Access to Foreign Subrecipient Data Funded by NIH Grants

With effect from 02 January 2024, the National Institutes of Health (NIH) Policy on written agreements for foreign subawards is that all must contain a provision requiring foreign subrecipients to provide access to copies of all lab notebooks, all data, and all documentation that supports the research outcomes as described in the progress report, to the primary recipient (Prime) with a frequency of no less than once per year, in alignment with the timing requirements for Research Performance Progress Report submission. Such access may be entirely electronic.    

The updated clause is codified in Section 15.2 of the NIH Grant Policy Statement.

To support implementation, the NIH have also developed a new subaward information page and FAQ.

The College’s position on this requirement is that, where we are the Prime (direct recipient of funding from NIH), PI’s and/or Departments will need to establish a mechanism to request and store any non-US/foreign subaward recipient data as defined in the policy. This storage can be physical/hardcopy or electronic as deemed appropriate.

Where the College is a subrecipient (recipient of funding from a Prime/Lead Institution rather than direct from NIH), the Prime will provide instruction on how they wish to receive the required data. NIH expectation is for us to follow all applicable state and local laws when sharing information. If there is a concern about whether local laws, rules or regulations may affect ability to be compliant with NIH terms and conditions of the award, Departments/PI’s should contact their local Data Protection Co-ordinator in the first instance for advice.

NIH have acknowledged limitations of data access for protection of personally identifiable information and the College advises that sharing of lab notebooks, data and documentation, should be restricted to that pertaining to research outcomes only. Anything that breaches GDPR, participant personal privacy or can be separated from an ‘outcome’, should be redacted/withheld. Best practice is for PI’s to keep separate notebooks for NIH projects using non-identifiable data.

See NIH Grants Policy Statement (GPS) Section 4.1.4 and Section 15.2.1 for more information regarding requirements for protection of identifiable, sensitive information collected by the prime recipient or subrecipients.

The Research Office currently conducts annual monitoring on NIH subawardees and going forward, will include a check that subawardees have provided access to data as required.  Questions on the requirements of the NIH subreceipient data access policy should be directed to the Research Office.

Further Information on Roles and Responsibilities in relation to this policy are detailed below.

Roles and Responsibilities