{"id":186,"date":"2024-07-15T15:17:56","date_gmt":"2024-07-15T15:17:56","guid":{"rendered":"https:\/\/www.mtsu.edu\/policies\/?page_id=186"},"modified":"2026-08-05T14:46:18","modified_gmt":"2026-08-05T14:46:18","slug":"p404","status":"publish","type":"page","link":"https:\/\/www.mtsu.edu\/policies\/p404\/","title":{"rendered":"404 \u00a0Conflict of Interest for Externally Funded Projects"},"content":{"rendered":"\n
Approved by President<\/strong> I. Purpose<\/strong><\/p>\n\n\n\n This policy is predicated on the expectations that investigators will conduct their affairs so as to avoid, mitigate, or minimize conflicts of interest, and they must respond appropriately when conflicts of interest arise in accordance with this policy and with\u00a0Policy 12 Conflict of Interest<\/a>. To that end, this policy informs faculty about situations that generate conflicts of interest related to research; provides mechanisms for Investigators and 糖心Vlog官方 (糖心Vlog官方 or University) to manage those conflicts of interest; and describes situations that are prohibited. Every Investigator has an obligation to become familiar with, and abide by, the provisions of this policy. If a situation raising questions of conflict of interest arises, an Investigator should discuss the situation with the Institutional Official. Investigators must also abide by all applicable University policies including\u00a0Policy 211 Misconduct in Research and Other Scholarly Activity<\/a>.<\/p>\n\n\n\n In addition to this policy, the National Science Foundation (NSF) and the U.S. Public Health Service (PHS) have promulgated additional regulations related to conflicts of interest that affect institutions applying for research funding. The NSF and PHS require each institution to maintain an appropriate policy to ensure that the financial interests of the employees of the institution do not compromise the objectivity of research supported with public funds. In order to comply with federal mandates and to be consistent in application, this policy shall apply to all externally funded projects.<\/p>\n\n\n\n This policy governing conflicts of interest applies to all Investigators of the University. The Institutional Official is responsible for ensuring implementation of this policy and may suspend all relevant activities until the conflict of interest is resolved or other action deemed appropriate by the Institutional Official is implemented. Violation of any part of this policy may also constitute cause for disciplinary or other administrative action pursuant to University policy.<\/p>\n\n\n\n II. Definitions<\/strong><\/p>\n\n\n\n III. Disclosure of Conflicts of Interest<\/strong><\/p>\n\n\n\n All Investigators are required to disclose in writing their conflicts of interest, to include any outside financial interests, to the University on an annual and on an ad hoc basis, as described below. The Institutional Official is responsible for the distribution, receipt, processing, review, and retention of disclosure forms.<\/p>\n\n\n\n Regardless of the disclosure requirements, the investigator, in their own best interest, is encouraged to disclose any other financial or related interest that could present an actual conflict of interest or be perceived to present a conflict of interest.<\/p>\n\n\n\n IV. Review and Decision of the Institutional Official<\/strong><\/p>\n\n\n\n If the disclosure form reveals a significant financial interest or a conflict of interest related to the research, it will be reviewed by the Institutional Official, and\/or University’s Conflict of Interest Committee in collaboration with the Offices of Research and Sponsored Programs and Academic Affairs, for a determination of whether it constitutes a conflict of interest. If a conflict of interest exists, the Institutional Official will take action within sixty (60) days to eliminate, reduce, mitigate, or manage the conflict, as appropriate.<\/p>\n\n\n\n A conflict of interest will exist when the Institutional Official determines that the reported interest could directly and significantly affect the design, conduct, or reporting of PHS-supported research, as well as any other externally funded research. If the Institutional Official determines that there is a conflict of interest that can be managed or mitigated, they must require and approve a written management plan before any related research goes forward. The affected Investigator is responsible for developing and submitting a proposed management plan, in consultation with the Institutional Official.<\/p>\n\n\n\n To address complex situations, oversight committees may be established by the Institutional Official to periodically review the ongoing activity, to monitor the conduct of the activity (including use of students and postdoctoral appointees), to ensure open and timely dissemination of the research results, and to otherwise oversee compliance with the management plan.