Title: A Federal Perspective on Compliance
1A Federal Perspective on Compliance
- Division of Grants Compliance and Oversight
- Office of Policy for Extramural Research
Administration, OERNational Institutes of
Health, DHHS
2Division of Grants Compliance and Oversight
Director OPERA
Director, Division of Grants Compliance and
Oversight
Assistant Grants Compliance Officers
- This Division was established on August 28,
2001 and has the responsibility for managing both
internal and external compliance activities.
3NIH Objective
- To ensure continued progress on current and
future NIH-supported research activities while
minimizing risks to Federal funds
4Research is a Partnership
- Collaborative relationship between NIH and
grantee - Mutual need to assure compliance and implement
proactive compliance measures
5Who is Responsible?
- At NIH
- Grants Management Officer/Specialist
- Program Official
- Scientific Review Administrator
- At the institution
- Authorized Organizational Official
- Principal Investigator
6Compliance is an Institutional Commitment!
7Compliance Begins at Home
- You must be in compliance with institutional as
well as Federal requirements - When you have a policy or procedural question,
start at your institution - institutional
requirements may be more restrictive - Read the Notice of Award
8A Few Ground Rules
- Grant awards are made to institutions
- Recipients of NIH grant funds must comply with
all applicable Federal statutes, regulations, and
policies - By drawing funds from the HHS Payment Management
System, grantees agree to the terms and
conditions of the grant award
9Common Contributors to Compliance Problems
- Inadequate resources
- Lack of understanding of roles and
responsibilities of institutional staff - Inadequate staff training and education
- Outdated or nonexistent policies and procedures
- Inadequate management systems (e.g., effort
reporting, financial management) - Perception that internal control systems are not
necessary
10Roles and Responsibilities
- Roles and responsibilities
- should be clearly defined, communicated, and
accessible
11Establish Roles and
Responsibilities
- Provide a detailed listing of responsibilities,
including oversight responsibilities, by role - Communication is essential. Foster working
groups or discussion groups for staff involved
with grant and contract administration at the
sponsored research and departmental levels - Ensure there is a connection between these
groups, so key information, policy changes, and
new developments are consistently communicated
12Establish Roles and
Responsibilities
- Provide links to related resource information,
such as institutional requirements, policies and
procedures, cognizant offices, subject matter
experts, contact information, and training and
education opportunities - Establish a compliance officer position and/or
office or committee
13Training and Education Programs
- A culture of compliance begins with a culture
of understanding
14Develop Effective Training and Education Programs
- Training and continuing education is critical!
- Develop formalized education programs and
consider mandatory training requirements - Offer certificate programs
- Involve respected faculty members to promote
faculty buy-in
15Develop Effective Training and Education Programs
- Utilize individual training plans
- Roles and responsibilities
- Internal audit findings are future training
opportunities - Designate a central source of information
- Education Coordinator/Office that oversees all
training programs and evaluates them for content
and effectiveness
16Develop Effective Training and Education Programs
- Develop an education program to accommodate new
and existing staff - Orientation for new employees
- Continuing education programs for staff involved
with sponsored research - Include all personnel with a role in sponsored
research, including PIs, departmental
administrators, and sponsored programs staff
17More on Trainingand Education Training Tips
- Keep sessions short and provide incentives (e.g.,
food!) - Provide training locations both on and off campus
(accommodate your busy research staff by bringing
the training to the labs) - Supplement training with web-based information
and resources, such as online training modules
18More on Trainingand Education Training Tips
- Training must be kept current and should be
consistently provided, otherwise staff may not
view it as significant - Use case studies they are an effective way to
stimulate rich discussion - Include a mechanism for feedback to improve
course content
19Policies and Procedures
- Accessibility of written institutional policies
and procedures is vital
20Maintain Current Written Policies and Procedures
- Accessibility of written institutional policies
and procedures is vital - Maintain centrally
- Use plain language
- Update/review regularly to ensure reliability
- Include roles and responsibilities
- Make widely available online
- Provide contact for questions and updates
21Maintain Current Written Policies and Procedures
- Assign oversight responsibilities
- Responsibility authority
- Develop policies with input from involved staff
- Utilize internal audit findings when developing
policies and procedures - Develop procedures that will set a consistent
standard
22Management Systems
- Grantee organizations are expected to have
systems, policies, and procedures in place by
which they manage funds and activities
23Effective Management Systems
- Effective management systems include
- Clear delineation of roles and responsibilities
- Written policies and procedures
- Training
- Internal controls
- Effective oversight
- Information sharing
- Systems must provide reliable and current
information - Management systems should be driven by policy vs.
