Conflicts of Interest, Conflicts of Commitment, and External Professional Activities
                           for Pay
                        
                        Formerly Executive Memorandum 95-112
Initially Approved: October 19, 1995
Revised: December 12, 2005
Revised: July 10, 2006
Revised: July 16, 2012
Posted: August 17, 2012
Revised: December 19, 2016
Revised: November 23, 2021
Revised: February 27, 2024 
Technical Changes: April 8, 2025
                        
                        Policy Topic:  Legal & Risk Management, Research and Sponsored Activities, Personnel
Administering Office:  Office of Legal Counsel  
                        
                        I.  POLICY STATEMENT
                        
                        Faculty and staff are expected to avoid Conflicts of Interest and Conflicts of Commitment
                           that have the potential to significantly affect the University鈥檚 interests or compromise
                           an individual鈥檚 objectivity in carrying out their University Employment Responsibilities
                           including the appearance of conflicts, unless such conflicts are disclosed, reviewed,
                           and appropriately managed in accordance with the provisions of this policy and the
                           related procedures.  As outlined herein, all Covered Employees are expected to disclose
                           actual or potential Conflicts of Interest and Conflicts of Commitment.
                        
                        The purpose of this Policy is to help Covered Employees recognize the types of personal
                           interests, outside activities, and relationships that may create Conflicts of Interest
                           and Conflicts of Commitment in the performance of their University Responsibilities,
                           and to describe the process for disclosure and review of interests, activities, and
                           relationships.
                        
                        II. SCOPE AND APPLICATION OF POLICY
                        
                        This Policy applies to Covered Employees as defined by this Policy. 
                        
                        III. DEFINITIONS 
                        
                        鈥Conflict of Commitment鈥 exists when an employee engages in activities external to the University, or assumes
                           commitments external to the University, that may compromise, may appear to compromise,
                           or have the potential to compromise, their ability to fulfill their University Employment
                           Responsibilities. 
                        
                        鈥Conflict of Interest鈥 exists when a Covered Employee鈥檚 financial or other personal interests or relationships
                           may compromise, may appear to compromise, or have the potential to compromise, a Covered
                           Employee鈥檚 objectivity in fulfilling their University Employment Responsibilities.
                        
                        鈥Conflict of Interest (COI) Officer鈥 means the person charged with responsibility for: (i) reviewing all Conflict Evaluation
                           Forms; (ii) making the initial determination as to the existence of an actual Conflict
                           of Interest; (iii) working with the relevant supervisor to determine an appropriate
                           management plan for each such a Conflict of Interest; (iv) maintaining records of
                           all such Conflicts of Interest and Management Plans; and (v) responding to requests
                           for information from funding agencies and/or from the public regarding Conflicts of
                           Interest. The COI Officer is 糖心Vlog鈥檚 Chief Compliance Officer or their designee. 
                        
                        鈥Conflict of Interest and Commitment Review Panel (COI Panel)鈥 is the panel tasked with reviewing certain disclosures and making a decision in
                           the event of disagreement between the COI Officer and the Covered Employee鈥檚 supervisor.
                           The duties and membership of the COI Panel are established in Section VIII of this
                           Policy. 
                        
                        鈥Covered Employee鈥 includes the following: 
                        
                        
                           
                           - All faculty;
- All Senior Academic and Administrative Officers (SAAO) and Exempt Professional Staff
                              (EPS), as those terms are defined by UNC Policy Manual 300.2.2;
- Any University employee or student, regardless of employment type or status, involved
                              in federally funded research including the design, conduct, or reporting of such research;
                              and
- Any SHRA employee at the request of the applicable Executive Council member for the
                              department or division. 
鈥Department鈥 means an academic department, a professional school without formally established
                           departments, or any other administrative unit designated by the Chancellor or Provost,
                           or by the UNC System Office, for the purposes of implementing this policy. 鈥淪upervisor鈥
                           refers to the person with supervisory responsibility for the Covered Employee, whether
                           in an academic or non-academic department.
                        
                        鈥External Professional Activities鈥 is defined as any activity that (i) is not included within one's University Employment
                           Responsibilities; (ii) is performed for any entity, public or private, other than
                           the University; (iii) is based upon the professional knowledge, experience, and abilities
                           for which the University employer employs the Covered Employee; and (iv) is undertaken
                           for compensation.  
                        
                        鈥Financial Interest鈥 is defined as:  
                        
                        
                           
                           - Income, such as dividends, royalties, payment for services, consulting fees, honoraria,
                              and paid authorships, received by the Covered Employee or a member of their immediate
                              family, from an entity other than the University employer; 
- equity or other ownership interest in publicly or non-publicly traded entities (e.g.,
                              stock, stock options, warrants, or other ownership interest held by the Covered Employee
                              or a member of their immediate family; or  
- intellectual property rights and interests upon receipt of income related to such
                              rights and interest, held by the Covered Employee or a member of their immediate family.
                              This includes intellectual property rights assigned to the University and subject
                              to a share in royalties related to such rights.  
Income from investment vehicles, such as mutual funds or retirement accounts, in which
                           the Covered Employee or a member of their immediate family do not directly control
                           or advise the investment decisions are excluded from the definition of Financial Interest.
                           De minimis Financial Interests, defined as Financial Interests valued at $1500 or
                           less, are not considered Financial Interests under this Policy.  
                        
