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Research Compliance

Research Compliance. Presented by Research and Graduate Studies Elizabeth Peloso. Compliance Areas. Human Subjects Animal Welfare Conflict of Interest Responsible Conduct of Research Export Controls. Human Subjects. 45 CFR 46 (The Common Rule) Ethical Principles Belmont Report FWA

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Research Compliance

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  1. Research Compliance Presented by Research and Graduate Studies Elizabeth Peloso

  2. Compliance Areas • Human Subjects • Animal Welfare • Conflict of Interest • Responsible Conduct of Research • Export Controls

  3. Human Subjects • 45 CFR 46 (The Common Rule) • Ethical Principles • Belmont Report • FWA • ALL HS research on campus is covered

  4. HS Review Categories • Exempt from Review • Expedited Review • Full Board Review Expedited and full board protocols must be renewed annually

  5. Changes in Human Subjects • Training required for ALL HS researchers • Online Training available through CITI • http://www.citiprogram.org • Standard submission form available

  6. IACUC/IRB forms RGS website

  7. Animal Research • PHS regulated through the Office of Laboratory Animal Welfare • Institutional Animal Care and Use Committee • IACUC coordinator Cathie Ramone • Animal Facility Manager, Frank Warren

  8. IACUC Procedures • Meeting dates, forms and submission deadlines on RGS website • Protocols good for 3 years, with annual review each of those years • Lab/Facility Inspections

  9. Conflict of Interest

  10. Potential Conflict of Interest Possibility from the perspective of an independent observer that an individual’s private financial interest or family’s interests may influence professional actions, decisions, or judgment

  11. Conflict of Interest • Section: PersonnelPolicy Number: 4-26Policy Name: Faculty Conflict of Interest and Ethical ConductDate: June 5, 1989Revisions: August 28, 2003 • PURPOSE • To define expectations of ethical conduct for University faculty members.

  12. Conflict of Interest • Section: ResearchPolicy Number: 6-11Policy Name: Faculty and Professional Staff Involvement in Commercial Enterprises That Have Relationships With The University of DelawareDate: November 15, 1989Revisions: March 1, 1996; February 18, 2002 • PURPOSE To delineate policy and guidelines governing the involvement of faculty and professional staff with commercial enterprises to minimize potential conflicts of interest and to provide means for managing conflicts if they arise

  13. COI Policy • http://www.udel.edu/ExecVP/polprod/6-11.html

  14. What is a Conflict? • Possibility that individual’s financial interests (personal or family) might influence professional actions • Not possible or desirable to eliminate • Need to manage

  15. Common areas of Potential Conflict • Consulting agreements (subcontracts) • Licensing agreements • Procurement • Mentoring

  16. Consulting Agreements • Disclose the agreements • Use of University facilities/staff • Review NDAs • Mutual non-disclosure • Time limits • IP ownership • Publication • Individual vs University agreement

  17. Licensing Agreements • Compromise of basic university commitments? • University management of equity • Protection of integrity of research results

  18. Procurement • Personal ownership of significant financial interest in companies doing business with university • Family member ownership/interest if related to purchases made by PI

  19. Mentoring Relationships • Mentor as employer • Need to balance obligation to promote careers of junior faculty, post-docs, grad students with benefit of employment Publications

  20. Who needs to file? • http://www.udel.edu/research/researchers/policies-forms.html?panel=1#conflict

  21. Who does the management? • UD policy seeks management at the most local level possible: • Department chair (or committee) • College committee • University committee

  22. Export Controls

  23. What is an Export? • Shipment of goods out of the U.S. • Electronic transmission out of the U.S. • Release of technology to foreign national

  24. Regulatory Environment • Department of State • ITAR (International Traffic in Arms) • Department of Commerce • EAR (Export Administration Regulations) • Department of theTreasury • OFAC (Office of Foreign Asset Controls)

  25. ITAR • Weapons, items, and technology for military use • Contracts with DOD

  26. EAR • “dual-use” items • Potential military use (e.g. missile guidance, avionics, GPS) • May also apply to solely civil use items • Depending on the end use/end user

  27. Fundamental Research Exclusion 734.8 (b) (1) –University Based Research. Information resulting from basic and applied research in science and engineering conducted at an accredited institution of higher education in the U.S. that is ordinarily published and broadly shared within the scientific community.

  28. Implications • Any contract with publication restrictions will be subject to controls • Review vs approval

  29. Implications • Any work conducted outside the U.S. will be subject to controls (even if all equipment/technology will be returned to the U.S.)

  30. Deemed Exports • The transfer or disclosure (including visually or orally) of controlled “technologies” or “technical data” to a foreign entity or individual anywhere, including the U.S. (15 CFR 734.2; 22 CFR 120.17)

  31. Implications • Foreign national staff (including students) may be deemed export if do not have permanent resident status/ full time employment. • Visiting foreign national colleagues may be deemed export.

  32. Penalties for Violating Regulations • 10/20 years imprisonment • $250,000 fines • Civil penalties of up to $120,000 per national security violation

  33. Be Aware • If you think any aspect of your research may be subject to export controls AND /OR you have deemed export concerns, please contact the research office.

  34. Responsible Conduct of Research • All the policies and procedures are to safeguard responsible conduct of research • Training opportunities

  35. References • www.udel.edu/research • Elizabeth Peloso - email: epeloso@udel.edu

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