The federal Public Health Service (PHS) has adopted regulations (42 CFR Part 50 Subpart F and 45 CFR Part 94) on Promoting Objectivity in Research. These regulations describe the actions an individual and an organization must take in order to promote objectivity in research. The regulations apply to all PHS funded grants, cooperative agreements, research contracts (but not Phase 1 Small Business Innovation Research or Small Business Technology Transfer program grants), and subawards where the originating sponsor is PHS. The regulations require that investigators submitting applications for funding on behalf of a subrecipient, where the prime sponsor is PHS (e.g., funding from the National Institutes of Health, the Food and Drug Administration, the Centers for Disease Control), prior to the submission of the subaward application to the PHS Grantee organization, disclose to Phenomix Sciences any significant financial interests related to their institutional responsibilities at Phenomix Sciences. Â Note that for purposes of this Policy PHS Grantee is the organization that receives a prime award directly from PHS and under that prime award the PHS Grantee issues a subaward to a subrecipient. This policy may also be used for those subawards under a non-PHS sponsor adopting the PHS Promoting Objectivity in Research regulations.
Definitions
Institutional responsibilities means an Investigatorâs professional activities on behalf of Phenomix Sciences (e.g., teaching, administration, research or clinical care). Specifically, these include:
Investigator means the project director or principal Investigator and any other person, regardless of title or position, who is responsible for the design, conduct, or reporting of research funded by a subaward, or proposed for such funding, which may include, for example, collaborators or consultants. [Insert Name of Your Organization]âs Principal Investigator/Project Director, upon consideration of the individualâs role and degree of independence in carrying out the work, will determine who is responsible for the design, conduct, or reporting of the research.
Significant Financial Interest means:
Disclosure
Prior to the submission of an application to the PHS Grantee for funding, the Principal Investigator and all other Investigators at PHENOMIX SCIENCES, INC must have disclosed to PHENOMIX SCIENCES, INCâs Conflict of Interest Committee (COIC)/designated official an up-to-date listing of their Significant Financial Interests [SFIs] (and those of their spouse and dependent children), as defined above. Any new Investigator, who, subsequent to the submission of an application to the PHS Grantee for funding from the PHS Grantee, or during the course of the research project, plans to participate in the project, must similarly disclose their SFI to the COIC/designated official promptly and prior to participation in the project. Each Investigator who is participating in research under a subaward where the prime award originates from PHS must submit an updated disclosure of SFI at least annually, during the period of the award. Such disclosure must include any information that was not disclosed initially to PHENOMIX SCIENCES, INC, pursuant to this Policy, or in a subsequent disclosure of SFI (e.g., any financial conflict of interest identified on a PHS funded project directly as a PHS Grantee and/or indirectly through a subaward) that was transferred from another Institution), and must include updated information regarding any previously disclosed SFI (e.g., the updated value of a previously disclosed equity interest).
Each Investigator who is participating in research under a subaward where the prime award originates from PHS must submit an updated disclosure of SFI (including reimbursed travel) within thirty (30) days of discovering or acquiring (e.g., through purchase, marriage, or inheritance) a new SFI.
Review by PHENOMIX SCIENCES, INCâs COIC/Designated Official
The COIC/designated official will conduct reviews of disclosures. The COIC/designated official will review any SFI that has been identified in a disclosure; these interests will be compared to each research subaward funded under a PHS prime award on which the Investigator is identified as responsible for the design, conduct, or reporting of the research to determine if the SFI is related to the award and, if so, whether the SFI creates a Financial Conflict of Interest (FCOI) related to that research subaward.
Guidelines for Determining âRelatednessâ and Financial Conflict of Interest
The COIC/designated official will determine whether an Investigatorâs SFI is related to the research under a subaward supported by a PHS prime award and, if so, whether the SFI is a financial conflict of interest. An Investigatorâs SFI is related to the research under the subaward when the COIC/designated official reasonably determines that the SFI: could be affected by the research conducted under the subaward; or is in an entity whose financial interest could be affected by the research. The COIC/designated official may involve the Investigator in the determination of whether a SFI is related to the research supported by the subaward. Â A financial conflict of interest exists when the COIC/designated official reasonably determines that the SFI could directly and significantly affect the design, conduct, or reporting of the PHS-funded research. In determining if an Investigatorâs SFI is related to the research under a subaward supported by a PHS prime award, and if so, whether the relationship creates a FCOI, the COIC/designated official considers the role of the Investigator and the opportunity (if any), to bias the results, the nature of the research being proposed, and the value of the SFI in relation to the size and value of the entity. In addition, the COIC/designated official may also consider the following factors (Your Organization may define others):
Management of Significant Financial Interests that Pose Financial Conflict(s) of Interest
If a conflict of interest exists, the COIC/designated official will determine by what means â such as the individualâs recusal from decisions affecting the conflicting entity, abstention from the external activity, modification of the activity, and/or monitoring of the activity by a subcommittee â the conflict should be avoided or managed in order to mitigate undue bias. In making those determinations, the COIC/designated official will be guided by the principles discussed in this Policy the COIC/designated official will also take into consideration whether the Investigatorâs ongoing role is necessary to continue advancing the research, based upon the factors such as the uniqueness of his or her expertise and qualifications.
