The Head of Department is the “Designated Departmental Official” and is defined as follows:
a) the Investigator's Head of Department (where the Investigator is a member of staff or an affiliate) OR
b) the Investigator's line manager (in cases where the Investigator is a Head of Department, Faculty Dean or College Officer)
The Designated Departmental Official has four main responsibilities:
1. Review a disclosed Significant Financial Interest (SFI)
The Designated Departmental Official is responsible for reviewing any disclosed Significant Financial Interest (SFI) and determining if the SFI could directly and significantly affect the design, conduct, or reporting of the PHS/NIH-funded research, and if so related, determine whether it constitutes a Financial Conflict of Interest (FCOI). Decisions should fully consider the scope, definitions, procedures and requirements set out in Imperial College’s own Conflict of Interest Policy in addition to the requirements of the NIH FCOI policy (42 CFR 50 Subpart F).
Within sixty (60) days, the Designated Departmental Official should review the Significant Financial Interest (SFI); determine whether it is related to the NIH-funded research; determine whether a Financial Conflict of Interest (FCOI) exists; and if so, implement, on at least an interim basis, a Management Plan that specifies the actions that have been, or will be, taken to manage such FCOI going forward.
Questions about the requirements of the NIH FCOI policy should be directed to the Research Office at ro.audit@imperial.ac.uk
2. Develop a Management Plan to manage an identified Financial Conflict of Interest (FCOI) and monitor Investigator compliance
Where a Financial Conflict of Interest (FCOI) is determined to exist, the Designated Departmental Official is required to develop and agree a Management Plan to manage the FCOI(s) which the Investigator will be required to implement.
Examples of conditions or restrictions that might be imposed to manage an Investigator’s FCOI include, but are not limited to:
a) Public disclosure of FCOIs (e.g. when presenting or publishing the research; to staff members working on the project; to Research Ethics Committee(s); to Imperial College’s Animal Welfare and Ethical Review Body (AWERB) Committee etc)
b) For research projects involving human subjects research, disclosure of FCOIs directly to participants
c) Appointment of an independent monitor capable of taking measures to protect the design, conduct and reporting of the research against bias resulting from the FCOI
d) Modification of the research plan
e) Change of personnel or personnel responsibilities, or disqualifications of personnel from participation in all or a portion of the research
f) Reduction or elimination of the financial interest (e.g. sale of an equity interest)
g) Severance of relationships that create financial conflicts
The NIH Management Plan - Financial Conflict of Interest [Word] form should be completed and signed by both the Investigator and Designated Departmental Official to confirm agreement of the Plan.
The Designated Departmental Official is also responsible for monitoring the Investigator’s compliance with the Management Plan until completion of the project.
The Research Office must be notified promptly at ro.audit@imperial.ac.uk as soon as a FCOI is determined to exist. A copy of the agreed Management Plan should also be sent to the Research Office so a FCOI report can be submitted to the NIH in line with the requirements of the NIH FCOI policy.
3. Conduct a Retrospective Review of a Financial Conflict of Interest (FCOI)
The Designated Departmental Official will be required to conduct a Retrospective Review whenever a Financial Conflict of Interest (FCOI) is not identified or managed in a timely manner, including in the following circumstances:
a) If the Investigator does not disclose a Significant Financial Interest (SFI) that is determined by the College to constitute a FCOI
b) If a previously disclosed Significant Financial Interest (SFI) has not been reviewed or managed
c) If the Investigator does not comply with a FCOI management plan
Within sixty (60) days, the Designated Departmental Official should review the Significant Financial Interest (SFI); determine whether it is related to the NIH-funded research; determine whether a Financial Conflict of Interest (FCOI) exists; and if so, implement, on at least an interim basis, a Management Plan that specifies the actions that have been, or will be, taken to manage such FCOI going forward.
The NIH Retrospective Review Form - Financial Conflict of Interest [Word] form should be completed.
A copy of the Retrospective Review must be sent to the Research Office promptly at ro.audit@imperial.ac.uk so a FCOI report can be submitted to the NIH in line with the requirements of the NIH FCOI policy.
4. Reporting a Financial Conflict of Interest (FCOI)
Copies of the agreed Management Plan and Retrospective Review must be sent to the Research Office promptly at ro.audit@imperial.ac.uk to ensure the College can comply with the reporting requirements of the NIH FCOI policy (see Research Office section below).