Title: Conflicts of Interest
1Conflicts of Interest
- Brenda Seiton, J.D.
- Assistant Dean for Administration
- Department Administrators Course
- September 1, 2006
2Presentation Overview
- Individual Conflicts of Interest
- Consulting Agreements
- Start-up Companies
- Use of Emory Resources
- Institutional Conflicts of Interest
3Individual Conflict of Interest
- Definition A situation that occurs when an
individual has an outside interest (usually
financial) that affects or appears to affect the
individuals professional judgment in carrying
out university responsibilities - Interest may influence the universitys business
and research decisions - Interest may influence the integrity of the
employees decisions in teaching, research, and
service - Interest may appear to influence individuals
decisions
4Conflicts? Which Conflicts?
- Physician/Researcher
- Experiment/Therapy
- Federal Funds/Private Funds
- Consultant, Inventor, Equity Holder,
Researcher/Teacher - Time Commitments
- Resource Allocation
- Hiring relatives
- Accepting gifts
5Why do we care?
- Public Trust
- Maintain integrity credibility for our
investigators institution - Role models to our students trainees
- Protecting human subjects
6A word about money . . .
- In 2004, the median household income in the State
of Georgia was 49,475 - Average pharmaceutical companys marketing budget
was 120,700,000 - Of these budgets approximately 30,000,000 was
spent on Thought Leaders - These Thought Leaders include our faculty
7Regulations University Policies
- University Bylaws Article IX
- Research Conflict of Interest Policy
- Policy on Use of Letterhead and Facilities for
Private Purpose - Policy on Private Consulting by Faculty
- Employment of Relatives (Nepotism)
- Institutional Conflict of Interest Procedures
- Guidelines for the Responsible Conduct of
Scholarship and Research - http//www.or.emory.edu/share/policies/conflict_in
terest.cfm
- Public Health Service
- National Science Foundation
- Food Drug Administration
- NIH Policies
- Internal Revenue Service
- Securities Exchange Commission
8Guidance Documents
- AAMC Individual Conflicts of Interest in Human
Subjects Research - December 2001 - AAMC Institutional Conflicts of Interest in
Human Subjects Research October 2002 - AAU Report on Individual and Institutional
Financial Conflict of Interest October 2001 - AMA Code of Medical Ethics, Opinion 8.031,
March 1992 - Professional Societies and Peer Reviewed Journals
9Consulting Agreement Basics
- Faculty members may engage in outside consulting
activities when the activities and the agreements
have been approved by their Chairs and the Deans
Office
- Applicable policies from the University and
School of Medicine may be found on the web - University Faculty Handbook Chapter 3
Policies, Reimbursement Compensation
http//www.emory.edu/PROVOST/ - School of Medicine Faculty Affairs Page
http//www.emory.edu/WHSC/MED/DEAN/facultyaffairs.
html
10Consulting Agreement Basics
- What activities are considered consulting?
- Providing advice to an external company, person,
or organization - Serving on an advisory committee
- Serving on a review committee
- Developing products owned by external group as
long as Emory resources are NOT used and not
within scope of academic duties - Speaking to the community or press about a
companys products, provided that the information
has already been published
11Consulting Agreement Requirements
- Agreement must be between faculty member as a
private individual, i.e. not representing Emory - Correspondence and payments made directly to the
faculty member - Required language (see Consulting Agreement
Reference Sheet) - Must be approved by Chair and Deans Office who
take into consideration - the academic and clinical needs of the
Department, the School, Emory Healthcare, and the
practice plans and - the benefit of the consulting activity to the
faculty member and the University
12Which activities are not permitted in a
Consulting Agreement?
- Faculty may not use any Emory or EmoryHealthcare
facilities, resources, or personnel for their
private consulting activities - This means
- no Emory laboratories or data
- no reagents or equipment ordered by Emory
- no Emory lab techs or assistants
- no Emory conference rooms
- no EmoryHealthcare operating rooms
- no Emory trademarks, tradenames, or logos
- no Emory intellectual property
13Which activities are not permitted in a
Consulting Agreement?
- Faculty may not engage in the practice of
medicine - Providing information or advice about an
individual patient - Providing treatment to an individual patient
- Prescribing treatments for individual patients
- Recommending particular physicians in the
patients geographical area - Faculty may not perform research or teach classes
without written approval from Dean
14Potential Conflicts of Interest Created Due to
Consulting Relationships
- Consulting activities research or academic
activities overlap - Inappropriate use of Emory facilities or
resources - Most editors require disclosure of any consulting
relationships - Consulting fees greater than 10k may trigger COI
Research policy and review is required by the COI
Committee
15Start-up Companies
- Faculty owned companies
- Purpose is to develop and/or commercialize
intellectual property that faculty developed at
Emory or other institution - Outcomes include commercial sales by start-up or
sale to larger corporation
16SOM Procedures for Start-up Companies
- Faculty are required to submit to Chair and Dean
a report outlining the business plan - Appropriate time for faculty member to start a
company? - Time commitments?
