conflict of Interest Officer (“COI Officer”) who shall be responsible for and is authorized to oversee and monitor implementation and compliance with these Procedures. The COI Officer shall also be responsible to provide guidance and interpretation to Covered Persons seeking to comply with these Procedures, and to carry out the duties associated with reporting conflicts of interest. | The Senior Vice Chancellor for Academic Affairs shall appoint a Conflict of Interest Officer (“COI Officer”) who shall be responsible for and is authorized to oversee and monitor implementation and compliance with these Procedures. The COI Officer shall also be responsible to provide guidance and interpretation to Covered Persons seeking to comply with these Procedures, and to carry out the duties associated with reporting conflicts of interest. | ||
==Conflict of Interest Committee== | ==Conflict of Interest Committee== | ||
The Vice Chancellor for Academic Affairs shall appoint a Conflict of Interest Committee (“COI Committee”) comprised of faculty, research staff, academic administrators, business operations personnel, at least one member of the Institutional Review Board (“IRB”) and at least one community member to fulfill the duties outlined in these Procedures. The COI Committee shall be a standing committee that operates in accordance with the guidelines set forth in UNMC Policy No. 8010, [[Conflict of Interest]], and shall be chaired by a senior faculty member appointed by the Chancellor. | The Senior Vice Chancellor for Academic Affairs shall appoint a Conflict of Interest Committee (“COI Committee”) comprised of faculty, research staff, academic administrators, business operations personnel, at least one member of the Institutional Review Board (“IRB”) and at least one community member to fulfill the duties outlined in these Procedures. The COI Committee shall be a standing committee that operates in accordance with the guidelines set forth in UNMC Policy No. 8010, [[Conflict of Interest]], and shall be chaired by a senior faculty member appointed by the Chancellor. | ||
== Reporting Potential Conflicts == | == Reporting Potential Conflicts == | ||
===Conflicts of Interest=== | ===Conflicts of Interest=== | ||
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In order to avoid real and perceived favoritism in long-term or repeated dealings with research sponsors, each/every potential Institutional COI shall be reported. Any Covered Person that has knowledge of potential Institutional COI shall complete an [https://unmc.coi-smart.com/ Annual Disclosure of Financial Interest Questionnaire] for review. The COI Officer shall convene a group of senior UNMC officials appointed by the Chancellor to review the disclosure and implement a management plan if appropriate. Sponsored Programs Administration shall report the significant Institutional COI to federal grant administering agencies when required by federal regulation or the terms of the research grant. | In order to avoid real and perceived favoritism in long-term or repeated dealings with research sponsors, each/every potential Institutional COI shall be reported. Any Covered Person that has knowledge of potential Institutional COI shall complete an [https://unmc.coi-smart.com/ Annual Disclosure of Financial Interest Questionnaire] for review. The COI Officer shall convene a group of senior UNMC officials appointed by the Chancellor to review the disclosure and implement a management plan if appropriate. Sponsored Programs Administration shall report the significant Institutional COI to federal grant administering agencies when required by federal regulation or the terms of the research grant. | ||
== COI Officer Action == | == COI Officer Action == | ||
The COI Officer shall review all conflict of interest disclosure forms and determine in | The COI Officer shall review all conflict of interest disclosure forms and determine in their professional judgment whether any action should be taken in response to potential conflicts. If the COI Officer determines that a non-significant financial conflict of interest is of issue, the COI Officer shall coordinate with the Covered Person to create a proposed management plan. For significant financial interests, the COI Officer shall submit the COI disclosure and the proposed management plan to the COI Committee for review, approval or modification. | ||
== COI Committee Action == | == COI Committee Action == | ||