<\/p>\n\n\n\n V. Notification to Funding Agency of Financial Conflict of Interest<\/strong><\/p>\n\n\n\n The Director of the Office of Sponsored Research will notify the funding agency of the existence of a conflict of interest and the action taken to manage, mitigate, reduce, or eliminate the conflict under the following circumstances:<\/p>\n\n\n\n 糖心Vlog官方 will make available to the funding agency, upon request, all conflicting interests identified and how those interests were managed, reduced, or eliminated. (42 CFR 50.604(h); 42 CFR 50.605 (b); 42 CFR 50.605 (a)(3)(ii))<\/p>\n\n\n\n VI. Financial Conflict of Interest (FCOI) Training<\/strong><\/p>\n\n\n\n Public Health Services (PHS) requires that all PIs submitting proposals to PHS (such as NIH proposals) must complete FCOI training before the proposal is submitted, and at least every four (4) years thereafter. PIs must also complete the training in a reasonable period of time, if this policy is substantially amended in a manner that affects the requirements of the Investigator, or if it is determined that the PI has not complied with this policy or with a management plan related to their activities.<\/p>\n\n\n\n PIs submitting to other federal agencies will be required to take the FCOI training, if they have disclosed a financial conflict of interest. If the VPR determines that a PI has a financial conflict of interest that has not been disclosed, the Investigator will be required to complete the FCOI training.<\/p>\n\n\n\n VII. Subrecipients, Contractors, and Collaborators<\/strong><\/p>\n\n\n\n Subrecipients, contractors, or collaborators who are working under subagreements from 糖心Vlog官方 that are funded by the federal government, must comply with federal regulations (42 CFR Part 50, Subpart F, Grants and 45 CFR Part 94, Contracts).<\/p>\n\n\n\n If these subrecipient’s, contractor\u2019s, or collaborator\u2019s Investigators must comply with the subrecipient’s, contractor\u2019s, or collaborator\u2019s financial conflict of interest policy, the subrecipient, contractor, or collaborator shall certify as part of the written agreement that its policy complies with federal regulation (42 CFR Part 50, Subpart F). If the subrecipient, contractor, or collaborator cannot provide such certification, the agreement shall state that subrecipient, contractor, or collaborator Investigators are subject to 糖心Vlog官方’s financial conflict of interest policy for disclosing significant financial interests that are directly related to the subrecipient’s, contractor\u2019s, or collaborator\u2019s work for 糖心Vlog官方.<\/p>\n\n\n\n The written agreement shall specify time period(s) for the subrecipient, contractor, or collaborator to report all identified financial conflicts of interest to the VPR. Such time period(s) shall be sufficient to enable 糖心Vlog官方 to comply timely with its review, management, and reporting obligations.<\/p>\n\n\n\n VIII. Investigation of Non-Compliance<\/strong><\/p>\n\n\n\n In compliance with NSF and PHS, as well as in compliance with research funding from the National Institutes of Health (NIH) as provided in 42 CFR \u00a7 93.108, the University will comply with its written policies and procedures for investigating and responding to allegations of research misconduct and will carry out such investigation and responses with extra care in maintaining the confidentiality of any research subjects, as well as respondents and complainants. For NIH funded research projects and grants, the University will additionally protect the scientific integrity of the research project during any investigation of research misconduct, including the protection of human participants, live vertebrate animals, and the environment, to the extent possible, and will provide reports to the Department of Health and Human Services Office or Research Integrity (ORI), when applicable.<\/p>\n\n\n\n IX. Investigator Non-Compliance<\/strong><\/p>\n\n\n\n X. Maintenance of Records<\/strong><\/p>\n\n\n\n The University will maintain records of all disclosures and of all actions taken to resolve conflicts of interest for three (3) years from the date the final expenditure report is submitted (or as otherwise specified in 45 CFR 74.53(b) or 45 CFR 92.42(b)), or until the resolution of any action taken by the funding agency involving those records, whichever is longer.<\/p>\n\n\n\n XI. Confidentiality<\/strong><\/p>\n\n\n\n To the extent permitted by law, all disclosure forms, conflict management plans, and related information will be confidential. However, the University may make such information available to an agency funding research of the faculty member; to a requestor of information concerning a financial conflict of interest related to PHS external funding; to the ORI for any NIH related research grant or funding; or to the primary entity who made the funding available to the institution, if requested or required. If the University is requested to provide disclosure forms, conflict management plans, and related information to an outside entity, the Investigator will be informed of this disclosure.<\/p>\n\n\n\n XII. Public Accessibility<\/strong><\/p>\n\n\n\n Prior to the expenditure of funds, the University will publish on a publicly-accessible website, information concerning any significant financial interest that meets the following criteria:<\/p>\n\n\n\n The information to be made available shall be consistent with the requirements of the PHS policy. Requests for access to or copies of research records must also comply with\u00a0Policy 120 Public Records \u2013 Inspecting and Copying<\/a>.<\/p>\n\n\n\n XIII. Regulatory Authority<\/strong><\/p>\n\n\n\n This policy implements the regulatory requirements of 42 CFR 50 and 45 CFR 94. Where there are substantive differences between this policy and the requirements, the regulatory requirements shall take precedence.<\/p>\n\n\n\n Forms: <\/p>\n\n\n\n