process
24Examples of How toImprove Oversight(Financial
Management)
- Sponsored programs (pre/post) should be more
actively involved in financial oversight - Perform spot checks of areas in which there are
repeated findings or repeated questions - Perform a random review of selected categories of
transactions on every grant at closeout - Utilize internal audit findings to improve
systems - Review cost transfer policies to ensure
requirements for making appropriate cost
transfers are clear and correct. This area is
often misunderstood by institutional officials,
PIs, and departmental administrators
25Examples of How toImprove Oversight(Financial
Management)
- Provide the PI with a summary of the terms and
conditions of each grant award - Require PIs to certify that they have reviewed
monthly expenditure reports and agree with
charges to their projects - Send notification to PI ninety days prior to end
of a project period informing him/her that the
project is about to end, work must be completed,
and all transactions processed in order for final
reports to be prepared and submitted to the
sponsor in a timely manner -
- Provide FSRs to PIs, either before or after
submission, to have them verify the accuracy of
the information submitted to sponsors
26Strengthen InternalControl Systems
- Management tools to help achieve results and
safeguard integrity - Provide reasonable assurance
- Promote efficiency and effectiveness
- Encourage compliance
- Ensure that internal controls are functioning as
intended to achieve objectives - Utilize Internal Audit independent evaluation
- Perform risk assessments focus on high risk
events
27Examples of Internal Control Activities
- Written policies/procedures
- Segregation of duties
- Approval and authorization
- Verification
- Physical restrictions
- Documentation
- Monitoring and reporting
28What We Have Learned
- An effective culture of compliance must be
established from the TOP and be an institutional
expectation - Establish a mechanism for concerns to be heard
- Personnel need to understand their
responsibilities
29What We Have Learned
- Training and education are critical
- Good communication throughout the institution is
essential - Adequate systems must be in place to support an
effective compliance program - Dont wait for a catastrophe to start thinking
about compliance take a proactive stand
30NIH Proactive Compliance Site Visit Initiative
- Proactive Compliance Site Visits
- Division of Grants Compliance and Oversight,
OPERA, OER, NIH - Not an audit or investigation
- No report
- Mutual information exchange emphasis on
partnership
31NIH Proactive Compliance Site Visit Program has
- Supported the NIH goal of moving from reactive to
proactive interactions with our recipient
community and demonstrated that - Compliance is an ongoing and dynamic process that
is more likely to be present and effective if it
is established as an institutional expectation - Proactive visits confirm and expand the
foundation of partnership between NIH the
recipient - Proactive visits encourage and support recipient
efforts to effectively administer and improve
sponsored program activities
32Proactive Compliance Site Visit Summary
FY2000-FY2002
- 26 institutions
- Top 150 NIH-supported institutions
- 20 universities/medical schools
- 4 nonprofits (3 AIRI institutions)
- 2 hospitals
- Geographic diversity
- Expanded education-outreach seminar
- Proactive Compliance Site Visits A Compendium
- http//grants.nih.gov/grants/compliance/compl
iance.htm
33Dear Grants ComplianceGrantsCompliance_at_nih.gov
- Q - What does it mean to be designated a High
Risk - grantee by the NIH and what actions are
taken against - the grantee?