Examples of conditions that might be imposed to manage a financial conflict of interest include, but are not limited to:
No expenditures on a subaward supported by a PHS prime award will be permitted until the Investigator has complied with the Disclosure requirements of this Policy and has agreed, in writing, to comply with any plans determined by the COIC/designated official necessary to manage the Conflict of Interest. The COIC/designated official will communicate, in writing, with the PHS Grantee to notify it of the existence and the nature of a Financial Conflict of Interest and whether the conflict has been managed, reduced, or eliminated. No expenditures can be incurred until the PHS Grantee has reported the FCOI to PHS. The PHS Grantee will notify PHENOMIX SCIENCES, INC. when it may incur expenditures. The COIC/designated official will keep a record of Investigator disclosures of financial interests and the COIC/designated officialâs review of, and response to, such disclosure and all actions under this policy. Such records will be maintained and kept for at least three years from the date the final expenditures report is submitted and in accordance with the terms and conditions of the subaward and relevant PHS Regulations.
Public Accessibility to Information Related to Financial Conflicts of Interest
Prior to the expenditure of any funds under a subaward funded by a PHS prime award, PHENOMIX SCIENCES, INC will ensure public accessibility, via a publicly accessible Web site or by written response to any requestor within five business days of a request, of information concerning any SFI disclosed that meets the following three criteria:
If PHENOMIX SCIENCES, INC uses a publicly accessible Web site to comply with the public disclosure requirements of the PHS regulations, the information posted will be updated at least annually, and within sixty days of receipt or identification of information concerning any additional Significant Financial Interest of the senior/key personnel for the PHS-funded research project that had not been previously disclosed, or upon the disclosure of a Significant Financial Interest of senior/key personnel new to the PHS-funded research project, if it is determined by the COIC/designated official that the Significant Financial Interest is related to the research and is a financial conflict of interest.
If PHENOMIX SCIENCES, INC responds to written requests for the purposes of public accessibility, it will ascertain from the Investigator that the information provided is current as of the date of the correspondence, and will note in its written response that the information is subject to updates, on at least an annual basis and within 60 days of the PHENOMIX SCIENCES, INCâs identification of a new financial conflict of interest, which should be requested subsequently by the requestor.
Information concerning the Significant Financial Interests of an individual, as limited by this Policy, will remain available, for responses to written requests or for posting via PHENOMIX SCIENCES, INCâs publicly accessible Web site for at least three years from the date that the information was most recently updated.
Reporting of Financial Conflicts of Interest
Prior to the expenditure of any funds under a subaward funded by a PHS prime award, PHENOMIX SCIENCES, INC will provide to the PHS Grantee a FCOI report compliant with PHS regulations regarding any Investigatorâs Significant Financial Interest found to be conflicting and will ensure that the Investigator has agreed to and implemented the corresponding management plan. PHENOMIX SCIENCES, INC cannot incur expenditures until it has received notification to do so from the PHS Grantee.
While the subaward is ongoing (including any extensions with or without funds), PHENOMIX SCIENCES, INC will provide to the PHS Grantee an annual FCOI report that addresses the status of the FCOI and any changes in the management plan. For any Significant Financial Interest that is identified as conflicting subsequent to an initial FCOI report during an ongoing PHS-funded research project (e.g., upon the participation of an Investigator who is new to the research project), PHENOMIX SCIENCES, INC will provide to the PHS Grantee, within forty-five days, an FCOI report regarding the financial conflict of interest and ensure that PHENOMIX SCIENCES, INC has implemented a management plan and the Investigator has agreed to the relevant management plan.
Training Requirements
Each Investigator must complete training on PHENOMIX SCIENCES, INC Conflict of Interest Policy Applicable to A Subaward Issued Under A Public Health Services Prime Award prior to engaging in research related to any PHS-funded subaward and at least every four years, and immediately (as defined below) when any of the following circumstances apply:
Failure to Comply with Phenomix Science Conflict of Interest Policy Applicable to Public Health Service Funded Subaward
When a FCOI is not identified or managed in a timely manner, including, for example, because the underlying Significant Financial Interest is not disclosed timely by an Investigator or, because a FCOI was not timely reviewed or reported by a second tier subrecipient or by Phenomix Sciences; or because an investigator failed to comply with a management plan; then Phenomix Sciences will within 90 days:
If bias is found, PHENOMIX SCIENCES, INC shall notify the PHS Grantee promptly and submit a mitigation report to the PHS Grantee that shall address the following:
Thereafter, PHENOMIX SCIENCES, INC shall submit FCOI reports annually to the PHS Grantee, in accordance with the regulation and terms and conditions of the subaward agreement. Depending on the nature of the Financial Conflict of Interest, PHENOMIX SCIENCES, INC may determine that additional interim measures are necessary with regard to the Investigatorâs participation in the research project between the date that the Financial Conflict of Interest is identified and the completion of PHENOMIX SCIENCES, INCâs independent retrospective review.
Clinical Research
If the PHS Grantee determines that one of its funded clinical research projects whose purpose is to evaluate the safety or effectiveness of a drug, medical device or treatment has been designed, conducted or reported by an Investigator with a Financial Conflict of Interest that was not managed or reported by PHENOMIX SCIENCES, INC of the results of the research and to request an addendum to previously published presentations.
Failure to Comply with This Policy
No expenditures of funds on a subaward supported by a PHS prime award will be permitted unless the Investigator has complied with the Disclosure requirements of this Policy and has agreed, in writing, to comply with any COIC/designated official-approved FCOI management plan. Â Any failure by an individual to adhere to this Policy may be cause for disciplinary action, including, in severe cases, termination, and termination of the subaward by the PHS Grantee.
Disclaimer: Each subrecipient is legally required to independently assess the adequacy of its COI policy for purposes of compliance with legal requirements, including compliance with the PHS financial conflict of interest regulations, and with other federal, state, local and institutional requirements. This model policy is provided as a tool to assist in drafting the subrecipientâs own policy. No representation is made that this model policy
Complies with any organizationâs particular legal requirements. Prior to finalizing or implementing this Policy, consult with appropriate legal counsel to determine its legal sufficiency.
Last updated January 7, 2026