Financial Conflict of Interest in Research Policy
Please note: This policy is currently under review and subject to change. This policy is an interim policy. Please contact the Executive Director for the Office of Research and Creative Scholarship with any questions.
Externally sponsored research is an important part of supporting faculty scholarly research and fulfilling the College’s mission. As this activity grows in scope and complexity, it may intersect increasingly with industrial explorations and entrepreneurial ventures, creating for employees the potential for conflicting interests. A conflict of interest exists when it can be reasonably determined that an employee's personal financial concerns could directly and significantly influence the design, conduct, or reporting of sponsored research activities. Faculty and staff of the College have an obligation to scrupulously maintain the objectivity of their research and avoid any conflict of interest.
Emerson College has developed this policy to protect the integrity of sponsored research, and to comply with federal regulations. These regulations require that any faculty and staff member in a position to influence the outcome of a funded project take one of the following actions:
- Assert that he or she has no financial conflict of interest with regard to the project, or
- Report any conflict that does exist with regard to the project, or any financial concerns that could potentially be perceived as a conflict of interest.
It is the intent and policy of Emerson, as an institution of higher education in receipt of federal research support, to comply with present and future regulations.
Specifically, the intent of this policy is to identify and eliminate or manage any possible threat to research objectivity at Emerson. The main components are: a) disclosure of employees' financial interests that might be affected by the research, and b) application of methods to minimize or eliminate the risks associated with such interests. It is not meant to discourage, but rather to safeguard the pursuit and dissemination of knowledge.
This policy applies to any employee of Emerson College who is responsible for the design, conduct, or reporting of research activities funded or proposed for funding, by external sources. The scope of the policy also includes the employee's immediate family, which is defined as his/her spouse or domestic partner and dependent children. Project directors are responsible for ensuring that all participants in a project who are responsible for the design, conduct, or reporting of the research disclose any significant financial interests that would reasonably appear to be affected by the research. Individuals who come to work on an established project through a reallocation of effort, hiring, transfer, promotion, etc., and subsequently take on a responsible position in a project, must also disclose any such significant financial interests.
Collaborators, subcontractors, sub-recipients, and visiting scientists must either comply with this policy or provide a certification to the Executive Director for the Office of Research and Creative Scholarship at Emerson that their institutions are in compliance with pertinent federal policies and that they in turn are in compliance with their own institutional policies. Subcontractors from commercial firms need make a certification only when the prime award is from the Public Health Service.
II. Significant Financial Interests
Any Emerson employee responsible for the design, conduct, or reporting of research activities funded –or proposed for funding– by external sources must reveal all current significant financial interests that would reasonably appear to be affected by the research. "Significant financial interest" is defined as any current financial interest of the employee and his/her immediate family that could reasonably appear to be affected by the activities proposed for funding; or any interest held by the employee and his/her immediate family in a business entity (company, corporation, or other enterprise) whose financial interests might reasonably appear to be affected by such activities.
Specifically, significant financial interests might include, but are not limited to, any of the following:
- Anything of significant monetary value, including salary or other payments for services, such as consulting fees or honoraria, from private and/or for-profit entities;
- Direct equity interests, such as stock, stock options, or ownership interests;
- Intellectual property rights owned by the employee, such as patents, copyrights, and royalties from such rights.
Significant financial interests do not include:
Financial interests in business enterprises or entities that when aggregated for the employee and his/her immediate family meet both of the following tests:
- The financial interest does not exceed $10,000 in value as determined through reference to public prices or other reasonable measures of fair market value;
- The financial interest does not represent more than a five percent ownership interest in any single entity;
- Salary, royalties, or other remuneration from EMERSON;
- Salary, royalties, or other payments that, when aggregated for the employee and his/her immediate family, are not expected to exceed $10,000 during the next twelve month period;
- Income from seminars, lectures, or teaching engagements sponsored by public or nonprofit entities;
- Income from service on advisory committees or review panels for public or non-profit entities.
An employee may elect to disclose any other financial or related interest that might present an actual, potential, or perceived conflict of interest. Disclosure can be a key factor in protecting an individual's reputation and career from potentially harmful allegations of misconduct.
III. Disclosure Process
All Disclosure Statements and related documents are considered sensitive information, and only those persons involved in the implementation of this policy will have access to such records. Each employee who has significant financial interests possibly affected by the research must complete a Financial Conflict of Interest in Research Disclosure form and attach all required supporting documentation. Additionally, the employee must submit a proposed conflict of interest management plan that details steps that could be taken to manage, reduce, or eliminate any conflict of interest. The form, documentation, and plan should be submitted in a sealed envelope marked confidential to the Executive Director for the Office of Research and Creative Scholarship.
All significant financial interests must be disclosed prior to the time a proposal is submitted. All financial disclosures must be updated by employees during the period of the award as new reportable significant financial interests are obtained.
IV. Review of Disclosures
The Vice President and Special Assistant to the President will review all disclosure statements to determine whether the significant financial interests of the employee could reasonably be expected to affect the design, schedule, conduct, or reporting of the activities funded or proposed for funding. The Vice President and Special Assistant to the President may request additional clarifying information from the individual, which will be treated as non-public information to the extent allowed by law.
V. Management Plans for Conflict
The Vice President and Special Assistant to the President may approve the employee's proposed conflict management plan, present an alternate conflict management plan, or add conditions or restrictions to ensure that any conflict is managed, reduced, or eliminated. Such conditions or restrictions may include, but are not limited to, the following:
- Public disclosure of significant financial interests;
- Monitoring of the research by independent reviewers;
- Modification of the planned activities (possibly subject to sponsor approval);
- Disqualification from participation in all or part of the project;
- Divestiture of significant financial interests;
- Severance of relationships creating conflict.
In all cases, resolution of the conflict or establishment of an acceptable conflict management plan must be achieved before expenditure of any funds under an award.
If a conflict cannot be resolved to the employee's satisfaction, an appeal may be made to the College’s Vice President and Special Assistant to the President or President, who will consult with the employee and the Vice President for Finance before making a binding decision.
As part of the financial conflict of interest disclosure process, each employee must certify that, should the Vice President and Special Assistant to the President determine a conflict exists, the employee will adhere to all conditions or restrictions imposed upon the project, and will cooperate fully with the individual(s) assigned to monitor compliance.
Failure to properly disclose relevant financial interests or to adhere to conditions or restriction imposed by the Vice President and Special Assistant to the President will be considered a deviation from accepted standards of conducting research at Emerson. Alleged violations of this policy will be investigated by the Vice President and Special Assistant to the President who will make recommendations for action to the President. Breaches of policy include:
- Failure to file the necessary disclosure statements;
- Knowingly filing incomplete, erroneous, or misleading disclosure forms;
- Failure to comply with prescribed procedures.
If a determination has been made that the policy has been violated, the Vice President and Special Assistant to the President may impose sanctions, which may include:
- Notification of sponsor and termination of award;
- Formal admonition;
- A letter to the employee's personnel file;
- Suspension of the privilege to apply for external funding and/or to seek IRB approval.
The Office of the Vice President and Special Assistant to the President will maintain records of all disclosures and associated activities securely and confidentially. All records will be maintained for three years following the letter of termination or completion of the project, or resolution of any government action involving the records. Records will not be routinely provided to sponsors unless such it is required by an agency, the agency submits a written request, or Emerson is unable to satisfactorily manage an actual or potential conflict of interest. The Executive Director for the Office of Research and Creative Scholarship will be responsible for communications with sponsors. Disclosure statements and associated information will not be released without first notifying the employee.
For more information: Eric Asetta