For PHS/NIH research personnel,Ìýcompletion of the required educational training and DEPA reporting are both required in order to meet federal requirements.

As of August 24, 2012, academic institutionsÌýwere required to implement changes in some of the regulations governing Conflict of Interest reporting. These changes affect research personnel who receive funding from/are supported by Public Health Service (PHS) agencies, including, but not limited to, the National Institute of Health (NIH).

Overview of Changes to RegulationsÌý

  1. Disclosure: All babyÖ±²¥app, and any other employee or student with responsibility for the design, conduct or reporting of research are considered critical to the research process and must disclose any significant financial interest and external professional activity that could compromise university decision making or duties. View the list of personnel categories that must disclose.
  2. New questionsÌýduring proposal submission in paperwork required by the .
  3. Thresholds (limits) and criteria of what is reportable were revised.ÌýSeeÌýPolicy & Standards:ÌýDefinitions: Significant Financial Interest
  4. Requirement to specifically report travel separately on the disclosure form. See "Travel" heading below.
  5. Educational training must occur for all PHS/NIH disclosers:
    1. Prior to engaging in any grant or contract funded by the Public Health Service (including NIH)
    2. At least every four years after initial training
    3. When warranted by other circumstances, such as noncompliance.

ÌýNote: The University of babyÖ±²¥app Boulder COIC video tutorial for NIH/PHS researchers is embedded into the DEPA reporting process. If the NIH/PHS COI training requirement has been met, the date of training will automatically populate on the DEPA disclosure form and the reporting process can continue. NIH/PHS researchers who haveÌýnotÌýsatisfied the training requirement will be directed to follow a link to the training module where they can view the informational content andÌýclick to certify completion.ÌýOnce completed, researchers can easily return to the DEPA reporting form so that it, too, can be completed.ÌýAn approved COIC reporting status for NIH/PHS researchers is contingent upon the training requirement being satisfied.Ìý

Travel

For PHS/NIH-funded key personnel, travel reimbursement or sponsored travel related to institutional responsibilities to a U.S. destination valued at $2,500 per entity aggregated over the previous twelve (12) months, or to a foreign destination of any value, must be reported asÌýSFIÌý(Significant Financial Interest).

Exclusions from this requirement include travel that is reimbursed or sponsored by:

  • the University of babyÖ±²¥app
  • a federal, state, or local government agency
  • another institution of higher education within the U.S.A.
  • an academic teaching hospital, medical center or research institute that is affiliated with an institution of higher education within the U.S.A.

Travel is to be reported via theÌýDEPA Form. Please update your DEPA report throughout the year for those travel occurrences that meet the PHS/NIH reporting requirements.Ìý