Title: The Mysteries of the AAPOR Code
1The Mysteries of the AAPOR Code
- What is it and what happens if someone violates
it? - Mary E. Losch Stephen Blumberg
- AAPOR Standards Chair Associate Standards Chair
- Presentation to DC AAPOR
- March 2009
2AAPOR Code of Professional Ethics and
Practicehttp//www.aapor.org/aaporcodeofethics
Schedule of Proceduresfor Code
Violationshttp//www.aapor.org/scheduleofprocedu
resforcodeviolations
3I. Principles of Professional Practice in the
Conduct of Our Work
- A. We shall exercise due care in developing
research designs and survey instruments, and in
collecting, processing, and analyzing data,
taking all reasonable steps to assure the
reliability and validity of results. - 1. We shall recommend and employ only those
tools and methods of analysis that, in our
professional judgment, are well suited to the
research problem at hand. - 2. We shall not knowingly select research tools
and methods of analysis that yield misleading
conclusions. - 3. We shall not knowingly make interpretations
of research results that are inconsistent with
the data available, nor shall we tacitly permit
such interpretations. - 4. We shall not knowingly imply that
interpretations should be accorded greater
confidence than the data actually warrant.
4I. Principles of Professional Practice in the
Conduct of Our Work
- B. We shall describe our methods and findings
accurately and in appropriate detail in all
research reports, adhering to the standards for
minimal disclosure specified in Section III. - C. If any of our work becomes the subject of a
formal investigation of an alleged violation of
this Code, undertaken with the approval of the
AAPOR Executive Council, we shall provide
additional information on the survey in such
detail that a fellow survey practitioner would be
able to conduct a professional evaluation of the
survey.
5II. Principles of Professional Responsibility in
Our Dealings With People
- A. The Public
- 1. When preparing a report for public release we
shall ensure that the findings are a balanced and
accurate portrayal of the survey results. - 2. If we become aware of the appearance in
public of serious inaccuracies or distortions
regarding our research, we shall publicly
disclose what is required to correct these
inaccuracies or distortions, including, as
appropriate, a statement to the public media,
legislative body, regulatory agency, or other
appropriate group, to which the inaccuracies or
distortions were presented. - 3. We shall inform those for whom we conduct
publicly released surveys that AAPOR standards
require members to release minimal information
about such surveys, and we shall make all
reasonable efforts to encourage clients to
subscribe to our standards of minimal disclosure
for their releases.
6II. Principles of Professional Responsibility in
Our Dealings With People
- B. Clients or Sponsors
- 1. When undertaking work for a private client,
we shall hold confidential all proprietary
information obtained about the client and about
the conduct and findings of the research
undertaken for the client, except when the
dissemination of the information is expressly
authorized by the client, or when disclosure
becomes necessary under the terms of Section I-C
or II-A of this Code. - 2. We shall be mindful of the limitations of our
techniques and capabilities and shall accept only
those research assignments that we can reasonably
expect to accomplish within these limitations.
7II. Principles of Professional Responsibility in
Our Dealings With People
- C. The Profession
- 1. We recognize our responsibility to the
science of survey research to disseminate as
freely as possible the ideas and findings that
emerge from our research. - 2. We shall not cite our membership in the
Association as evidence of professional
competence, since the Association does not so
certify any persons or organizations. -
8II. Principles of Professional Responsibility in
Our Dealings With People
- D. The Respondent
- 1. We shall avoid practices or methods that may
harm, humiliate, or seriously mislead survey
respondents. - 2. We shall respect respondents' concerns about
their privacy. - 3. Aside from the decennial census and a few
other surveys, participation in surveys is
voluntary. We shall provide all persons selected
for inclusion with a description of the survey
sufficient to permit them to make an informed and
free decision about participation. -
9II. Principles of Professional Responsibility in
Our Dealings With People
- The Respondent
- 4. We shall not misrepresent our research or
conduct other activities (such as sales, fund
raising, or political campaigning) under the
guise of conducting research. - 5. Unless the respondent waives confidentiality
for specified uses, we shall hold as privileged
and confidential all information that might
identify a respondent with his or her responses.
We also shall not disclose or use the names of
respondents for non-research purposes unless the
respondents grant us permission to do so. - 6. We understand that the use of our survey
results in a legal proceeding does not relieve us
of our ethical obligation to keep confidential
all respondent identifiable information or lessen
the importance of respondent anonymity. -
10III. Standards for Minimal Disclosure
- Good professional practice imposes the obligation
upon all public opinion researchers to include,
in any report of research results, or to make
available when that report is released, certain
essential information about how the research was
conducted. At a minimum, the following items
should be disclosed. - 1. Who sponsored the survey, and who conducted
it. - 2. The exact wording of questions asked,
including the text of any preceding instruction
or explanation to the interviewer or respondents
that might reasonably be expected to affect the
response. - 3. A definition of the population under study,
and a description of the sampling frame used to
identify this population.