Effective Date: February 18, 2021
Responsible Division: Academic Affairs
Responsible Office: Vice Provost for Research
Responsible Officer: Vice Provost for Research<\/strong><\/p>\n\n\n\n\n
Financial interest also includes any reimbursed or sponsored travel undertaken by the investigator and related to their institutional responsibilities. This includes travel that is paid on behalf of the Investigator rather than reimbursed, even if the exact monetary value is not readily available. It excludes travel reimbursed or sponsored by U.S. federal, state, or local governmental agencies, U.S. institutions of higher education, research institutes affiliated with institutions of higher education, academic teaching hospitals, and medical centers.
Financial interest does not include:\n\n
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Prior to entering into sponsored projects or applications for sponsored projects where the Investigator has a significant financial interest, the Investigator must submit to the Institutional Official an ad hoc updated disclosure of their significant financial interests with the outside entity. The University will not submit a research proposal unless the Investigator(s) have submitted such ad hoc disclosures.
In addition, all Investigators must submit to the Institutional Official an ad hoc disclosure of any significant financial interest they acquire during the course of the year within thirty (30) days of discovering or acquiring the significant financial interest.<\/li>\n\n\n\n\n
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The action(s) taken by the Institutional Official will be described in a written explanation of the decision and provided to the Investigator, the Provost, and the Investigator\u2019s Dean and Department Chair, and, where applicable, the Institutional Review Board (IRB), and will notify the Investigator of the right to appeal the decision. The Investigator may appeal the decision by submitting, in writing, a request to appeal, listing the reasons for an appeal, within thirty (30) days of receipt of the Institutional Official\u2019s decision. If appealed, the Institutional Official will convene an ad hoc Appeals Committee consisting of the respective Dean and Department Chair, one (1) other faculty member from a department other than the Investigator\u2019s, and the IRB chair, if the project is research involving human subjects, or the IACUC chair, if the project is research involving vertebrate animals. The Appeals Committee will review the appeal and respond within thirty (30) days of the receipt of the appeal. The decision will be sent to the Investigator, the VPR, the Provost, the Dean and the Department Chair. The Provost may determine that disciplinary action is appropriate and, if so, will notify the Institutional Official of the disciplinary steps being taken.
The Institutional Official shall notify the funding agency of any disciplinary steps being taken within one hundred twenty (120) days of the Institutional Official\u2019s decision to take action.<\/li>\n\n\n\n
Documentation of the retrospective review shall include the project number, project title, PI, name of Investigator with the financial conflict of interest, name of the entity with which the Investigator has the financial conflict of interest, reason(s) for the retrospective review, detailed methodology used for the retrospective review, and findings and conclusions of the review. Such review shall be completed within one hundred twenty (120) days of the Institutional Official’s determination of noncompliance.
The Institutional Official will update any previously submitted report to the funding agency relating to the research, specifying the actions that will be taken to manage the financial conflict of interest going forward. If bias is found, the report will include a mitigation report in accordance with the PHS regulations, including a description of the impact of the bias on the research project, and the plan of action to eliminate or mitigate the effect of the bias.<\/li>\n\n\n\n\n
The Investigator shall submit documentation confirming that the disclosure of the financial conflict of interest has been made in each presentation of the results. The Institutional Officer will forward the documentation to PHS in an updated report.<\/li>\n<\/ol>\n<\/li>\n<\/ol>\n\n\n\n\n