                        鈥Immediate Family鈥 includes Covered Employee鈥檚 spouse and dependent children.
                        
                        鈥Investigator鈥 means the research project director or principal investigator and any other person,
                           collaborator or consultant, regardless of title or position, who is responsible for
                           the design, conduct or reporting of research, or who proposes research funded by the
                           Public Health Service (e.g., National Institutes of Health) or the National Science
                           Foundation.
                        
                        鈥SHRA Employee鈥 means an employee who is subject to the State Human Resources Act.
                        
                        "University Employment Responsibilities鈥 consist of primary duties and secondary duties. Primary duties consist of assigned
                           teaching, scholarship, research, institutional service requirements, administrative
                           duties, and any other assigned employment duties. Secondary duties may include professional
                           affiliations and activities traditionally undertaken by Covered Employees outside
                           of the immediate University employment context. Secondary duties may or may not entail
                           the receipt of honoraria, remuneration (see additional regulations, UNC Policy Manual,
                           300.2.2.2[R]), or the reimbursement of expenses; include membership in and service
                           to professional associations and learned societies; membership on professional review
                           or advisory panels; presentation of lectures, papers, concerts or exhibits; participation
                           in seminars and conferences; reviewing or editing scholarly publications and books
                           without receipt of compensation; and service to accreditation bodies. These activities,
                           which demonstrate active participation in a profession, are encouraged, provided they
                           do not conflict or interfere with the timely and effective performance of the individual's
                           primary duties or other University policies. All Covered Employees are expected to
                           devote their primary professional loyalty, time, and energy to their University Employment
                           Responsibilities.
                        
                        鈥Use of University Resources鈥 means using any University or constituent institution services, facilities, equipment,
                           supplies, or personnel which members of the general public may not freely use.
                        
                        IV. CONFLICTS OF INTEREST 
                        
                        
                           
                           - The University and its Covered Employees shall comply with all applicable state and
                              Federal laws and regulations. A Covered Employee鈥檚 professional activities and financial
                              or personal interests shall be arranged to avoid circumstances that do or may prevent
                              or limit objectivity in the performance of University Employment Responsibilities
                              or that otherwise do or may adversely affect any University interests. 
- The bias that such conflicts can cause may adversely affect many University responsibilities,
                              including, but not limited to, decisions about University personnel, the purchase
                              of equipment and supplies, the selection of contractors and vendors, the selection
                              of instructional material for classroom use, the mentoring of students and assessment
                              of their work, and the design, conduct, or reporting of research.
- While a Conflict of Interest may result from a relationship, participation in an activity,
                              or other nonfinancial interests, the majority of Conflicts of Interest result from
                              a financial interest of a faculty or staff member who is in a position to make a supervisory,
                              academic, or administrative decision which may be compromised because of the potential
                              for personal financial gain.
- Covered Employees with administrative responsibilities must take particular care to
                              avoid other relationships that have the potential to advantage the individual but
                              affect adversely the University's interests. Among the relationships that may adversely
                              affect the University's interests are those that might adversely affect the professional
                              academic advancement of colleagues, or those that might otherwise inject inappropriate
                              considerations into administrative decisions.
V. CONFLICTS OF COMMITMENT 
                        
                        
                           
                           - Conflict of Commitment relates to an individual鈥檚 distribution of time and effort
                              between obligations to University employment and participation in external professional
                              activities. which may include professional affiliations and activities traditionally
                              undertaken by Covered Employees outside of the immediate University employment context.
                              These duties may include but are not limited to:
                              
                              
                                 
                                 - membership in and service to professional associations and learned societies;
- membership on professional review or advisory panels;
- presentation of lectures, papers, concerts or exhibits;
- participation in seminars and conferences;
- reviewing or editing scholarly publications and books without receipt of compensation;
                                    and
- service to accreditation bodies.
 
 Such activities often promote professional development and enrich one鈥檚 contributions
                                    to the institution, their profession or discipline, and to the community, and are
                                    generally encouraged. However, a Conflict of Commitment occurs when the pursuit of
                                    outside activities involves an excessive investment of time or is conducted at a time
                                    that interferes with the Covered Employee鈥檚 fulfillment of University Employment Responsibilities.
 
