Conflict of Interest (COI)
As relationships between academia and private industry continue to grow, it is essential that financial and other relationships with external and internal entities do not create situations that may seem to be in conflict with the values of free and unbiased scientific inquiry.
STATEMENT: Florida law requires that all state university employees "engaged in the design, conduct, or reporting of research" must disclose any and all outside activities and conflicts of interests. Pursuant to 1012.977 (FS), any such state university employee who fails to disclose such activities "shall be suspended without pay pending the outcome of an investigation which shall not exceed 60 days. Upon conclusion of the investigation, the university or entity may terminate the contract of the employee."
All University of West Florida personnel and resources must be used for the promotion of the mission of the University and the public interest. AC-11.02 - 05/13 Conflicts of Interest Policy establishes safeguards to prevent employees and other University-related individuals from using their positions or relationships with the University for purposes that are or appear to be in conflict with professional conduct; University responsibilities, duties, and activities; or the University's interests.
|Form- UWF Conflict of Interest||All employees engaging in outside activities requiring disclosure must complete this Outside Activity and Conflict of Interest form.|
|Form- UWF Outside Activity||All employees requesting use of University resources in conjunction with Outside Activity must complete this form.|
This form should be completed by any Investigator, as defined herein, working on or applying for a federally funded grant or project funded by an entity that has adopted the PHS policy on financial disclosure as described below.
The Public Health Service (PHS) requires grantees to manage any actual or potential conflict of interest that may be presented by compensated outside activities and other financial interests of Investigators (as defined below) involved in sponsored research projects funded by PHS. In addition, several non-federal sponsors that have adopted this policy as their own, for example, American Heart Association. The primary purpose of the federal regulations is to prevent bias in the design, conduct, or reporting of research projects. Investigators working on projects funded by these various granting agencies must abide by these requirements.
“Investigator” is defined as the Principal Investigator, Co-Principal Investigator, or any other person responsible for the design, conduct, or reporting of the research or educational activities. “Investigator” for the purposes of determining a “Significant Financial Interest” includes the Investigator’s spouse and dependent children.
“Significant Financial Interest” is one or more of the following financial interests of the Investigator that reasonably appears to be related to the Investigator’s institutional responsibilities. A Significant Financial Interest does not include salary, royalties, or other remuneration paid by the Institution to an Investigator; income from seminars, lectures, or teaching engagements sponsored by a federal, state, or local government agency, or an institution of higher education; or income from service on advisory committees or review panels for a federal, state, or local government agency, or an institution of higher education.
Significant Financial Conflict of Interest Disclosure
|Disclosure of Significant Financial Conflict of Interest Form||Completed by any Investigator or Co-Investigator working on or applying for a federally funded grant|