The COI Committee shall consider the nature of the activity, the magnitude of the COI and its relation to the Covered Person’s research, the potential impact the COI might have on the integrity of the Covered Person’s decisions, and such other considerations as the COI Committee shall deem relevant in order to make a decision. The COI Committee shall then determine whether the proposed management plan will adequately reduce the impact of the COI and state its determination on the Conflict of Interest Committee Action Form. In rare instances, the COI Committee may determine that no management plan could adequately manage the COI, and therefore prohibit the Covered Person from participating in the activity. The COI Officer shall forward a copy of the approved management plan to the Covered Person, the Covered Person’s supervisor, Sponsored Programs Administration, and also to the IRB for review and further modification if human subjects research is involved. | The COI Committee shall consider the nature of the activity, the magnitude of the COI and its relation to the Covered Person’s research, the potential impact the COI might have on the integrity of the Covered Person’s decisions, and such other considerations as the COI Committee shall deem relevant in order to make a decision. The COI Committee shall then determine whether the proposed management plan will adequately reduce the impact of the COI and state its determination on the Conflict of Interest Committee Action Form. In rare instances, the COI Committee may determine that no management plan could adequately manage the COI, and therefore prohibit the Covered Person from participating in the activity. The COI Officer shall forward a copy of the approved management plan to the Covered Person, the Covered Person’s supervisor, Sponsored Programs Administration, and also to the IRB for review and further modification if human subjects research is involved. | ||
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# After careful consideration of less prohibitive alternatives, the Covered Person may be disqualified from participation in all or a portion of the research or other project when a COI exists (e.g. may not enroll human research subjects, obtain informed consent, or analyze data). | # After careful consideration of less prohibitive alternatives, the Covered Person may be disqualified from participation in all or a portion of the research or other project when a COI exists (e.g. may not enroll human research subjects, obtain informed consent, or analyze data). | ||
== Institutional Review Board (IRB) Management Plan Review. == | == Institutional Review Board (IRB) Management Plan Review. == | ||
When the COI Committee develops management plans for COI involving human subjects research, the IRB shall review the management plan | When the COI Committee develops management plans for COI involving human subjects research, the IRB shall review the management plan or advise the IRB of Record or Office of Regulatory Affairs for the study. The IRB may require more stringent management of the COI within the scope of authority given to the IRB by federal regulations for the protection of human subjects. However, the IRB may not adopt less stringent management than the COI Committee plan. The IRB shall notify the COI Officer of its decision. The IRB shall incorporate and require implementation of the approved management plan strategies applicable to the research into the approved protocol. <br /> | ||
See UNMC Human Research Protection Program Policy 1.22 for further information. | See UNMC Human Research Protection Program Policy 1.22 for further information. | ||
== Corrective Action == | == Corrective Action == | ||
Covered Persons who do not disclose potential conflicts of interest they have pursuant to these Procedures, or who choose not to comply with COI Officer or COI Committee determination and recommendations, may be reassigned to an activity in which | Covered Persons who do not disclose potential conflicts of interest they have pursuant to these Procedures, or who choose not to comply with COI Officer or COI Committee determination and recommendations, may be reassigned to an activity in which they have no COI. Further, such failure or refusal to comply shall be cause for disciplinary consideration and grounds for employment or academic action. | ||
The COI Officer shall notify the sponsor via their defined method when the COI Committee has determined that the failure of the Covered Person to comply with this policy has biased the design, conduct, or reporting of the PHS-funded research in accordance with 42 CFR Part 50 Subpart F. | The COI Officer shall notify the sponsor via their defined method when the COI Committee has determined that the failure of the Covered Person to comply with this policy has biased the design, conduct, or reporting of the PHS-funded research in accordance with 42 CFR Part 50 Subpart F. | ||
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*Contact the [mailto:jeffrey.miller@unmc.edu Assistant Vice Chancellor for Business and Finance] | *Contact the [mailto:jeffrey.miller@unmc.edu Assistant Vice Chancellor for Business and Finance] | ||
*UNMC Policy No. 8010, [[Conflict of Interest]] | *UNMC Policy No. 8010, [[Conflict of Interest]] | ||
*UNMC Policy No. 8014, [[Disclosing Foreign Support and International Activities]] | |||
*UNMC Policy No. 1049, [[Outside Employment]] | *UNMC Policy No. 1049, [[Outside Employment]] | ||
*[https://unmc.coi-smart.com/ Annual Disclosure of Financial Interest Questionnaire] | *[https://unmc.coi-smart.com/ Annual Disclosure of Financial Interest Questionnaire] | ||
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This page updated by [mailto:dpanowic@unmc.edu dkp].<br /> | This page updated by [mailto:dpanowic@unmc.edu dkp].<br /> | ||
Last Review by Policy Owners: | Last Review and Revision by Policy Owners: September 15, 2021 |