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Disclosing Potential Individual Conflicts of Interest |
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Last Updated: May 2007
Responsible University Officer:
- Vice President for Research
- Vice President for Human Resources
Procedure Contact:
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1. INDIVIDUALS REQUIRED TO COMPLETE THE DISCLOSURE
FORM
Covered individuals are required to complete the disclosure form annually,
even if they have no external activities or interests to report. Covered individuals
are:
A. Paid academic employees: all academic employees holding a paid appointment,
at any percent time in the faculty (94xx) or academic professional or administrative
(93xx, 96xx, 97xx) appointee groups.
B. Individuals with research responsibilities (responsible for the design,
performance, or reporting of research), including:
- unpaid academic employees;
- adjunct, temporary, clinical, or visiting academic employees;
- any employee (academic or civil service) or student, paid or unpaid, who
serves as principal investigator, co-investigator, or key personnel on a
sponsored project;
- principal investigators or co-investigators on Research Subjects Protection
Program (RSPP) protocols (projects using animal or human subjects).
See Appendix
A for further clarification of reporting requirements for particular appointment
situations.
II. INDIVIDUALS EXEMPT FROM COMPLETING THE DISCLOSURE FORM
Paid academic appointees in the following classifications who do not have
research responsibilities are exempt:
- a primary appointment of appointment type Adjunct (A), Temporary (T), Clinical
(U), or Visiting (V);
- a primary appointment with an employment status code other than A (Active),
L (Leave of Absence), P (Leave with Pay), S (Suspended), W (Short Work Break),
or X (Retired-Pension Administration);
- a primary appointment of appointment term Z (hourly, summer term, lump sum)
or 0 (not applicable; temporary or casual); or
- a part-time appointment solely for the purpose of classroom instruction,
with responsibility for no more than two courses annually
III. WHERE TO FIND THE DISCLOSURE FORM
The disclosure form, also know as the Report of External Professional Activities
(REPA) form, is located at http://egms.umn.edu/REPA.
This website also provides secure access to previous disclosures.
IV. WHEN DISCLOSURE IS REQUIRED
- Disclosure is required annually (at the start of the academic year).
Each fall, covered individuals must submit annual REPA forms even if they
have no external activities or interests to report. This annual REPA is
in addition to any REPA that they file during the year. The reporting period
runs from approximately September 1 to August 31 of each year (specific
dates are determined each year by the Office of Regulatory Affairs).
- Disclosure also is required under these circumstances:
- When substantial changes in financial or business interests take place.
An updated REPA disclosure must be completed within 30 days of the
time that the change occurs. "Substantial change" includes, but is not
limited to, an increase in the value of an existing financial interest
to a value that qualifies it as a significant financial interest.
- Before initiating an activity or external relationship that has a potential
for a conflict of interest
Any time a covered individual plans to initiate an activity that may
be classified as having a potential for conflict of interest, the individual
must complete a REPA form and all potential conflicts of interest must
have an approved plan that manages, reduces or eliminates the conflict
before initiating the activity .
- When submitting a proposal for sponsored project.
All principal investigators, co-investigators, and key personnel must
have a current REPA on file at the time of proposal submission (for
internal and external sources of support). If the last REPA form was
filed over 12 months from date of submission, or if the most recently
filed REPA does not reflect current information, the covered individual
must update the previous disclosure.
Also, covered individuals must complete a REPA when they have a potential
conflict of interest with the sponsor of the research.
The principal investigator will not be able to spend award funds until
the REPA is reviewed and approved, and a management plan is implemented
(if necessary).
- When submitting a new or continuation application form to the Institutional
Review Board (IRB), Institutional Animal Care and Use Committee (IACUC),
or Institutional Biosafety Committee (IBC).
All principal investigators and co-investigators must have a current
REPA on file at the time of application submission. If the last REPA
form was filed over 12 months from date of submission, or if the most
recently filed REPA does not reflect current information, the covered
individual must update the previous disclosure.
Note: read these applications carefully. Disclosure requirements may
be more stringent for research involving humans, animals or potentially
hazardous materials.
The IRB, IACUC, and IBC committees will not give final approval until
all potential conflicts of interest have been resolved.
- When receiving a contribution that has the potential of creating or
appearing to create a conflict of interest.
Covered individuals must complete REPA forms within 30 days of receiving
contributions from businesses in which they have a business or significant
financial interest if:
- the contribution exceeds a value of $1,000 in a given year; and
- the individual knows or reasonably should know that any portion
of the contribution will be used to benefit his or her teaching, research,
outreach, or public service activities.
- When involved in review or advisory activities.
Covered individuals must temporarily excuse themselves from any University
committee or review process that is considering an activity in which
they have a business or significant financial interest. An example is
serving in an executive position for any organization that does business
with the University or sets policies or rules that affect the University's
activities.
These individuals must disclose potential conflicts of interest in
writing (a REPA is not necessary) to committee chairs or the appropriate
administrator.
- When involved with technology transfer.
The Office for Technology Commercialization checks for potential conflicts
of interest when they evaluate invention disclosures.
