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Published byGilbert Bridges Modified over 8 years ago
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1 PHS/NIH Proposed Rule Changes Financial Conflict of Interest What’s different, what did the community have to say, and how will UNC respond?
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2 Why is NIH Proposing Changes? Regulations unchanged since issued in 1995 Accelerated pace of translational research and commercialization Growth of multidisciplinary teams involving the private sector Increasing complexity of interactions between government agencies, research institutions, other public agencies and private enterprise Public scrutiny, OIG findings, Congressional pressure
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3 Definition of Financial Conflict of Interest (FCOI) Remove SBIR/STTR exclusion Reduce de minimis threshold from $10,000 to $5,000 No de minimis threshold for equity in privately held company Lists ‘paid authorship’ and ‘travel reimbursement’ as forms of compensation Exclusion for teaching, advisory committees and review panels limited to government agencies and institutions of higher education
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4 Investigator Disclosure to Institution At least once per year All interests related to ‘institutional responsibilities’ Covers 12 calendar months prior to disclosure Disclosures must be updated annually or when new financial interests are obtained
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5 Determination of Relatedness Previously declared by the investigator Institutional responsibility to determine the relationship between declared interests and each PHS-funded project
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6 Public Disclosure Requirement Publicly accessible web site listing current FCOI related to PHS-funded research Include investigator name, nature and dollar value (in specified ranges) of each FCOI Applies to individuals identified by the Institution as senior/key personnel Update annually and retain for five years from last update Timelines correspond to reporting to NIH: before spending any funds of a new award or within 60 days of new determination
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7 Required Training New requirement for all investigators to be trained on the institution’s COI policies: Prior to engaging in PHS-funded research At least once every two years thereafter
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8 Management Plans and Mitigation Plans Requirement for written management agreements for identified FCOI Additional requirements, including mitigation plans, for ensuring objectivity when FCOI is not identified, evaluated and reported to NIH within prescribed timelines.
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9 Subrecipients Subcontract requires explicit statement of whether subrecipient has is own CFR-compliant process or will be covered by prime grantee process Specify timelines for submission of financial disclosures or FCOI determinations to prime grantee
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10 Project/Investigator Change of Institution Solicited comment on additional requirements to address investigator or project inter-institutional transfers: Formal requirement to review prior institutions’ public postings Formal requirement to review institution’s own prior reviews/management of the relationship
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11 Oh, We Thought You Knew Expectation that FCOI determinations be reported to NIH upon renewal, whether competing or non- competing If the grantee institution deems additional interests beyond the CFR definition to be FCOI, those also must be reported to the NIH Will also apply to web posting requirement
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12 Questions??? Answers???
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