11III. Standards for Minimal Disclosure
- 4. A description of the sample design, giving a
clear indication of the method by which the
respondents were selected by the researcher, or
whether the respondents were entirely
self-selected. - 5. Sample sizes and, where appropriate,
eligibility criteria, screening procedures, and
response rates computed according to AAPOR
Standard Definitions. At a minimum, a summary of
disposition of sample cases should be provided so
that response rates could be computed. - 6. A discussion of the precision of the findings,
including estimates of sampling error, and a
description of any weighting or estimating
procedures used. - 7. Which results are based on parts of the
sample, rather than on the total sample, and the
size of such parts. - 8. Method, location, and dates of data collection.
12What happens if there is a violation?
13Schedule of ProceduresLast Revised -- January
2006
- 1. Any individual, whether an AAPOR member or
not, may submit a written complaint concerning a
possible violation of the AAPOR Code of
Professional Ethics and Practices to the
Standards Chair. - 1a. Complaints must be made in writing on an
AAPOR Standards Complaint Form and must
include - (i) a statement describing the alleged action or
violation, - (ii) the section of the Code alleged to be
violated, - (iii) the date or dates when the alleged
violation occurred, - (iv) the name(s) of the individual(s), firm(s) or
organization(s) alleged to be in violation, and - (v) the original signature of the complainant
along with his or her contact information,
including telephone number, postal address, and
e-mail address.
14Schedule of Procedures
- 1b. Any organization, firm, individual, or group
of individuals may be named in such a complaint,
whether or not it or they are members of AAPOR. - 1c. The written complaint shall be accompanied
by all available relevant evidence. - 1d. At the discretion of the Standards Chair,
any duly appointed member of the Standards
Committee may be given confidential access to a
received complaint, unless that Standards
Committee member, or his or her organization, is
the source or subject of that complaint. If the
Standards Chair and Associate Standards Chair are
thereby excluded, the Council shall appoint a
Chair pro tem for that particular complaint.
15Schedule of Procedures
- 1e. The complaint form and all related materials
prepared for Council, the Standards Committee,
and the Evaluation Committee (if one is appointed
as provided in section 4 below) will be kept
confidential, and all Council, Standards
Committee, and Evaluation Committee discussions
related to the specifics of the complaint will be
treated as privileged communication. - 1f. The procedures hereafter described will
apply to all such written complaints received by
the Standards Chair.
16Schedule of Procedures
- 2. Within forty-five (45) days of receipt of a
complaint, the Standards Chair shall decide, with
the concurrence of the Associate Standards Chair
or one other member of the Standards Committee,
whether or not any official action is warranted.
The Standards Chair may request assistance from
the source or subject of the initial complaint,
or use any other channels deemed helpful in
recommending a course of action to Council.
17Schedule of Procedures
- 2a. If no official action is to be recommended
by the Standards Chair, he or she shall prepare a
brief written report to Council, including the
original complaint form and setting out the
reason(s) why no action is indicated. - (1) If Council agrees with this opinion at
its next regularly scheduled meeting, or after
being polled by phone or e-mail, the source of
the complaint shall be promptly notified as to
the final disposition of the complaint. - (2) If Council does not agree with the
Standards Chairs decision, Council may call for
clarification or direct the initiation of a full
complaint review and investigation, as specified
in sections 2b, 2c, and 3 below.
18Schedule of Procedures
- 2b. The Standards Chair may be directed by
Council to seek additional information and
clarification about the alleged Code violation.
In pursuit of this objective, the Standards Chair
may request assistance from the source or subject
of the initial complaint, or use any other
channels deemed helpful in recommending a course
of action to Council. The Standards Chair shall
report on any additional information within
thirty days of such a directive from Council. -
- 2c. The Standards Chair may recommend and a
Council majority approve of (or independently
direct) the initiation of a full complaint review
and investigation. In determining this course of
action, Council will consider all relevant
information, including the severity of the
alleged violation(s) and facts gathered by the
Standards Chair, including (if elicited) the
stance initially taken by the subject(s) of the
complaint.
19Schedule of Procedures
- 3. If Council, by a majority of those voting,
votes for a complaint review and investigation,
the organization, firm or individual(s) who are
the subject of the complaint shall be notified by
the Standards Chair in writing within fourteen
(14) days of Council action. Such notification
will fully stipulate the nature of the complaint
and shall include relevant portions of the Code
and a copy of this Schedule of Procedures.