Covered individuals must complete REPA forms and all potential conflicts
of interest must be resolved before any licensing agreement is signed.
- When communicating with external entities
Covered individuals must disclose relevant business or significant
financial interests to sponsors of research as required by the sponsor.
When submitting a paper for publication, a covered individual must
disclose to the editor any business or significant financial interest
that may be affected by publication. This provision also applies to
release of information to news media.
Covered individuals must also disclose relevant business or significant
financial interests when they make an appearance, either in person or
by way of a written communication, before any public body, commission,
group, or individual, to present facts or to give an opinion respecting
any issue or matter up for consideration, discussion, or action.
V. DELEGATING THE TASK OF COMPLETING THE DISCLOSURE FORM
A covered individual may delegate to a University employee the task of completing
the disclosure form. However, the covered individual must be set up in the system
to approve the form. Call the EGMS helpline at (612) 624-1600 to establish this
authority. If this task is delegated, the covered individual must review the
data on the form and approve it before it is sent to the departmental and collegiate
approvers.
VI. ACTIVITIES EXEMPT FROM DISCLOSURE
The following activities do not create a potential conflict of interest and
are exempt from disclosure. They are allowable if they are consistent with other
University policies.
- Receiving income from seminars, lectures, or teaching engagements sponsored
by public or nonprofit entities.
- Receiving income by serving as a special reviewer or on a review panel for
a public or nonprofit entity.
- Receiving royalties under the University's royalty-sharing policy but not
having any other relationship with the royalty-granting entity that could
result in a conflict of interest.
- Participating in a private practice plan pursuant to Regents policies.
VII. DISCLOSURE OF CONFLICT OF INTEREST SITUATIONS
The following list of conflict of interest situations is only representative.
Any combination of activity and external relationship not specifically represented
here that a covered individual reasonably believes constitutes a potential conflict
of interest must be reported in the "comments" section of the REPA. The department
approver will determine whether the relationship represents an activity requiring
further review. In addition, the assigned level of risk is a general guideline,
and the department approver has the authority to require additional review and
oversight for any low-risk situation.
A. Activities with a Minimal to Moderate Potential for Conflict:
These activities are normally allowable but the departmental or collegiate approver
may request oversight or other management.
- Research Activities.
- A covered individual participating in research on a technology, process,
or product developed in whole or in part by that individual in which the
individual, an immediate family member, or an associated entity is entitled
to receive royalties from an existing agreement with a business under
another academic institution's royalty-sharing policies, but has no other
business or significant financial interests in the project.
- An covered individual assigning students, postdoctoral fellows, or other
trainees to research projects in which the covered individual, an immediate
family member, or an associated entity is entitled to receive royalties
from an existing agreement with a business under the University's or another
academic institution's royalty-sharing policies, but has no other business
or significant financial interests in the project.
- Instructional Activities. A covered individual assigning
students or other trainees to instructional projects, for example, design
projects, in which the covered individual, an immediate family member, or
an associated entity has a business or significant financial interest.
B. Activities with Moderate to High Potential for Conflict:
These activities require case-by-case review. They are reviewed by the departmental
and collegiate approver but must be referred to the Conflict Review Committee
for evaluation and management
- Research Activities.
- A covered individual participating in clinical trials or evaluation
or development of a technology, process, or product owned or controlled
by a business in which the individual, an immediate family member, or
an associated entity has a business or significant financial interest.
- A covered individual assigning students, postdoctoral fellows, or other
trainees to projects supported by a business (through sponsored research
or a contribution) in which the covered individual, an immediate family
member, or an associated entity has a business or significant financial
interest, other than royalty income or the entitlement to future royalty
income under University royalty-sharing policies.
- A covered individual receiving University-supervised sponsored research
support or contributions (whether in dollars or in kind) for research
from a business in which the individual, an immediate family member, or
an associated entity has a business or significant financial interest,
other than royalty income or the entitlement to future royalty income
under University royalty-sharing policies.
- Business Interests.
- A covered individual receiving research support (sponsored research
or a contribution) from a business in which the individual or an immediate
family member serves on the board of directors or advisory board.
- A covered individual or immediate family member holding an executive
position in a business engaged in commercial or research activities directly
related to the individual's University responsibilities
- Administrative Responsibilities.
- A covered individual taking administrative action on behalf of the University
with respect to the University or any University-affiliated organization
that is beneficial to a business in which the covered individual, an immediate
family member, or an associated entity has a business or significant financial
interest.
- A covered individual taking administrative action on behalf of the University
with respect to any supported research activity (sponsored research or
a contribution) in which the covered individual, an immediate family member,
or an associated entity has a business or significant financial interest
in the sponsor or donor.
- Professional Referrals. With the exclusion of consulting
activities that conform to the consulting policy, covered individuals while
acting in the context of their University duties making professional referrals
to a business in which they, immediate family members, or associated entities
have a business or significant financial interest of which they are aware
or reasonably should be aware. Only in special situations should full-time
employees be permitted to engage in this type of activity, for example, when
the function is not generally available from other sources and the covered
individual fully discloses relevant business or significant financial interest
to prospective clients.
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