- Competitive with Emory?
- Report must be reviewed by SOM Conflict of
Interest Committee - Review by Office of Technology Transfer is
required if plans include use of Emory
Intellectual Property - If Emory technology is licensed to the start-up
company, Emory may request an equity share in the
company if cash is not available - http//www.emory.edu/WHSC/MED/DEAN/facultyaffairs.
html
17Potential Conflicts with Start-up Companies
- Use of Emory technology by business prior to
license - Negotiating with Emory on behalf of company
- Use of Emory resources
- Co-mingling of assets with Emory
- Inappropriate transfer of data/information/technol
ogy to company - Fiduciary duty to company
18Conflict Management University Federal
Requirements
- Conflicts must be
- Disclosed in writing (annually and as
circumstances change) - Reviewed by designated officials
- Properly managed, reduced, or eliminated
- Consistent monitoring and oversight
- Sanctions employed for non-compliance
19Process for Disclosure Review
- Disclosures obtained annually from faculty
- Annual Disclosure Form available on-line
http//med.emory.edu/administration/faculty_affair
s/profile_coi_links.cfm - Disclosure statements included on Sponsored
Projects Approval Form, IRB forms, IACUC
applications, Appointment Promotions Committee - Disclosures reviewed to determine whether a
conflict of interest or commitment exists - If a potential conflict is found, more
information from individual is requested
20Types of Information Requested for Review by COI
Committee
- Faculty Status
- Research Proposal/Business Plan
- Equity Interest/Financial Interest
- Corporate Information
- Consulting/Advisory Agreements
- License Agreements
- Report from Individual(s)
21What are the Goals?
- To protect the integrity of data against bias,
and thereby the reputation of the institution and
the individual faculty member - To protect the safety of human subjects in
research - To carry out the missions of the institution in
accordance with the highest ethical standards
22Considerations for Management Tools
- Is the research clinical or non-clinical?
- Is this a pilot study?
- Does the investigator have unique expertise?
- What protections are built into the study design?
- Is the study design reviewed by peers through a
grant review panel? - How will data be used, i.e. is this the pivotal
study for approval by the FDA? - From where does the investigator receive the
majority of his/her funding? - What would be the publics perception of the
conflict? - Would this activity expose the University or the
investigator to scrutiny by the IRS, SEC, or
other federal agency?
23Individual Conflicts That Are Not Permitted
- Purchasing equipment/materials used in research
from a private firm in which the investigator has
a significant financial interest or other direct
relationship (consultant) - Using SOM facilities/resources by an entity when
the investigator is a consultant or has equity
ownership - Using students/trainees on research projects
directed by a conflicted investigator in a way
that restricts - Freedom to discuss findings
- Seeking training and advice from others
- Conducting job searches freely
- Publishing freely (confidentiality agreements)
24Managing Conflicts General Principles
- Emory owns all the intellectual property
generated by its employees and students (with
some exceptions) - External activities cannot compromise the
employees ability to perform his/her full-time
Emory job - Emory business (scholarship, teaching service) is
conducted in a manner that is above inferences
that the activity could be compromised by the
employees expectation of financial gain, direct
or indirect - Students, trainees, and employees must be
assigned duties consistent with their status and
position. Their work should not be compromised
by agreements with external sponsors or by a
faculty members financial interests. - The University must authorize any use of Emorys
research facilities, personnel, and intellectual
property for use by anyone other than Emory
25Management Plans
- Disclosure
- Re-design of research project
- Appointment of independent reviewer(s)
- Limitation of corporate responsibilities
- Leave of absence from faculty duties
- Prohibition of certain responsibilities
associated with research or Emory activities - Divestment of corporate interest
- Prohibition of corporate relationship
- Annual reports on compliance with management plans
26Questionable Uses of Emory Resources
- Press releases or marketing campaigns by outside
companies - Provision of facilities or resources to outside
companies - Filming at Emory
- Training Programs
- Endorsements
- Testimonials
27Things to remember
- All interactions with the press or public
relations firm must be cleared with the Office of
Communications - Emory facilities and resources cannot be used for
commercial, political, or private financial gain
or commercial advertising by third parties - Endorsements are not permitted and testimonials
are rarely permitted (must be cleared through
General Counsel and Communications)
28Institutional Conflicts of Interest
- When the financial or personal interests of the
institution, or of an institutional official
acting in his/her official capacity, might affect
or appear to affect - Any phase of its research mission -- conduct,
review, oversight and compliance, outcome - Finances and economic status of the
institution/school/department - Missions of the institution/school/department
- Appropriate vendor relationships
- Employment practices (oversight of faculty,
staff, students)
29To Maintain the Public Trust . . .