20Schedule of Procedures
- 4. The investigation will be conducted by an ad
hoc committee (hereafter termed Evaluation
Committee), appointed by the Standards Chair
subject to the approval of the Council. - 4a. The Evaluation Committee will consist of
no fewer than three nor more than five AAPOR
members, one of whom Council will name as Chair.
Neither the Standards Chair nor any other Council
members may serve on this committee. - 4b. The identity of the members of the
Evaluation Committee will be known only to
Council and to each other. - 4c. No member of AAPOR shall serve on an
Evaluation Committee in a matter where he or she
or his or her organization is the source or
subject of a particular complaint, or where his
or her service could otherwise represent a
potential conflict of interest in relation to the
source or subject.
21Schedule of Procedures
- 5. Within twenty-one (21) days of appointment,
the Chair of the Evaluation Committee will
receive all pertinent materials on the case that
are held by the Standards Committee, and the
Standards Chair will, in writing, request the
subject(s) of the complaint to provide any other
materials deemed necessary by the Evaluation
Committee, or materials and statements which the
subject(s) deem necessary or relevant to a fair
investigation.
22Schedule of Procedures
- 5a. Copies of all such materials received,
including the original complaint and the
notification to the subject(s), will be sent to
each member of the Evaluation Committee. - 5b. Any member of the Evaluation Committee may
request the Standards Chair to seek further
information or clarification of existing
information. - 5c. In conducting its affairs, the use of
electronic conferencing techniques (phone,
e-mail) by the Evaluation Committee, as needed,
will be funded by AAPOR. - 5d. The Committee may elicit and consider any
relevant evidence.
23Schedule of Procedures
- 6. If the subject(s) of the complaint fails to
respond to the notice provided under paragraph 3
or fails to forward all material requested under
paragraph 5 or 5b within forty-five (45) days of
the notice or request, the Evaluation Committee
will proceed, using the evidence at hand. If,
however, the subject(s) of the complaint formally
requests of the Standards Chair an extension of
time, the Standards Chair may grant an extension
in writing, upon determination that the extension
is reasonable and necessary to compile all
requested materials.
24Schedule of Procedures
- 7. Within thirty (30) days of receiving the
requested materials (or following the 45-day
waiting period), the Evaluation Committee will
complete a complaint review and investigation,
reach a determination about the complaint, and
will submit a written report to the Standards
Chair. The complaint review and investigation
will seek to determine the precise nature of the
conduct which is subject to criticism and whether
there is any factual basis to support the alleged
misconduct. The Evaluation Committee must
determine whether the information obtained may
reasonably be interpreted to constitute a
violation of AAPORs Code of Ethics and
Practices, which reflects generally accepted
professional practices. The committees report
will describe the steps taken in review of the
complaint, include the determination and a
specific recommendation for Council action, and
will conclude with one or more motions.
25Schedule of Procedures
- 7a. Council action to be recommended by the
Evaluation Committee may consist of, but is not
limited to, any of the following - (1) If AAPOR members or firms with AAPOR members
as principals are subjects of the complaint - a. Public or private exoneration
- b. Public or private censure
- c. Suspension or termination of membership
- d. Termination of investigation, with no
further action. - (2) If non-members or firms without AAPOR
members as principals are subjects of the
complaint - a. Public or private exoneration
- b. Public or private censure
- c. Termination of investigation, with no
further action.
26Schedule of Procedures
- 7b. Before recommending any censure or altering
of membership, the Committee should consider the
following criteria - (1) The degree of severity of the violation(s)
- (2) The subjects history regarding other
possible violations - (3) The impact of the violation(s) on the
public opinion and survey research profession - (4) The impact of any proposed sanction(s) on
the subjects ability to successfully participate
in public opinion and survey research in the
future. - 7c. Notwithstanding other actions taken, the
Council may direct that a case study be prepared
and publicized for the benefit of AAPOR members
and other constituencies, with due regard given
to the need to maintain confidentiality of the
subject(s), information sources, and methods of
investigation.
