The Association of American Universities (AAU), Association of Public & Land-Grant Universities (APLU), and COGR submitted comments to the Department of Energy (DOE)...
Conflict of Interest/Commitment
Identification, review, and management of researcher and/or institutional financial conflicts of interest (FCOIs) that have the potential to bias the design, conduct, or reporting of research and considerations surrounding researchers’ conflicts of commitments that arise when a researcher’s external activities may interfere with their ability to fulfill their primary obligations to their employing institution.
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COGR Publishes “Analyzing Personal Financial and Institutional Conflicts of Interest in Academic Research Contexts”
COGR has published a new report on Analyzing Personal Financial and Institutional Conflicts of Interest in Academic Research Contexts.
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All Conflict of Interest/Commitment Articles
COGR Matrix of Laws, Regulations, and Policies Regarding Science & Security
COGR has developed a comprehensive chart that summarizes and compares federal laws, regulations, and policies in the area of science and security.
COGR Comparison of the Department of Energy Interim Financial Conflict of Interest Policy and Public Health Service Regulations for Promoting Objectivity in Research
COGR has developed a comprehensive chart that summarizes and compares federal laws, regulations, and policies in the area of science and security. The chart is divided into three separate tabs that cover (a) major federal-wide legislation or policy (e.g., National Presidential Security Memorandum 33, CHIPS and Science Act of 2022); (b) agency disclosure requirements for researchers and re
FDP Subaward Language - Compliance Policies
The document outlines the core compliance requirements and administrative expectations for FDP (Federal Demonstration Partnership) subawards involving both domestic and foreign subrecipients. It addresses several key areas relevant to federally funded research collaborations. Regarding conflict of interest (COI), subrecipients must specify whether the prime or their own COI policy applies, confirm