- Institutional officials must
-
- Make decisions and policies for the institution
that are free from improper bias or conflict of
interest - Be able to document that they have done so
30The Institution has Competing Interests in . . .
- Its reputation
- Its research integrity
- The safety and welfare of its human subjects
- Its financial gain from external entities
donors, research sponsors, companies, investments - Its own academic and clinical missions and the
policies that support them - Allocations of space, money, people
- Review and approval processes
- Monitoring, auditing, compliance
- Discipline
- Purchasing for Departments, School, Hospitals,
Clinic, Grady
Decisions are made by Chairs Deans at SOM level
31Potential ICOI in Research
- Exist when the institution or institutional
officials who manage or oversee research also - Might get royalties from the sale of the product
that is to be investigated - Hold any equity through licensing its technology
to a non-publicly traded research sponsor (e.g.,
startup company) - Hold ownership interests through licensing its
technology to a publicly-traded research sponsor
(gt100K ?) - Receives a significant gift from a potential
research sponsor
32Potential ICOI in Research
- When an institutional official who has research
responsibility has a - Significant financial interest in the research
sponsor or the product to be investigated - Equity interest
- Consulting relationship
- Honoraria, gifts
- Service as officer, board member
- Purchasing relationship with the research sponsor
(vendor)
33Rules and Regulationson ICOI
- Various regulations and statutes govern ICOI in
finance, employment, Board duties, etc. (IRS,
SEC, corporate law . . . ) - No federal regulations on ICOI in research
- Excellent guidance for institutions engaged in
human subject research, adaptable to broader
application - Protecting Subjects, Preserving Trust, Promoting
Progress II Principles Recommendations for
Oversight of an Institutions Financial Interests
in Human Subjects Research - AAMC Task Force on Financial Conflicts of
Interest in Clinical Research, October 2002
34A Few SIMPLE Rules For Chairs Administrators
- Carefully weigh the competing interests
- Need for money, but does the end justify the
means? - Think about how the arrangement would be seen in
view of an adverse event involving a patient - Think about your own and the institutions
reputation (with colleagues and the public) if
the arrangement is published in the newspaper - Ask yourself whether the arrangement passes the
smell test - Think about ways to manage the potential COI
disclose or modify the arrangement for better
management of the COI
35A Few SIMPLE Rules for The Institution
- Separate the roles of administrators who oversee
and make institutional decisions about research
and administration from those who oversee
investments and technology transfer - Have established policies and procedures for the
identification, disclosure, review, and
management or elimination of potential ICOI - Have an ICOI Committee with some external
members, and high-ranking independent internal
members (not COI Committee) - Make use of external committees, ad hoc or
standing, routinely or in certain cases, if
feasible
36 A Few SIMPLE Rules . . .
- Have good communication among the ICOI Committee,
COI Committee(s), Tech Transfer Office, and IRB - Disclose, disclose, disclose
- Require IRB members to disclose potential
conflicts of interest and recuse or divest if
appropriate
37School of Medicine Conflict of Interest Committee
Members Tristram Parslow, M.D., Ph.D., Chair
Pathology
Laboratory Medicine Edmund E. Waller, M.D., Ph.D.
, Vice-Chair Hematology/Oncology, WCI Greg
Berns, M.D., Ph.D.
Psychiatry Behavioral Sciences Victoria Greene,
J.D., M.D. Gynecology/Obstetrics Jay Justice,
Ph.D. Chemistry, Emory College Jeff Lessesne,
M.D. Geriatric Medicine Rebecca Pentz, Ph.D.
Winship Cancer
Institute James Ramsay, M.D. Anesthesiology
Ex-Officio Members Claudia R. Adkison, J.D,
Ph.D., Exec. Assoc. Dean/Faculty Affairs
Administration Todd Sherer, Ph.D. Director,
OTT Brenda J. Seiton, J.D. Asst.
Dean for Administration Tanya Sudia-Robinson,
Ph.D. IRB/IACUC Office Shawn Akkerman, Pharm. D.
OSP Arri Eisen,
Ph.D. Center for
Ethics Biology
38Questions/More Information
- Brenda J. Seiton, JD, Assistant Dean for
Administration, bseiton_at_emory.edu 727-3413 - Claudia R. Adkison, JD, Ph.D., Executive
Associate Dean/Administration Faculty Affairs,
cadkison_at_emory.edu 727-5673 - Kris West, JD, Chief Compliance Officer, Emory
University Research Office kwest02_at_emory.edu
727-2237 - Emory Healthcare Anne Adams, MHA, JD, Chief
Compliance Officer, EHC anne_adams_at_emoryhealthcare
.org 778-2186