Policy Executive Summary
Policy Title: Financial Conflict of Interest in Research
Executive Summary:
To set forth Reading Hospital’s policy and procedures for reporting and managing of financial conflict of interest in research.
Key Policy Information:
- A conflict of interest is considered to occur whenever investigator, sub-investigator, or key personnel (hereinafter defined) has an existing or potential financial interest that impairs or appears to impair their independence and objectivity in the design, conduct, and reporting of research.
- Investigators, sub-investigators, and key personnel (hereinafter defined) should avoid conflicts of interest and/or the potential for conflicts through financial arrangements with entities that have a special interest in a research project or its findings.
- All investigators, sub-investigators, and key personnel (hereinafter defined) are required to submit a Financial Disclosure Form to the Institutional Review Board (IRB) Office at the time of initial review of the research, annually thereafter (for non-exempt human subjects research) and within 30 days of discovering or acquiring a new financial interest that falls within the definition of what is reportable (refer to “conflict of interest” definition).
Key Policy Information:
- All Investigators, Sub-Investigators, Key Personnel, and others involved in the conduct of research at RH must complete FCOI training at the following times: prior to engaging in research; every 3 years thereafter; and immediately if:
- The FCOI in Research policy is revised in a way that affects the requirements of Investigators, Sub-Investigators, Key Personnel, and others involved in the conduct of research
- An Investigator is new to the Institution
- An Investigator is not in compliance with the FCOI policy or management plan