- A The NIH Grants Policy Statement has a section
on - Enforcement Actions
- http//grants.nih.gov/grants/policy/nihgps_2001
/part_iia_7.htm - There is not a predetermined set of special
terms and - conditions imposed if a grantee is
designated as high - risk. Actions to increase NIH oversight
such as removal - of Expanded Authorities and exclusion from
the - Streamlined Noncompeting Award Process
have been - used in the past, but each case is
reviewed and actions - taken based upon the specific
circumstances involved.
34Dear Grants Compliance
Q How do I report scientific misconduct
related to NIH grants? A You should
notify the Office of Research Integrity
(ORI), Department of Health and Human Services,
of scientific misconduct involving (1)
research supported by Public Health
Service (PHS) funds or (2) an application
for PHS funds. The National Institutes of
Health (NIH) as well as several other
agencies are a part of the PHS. The following
ORI website provides further information
about reporting scientific misconduct
(www.ori.hhs.gov).
35Dear Grants Compliance
- Q - I suspect grant funds are being
inappropriately spent - and would like to speak to someone to
report misuse - of NIH grant funds. Who should I contact?
- A - You have several options for reporting
financial - mismanagement. If you would like to gain
further - insight into the situation or discuss
institutional - policies, you may want to begin by
contacting the - grantee institution (Sponsored Research
Office) or the - NIH grants management office that funded the
grant - http//grants.nih.gov/grants/stafflist_gmos.htm
36Dear Grants Compliance (contd)
- If you would like to make a formal allegation of
misuse - of grant funds, you should contact either of the
- following two organizations with your complaint.
You - may submit an anonymous complaint if you so
choose. - NIH Office of Management Assessment
- Division of Program Integrity
- http//oma.od.nih.gov/pi/
- Phone (301) 496-5586
- Fax (301) 402-0548
- DHHS Office of Inspector General
- http//oig.hhs.gov/oei/hotline/hhshot.html
- Phone 1-800-HHS-TIPS (1-800-447-8477) (this is a
- Hotline number which offers a confidential means
of - reporting allegations)
37Dear Grants Compliance
- Q Can I submit an application to different
institutes - within the NIH, or to AHRQ, at the same
time? - A - Submission of more than one application
within the - same review cycle is permissible for some,
but not all, - award mechanisms For a NRSA Fellowship (F
series), only - one application may be submitted in the same
review cycle. - For an investigator-initiated grant (R01),
small grant (R03), - career development award (K-Series,
excepting K08), small - business innovation research grant (SBIR),
small business - technology transfer grant (STTR), or a
conference grant (R13), - more than one application in the same review
cycle may be - submitted, if each application describes a
different research - topic
38Dear Grants Compliance (contd)
- Submissions of identical applications to
different - agencies within the PHS or to different
Institutes - within an agency are not allowed. Essentially
- identical applications will not be reviewed
except for - an application for an independent Scientist Award
(K02) proposing essentially identical research
in an application for an individual research
project and - an individual research project identical to a
subproject that is part of a program project
(P01) or other - P-series grants, such as P30 or P50.
39Useful Websites
- NIH Guide for Grants and Contracts
- http//grants.nih.gov/grants/
- Grants Policy and Guidance
- http//grants.nih.gov/grants/policy/policy.htm
- Proactive Compliance Site Visits FY2000-FY2002
- A Compendium of Findings Observations
- http//grants.nih.gov/grants/compliance/
- compendium_2002.htm
- NIH Conflict of Interest Information
- http//grants.nih.gov/grants/policy/coi/index.htm
40Useful Websites
- Office of Management Assessment
- http//oma.od.nih.gov
- Office of the Inspector General
- http//oig.hhs.gov
- Office of Research Integrity
- http//ori.dhhs.gov
- Office for Human Research Protections
- http//ohrp.osophs.dhhs.gov/index.htm
- Office of Laboratory Animal Welfare
- http//grants.nih.gov/grants/olaw/olaw.htm
41Questions?
- GrantsCompliance_at_nih.gov