27Schedule of Procedures
- 8a. The Standards Chair will forward the
Evaluation Committees report to Council within
fourteen (14) days of receipt, together with such
views, in writing, as he or she may have. At its
next regularly scheduled meeting thereafter - (1) The Council (with at least two-thirds of its
members voting) shall immediately move to accept,
reject, or modify the report of the Evaluation
Committee or of the Standards Chair. -
28Schedule of Procedures
- 8a1 a. If the Councils decision exonerates the
subject of the complaint, the Standards Chair
will promptly notify the subject(s) and no
further Council action is required. - b. If the Councils decision does not exonerate
the subject, the Standards Chair will send notice
of the Councils decision to the subject by
registered mail within fourteen (14) days. The
Standards Chairs letter shall include written
notification advising the subject - (i) of the specific allegations and charges
- (ii) that, within thirty (30) days of receipt
he or she may request a hearing before the full
Council and - (iii) that he or she will be given the right
at said hearing to confront evidence and to
refute all charges.
29Schedule of Procedures
- 8a1c. The Council may also decide to request
modification to the report of the Evaluation
Committee. If such a request is made by Council,
the Evaluation Committee has thirty (30) days to
respond to such request. The revised report is
then resubmitted for consideration, following the
steps outlined in 8.1.
30Schedule of Procedures
- 8a2 Within thirty (30) days of receipt of
notice of Councils decision (section 8a1b),
the subject of the complaint may request, in
writing, a hearing before the full Council. Such
a hearing shall be held at a time and place
scheduled by the Council. The President shall
control the procedure at the hearing, including
presentation of testimony and submission of
written materials, but shall not be bound by
legal rules of evidence or procedures. Before the
close of the hearing, the Council should consider
the criteria in 7b above.
31Schedule of Procedures
- 8b. Immediately following the close of the
hearing - or, if no hearing is requested within
the 30-day waiting period, at a regularly or
specially convened meeting - the Council will
make its decision (with at least two-thirds of
its members voting), to accept, reject, or modify
the judgment and recommendation of the Evaluation
Committee or the Standards Chair. - 8c. This decision will constitute the final
action to be taken by the Council on behalf of
AAPOR, except as allowed in section 7c. The
subject of the complaint and the source of the
original complaint will be notified in writing of
the Councils decision within fourteen (14) days
by the President of AAPOR, who also will be
responsible for implementing the terms of the
decision.
32The recent public case
- An allegation of violation of code was received
in March 2008 - Following the procedures, a review by Standards
Council resulted in a formal investigation by an
evaluation committee - The committee reviewed the evidence, made formal
requests to the subject of the complaint for
elements of minimal disclosure
33The specific requests related to AAPORs finding
of violation of minimum disclosure were as
follows
- The survey sponsor(s) and sources of funding for
the survey. - A copy of the original questionnaire or survey
script used in the 2006 survey, in all languages
into which it was translated. - The consent statement or explanation of the
survey purpose. - A full description of the sample selection
process, including any written instructions or
materials from interviewer training about sample
selection procedures. - A summary of the disposition of all sample cases.
34The specific requests related to AAPORs finding
of violation of minimum disclosure were as
follows
- How were streets selected? How were the starting
street, and the starting household, selected?
Once the starting point was selected, how were
interviewers instructed to proceed (e.g., when
they came to an intersection)? How were houses
and respondents chosen at housing units? - The survey description says that, The interview
team were given the responsibility and authority
to change to an alternate location if they
perceived the level of insecurity or risk to be
unacceptable. In how many clusters did the team
change location, and what were the reasons for
the changes?
35The specific requests related to AAPORs finding
of violation of minimum disclosure were as
follows
- The survey description says that, Empty houses
or those that refused to participate were passed
over until 40 households had been interviewed in
all locations. Were such cases included in the
number of not-at-home and refusal cases counted
in each cluster?
36Dr. Burnhams response was as follows
- This study was carried out using standard
demographic and household survey methods. - The methods we employed for this study were set
out in the Lancet paper reporting our findings
(Lancet, 20063681421-28). The dataset from the
study was released some time ago.
37The Outcome
- In accordance with AAPORs procedures, the
evaluation committee completed its work and
recommended public censure which was accepted by
Council - The public censure was manifested in the press
release of February 4th, 2009 - Then all hell broke loose -)
38Reactions
- The media especially international were
interested in the action - Some bloggers began flogging You are not the
boss of him - ASA was notably supportive
- A number of AAPOR members were delighted
- A number of AAPOR members seemed convinced that
this Council was out of control and following no
known guidelines See second bullet above You
are not the survey police
39Updates
- Dr. Burnham has not publicly responded to the
AAPOR censure to our knowledge has stated only
that JHU instructed him not to respond - JHU recently announced that the IRB had
sanctioned Dr. Burnham for the same study they
have suspended Dr. Burnham's privileges to serve
as a principal investigator on projects involving
human subjects research for 5 years - The specific details of the minimal disclosure
request from AAPOR to Dr. Burnham (provided
earlier in the slides) is now posted on the AAPOR
website
40Questions?