 
 
- Although faculty and certain non-faculty employment is not amenable to precise, time-clock
                              analysis and monitoring, administrators at the department and school levels regularly
                              evaluate the work of Covered Employees within their units. The formal occasions for
                              determining whether an individual is devoting sufficient time and energy to University
                              Employment Responsibilities include annual performance reviews and scheduled reviews
                              incident to promotion, reappointment, or tenure decisions. In addition, complaints
                              from students, colleagues, or administrators about possible failures to meet assigned
                              responsibilities may arise and require investigation. The issue, in each case, is
                              whether the Covered Employee is satisfying their University Employment Responsibilities.
                              If presented with evidence that he or she is not, the Covered Employee may be subject
                              to disciplinary action, including the possibility of discharge, for neglect of duty
                              or unsatisfactory performance, as applicable.
VI. DISCLOSURE OF POTENTIAL CONFLICTS OF INTEREST AND CONFLICTS OF COMMITMENT
                        
                        
                           
                           - Disclosures Required 
 
 
                                 
                                 - Annual Conflict of Interest Disclosure 
 
 All Covered Employees are required to complete and submit the Annual Evaluation of
                                    Potential Conflict of Interest or Commitment form in accordance with the procedures
                                    supplemental to this Policy.  In addition to the annual disclosure requirement, faculty
                                    and staff must disclose new financial interests, relationships, or activities as they
                                    arise throughout the year. The disclosure requirements also apply to all individuals
                                    on leave from the University if that leave is funded at least partially from University
                                    sources. Additional details on the completion and submission of annual disclosures
                                    are found in the procedures supplemental to this Policy.
 
 
- Project-Specific Conflict of Interest Disclosure for Externally Funded Projects 
 
 All Covered Employees are required to complete a project-specific Conflict of Interest
                                    form with each grant proposal submitted through InfoEd.  This requirement is in addition
                                    to the annual disclosure requirement described in Section A.1. Additional details
                                    on the completion and submission of project-specific disclosures are found in the
                                    procedures supplemental to this Policy.
 
 
 
- Annual Disclosure Review, Management, and Monitoring 
 
 
                                 
                                 - The COI Officer shall review all annual forms and determine whether or not the information
                                    disclosed in each represents a potential Conflict of Interest or Conflict of Commitment. 
- Upon making the determination that there is a potential Conflict of Interest, the
                                    COI Officer will forward the disclosure form with a preliminary analysis and recommendation
                                    for resolving or managing the potential conflict to the Covered Employee鈥檚 first-level
                                    supervisor ("Reviewing Officer"). 
- The Reviewing Officer shall issue a decision regarding the disclosure within fourteen
                                    (14) calendar days of receipt of the annual disclosure, provided that the deadline
                                    may be extended by the COI Officer for good cause. 
- Where the Reviewing Officer agrees with the COI Officer鈥檚 analysis and recommendation,
                                    the Reviewing Officer shall approve the analysis and recommended action, and the Covered
                                    Employee shall receive a notification of the form鈥檚 approval and any recommended action. 
- Where the Reviewing Officer disagrees with the COI Officer鈥檚 analysis and recommendation,
                                    the Reviewing Officer shall explain the basis for that decision and the annual disclosure
                                    is referred to the COI Panel for review. The COI Panel may accept or reject the Reviewing
                                    Officer鈥檚 decision and order further measures to resolve or manage the COI. 
- Conflict Management 
 If necessary to avoid or manage a potential or existing Conflict of Interest or Commitment,
                                    the COI Manager shall facilitate development of a Conflict of Interest or Commitment
                                    Management Plan with the Covered Employee, the Covered Employee鈥檚 supervisor, and
                                    others as appropriate. The COI Panel shall review and approve all Conflict Management
                                    Plans, and the Covered Employee鈥檚 second-level supervisor shall receive notice of
                                    the approved Conflict Management Plan. Once finalized, the employee must comply with
                                    the Conflict Management Plan for the duration of the subject activity.
- Monitoring 
 Monitoring of activities related to Conflicts of Interest and Conflicts of Commitment
                                    is the responsibility of the Covered Employee鈥檚 supervisor, in consultation with the
                                    COI Officer. Changes in circumstances must be disclosed in an update to the Annual
                                    Disclosure form within thirty (30) calendar days of the acquisition a new financial
                                    or personal interest. The COI Manager and Covered Employee鈥檚 first-level supervisor
                                    are responsible for reviewing, issuing a decision on, and making any necessary adjustments
                                    to the Management Plan in accordance with this Section.
- Appeals
 If disagreement exists between the Covered Employee and administration regarding the
                                    permissibility of identified activities or management mechanisms required in the Conflict
                                    of Interest Management Plan, the Covered Employee may appeal the decision to the responsible
                                    Executive Council member as described in the procedures supplemental to this Policy.
 
 
 
- Categories of Potential Conflicts of Interest and Commitment 
 
 The following categories may pose a Conflict of Interest or Conflict of Commitment
                              and must be avoided or disclosed and managed.
 
 
                                 
                                 - Activities That Are Generally Allowable but Must Be Disclosed
 
 The following activities are generally allowed because they do not compromise the
                                    objectivity of research results, the integrity of faculty-student interaction, decision-making,
                                    or other interests of the University, a sponsor, or the public. These relationships
                                    are generally minimal in their personal financial impact, and otherwise do not represent
                                    a potential source of unreasonable bias. If these relationships involve the receipt
                                    of compensation or reimbursement, they must be reported at least annually so long
                                    as they continue to exist, and may be subject to investigation and further oversight
                                    by appropriate University personnel. These activities may include but are not limited
                                    to:
                                       
                                       - Receipt of royalties or other payments for scholarly works, other writings, or for
                                          inventions, pursuant to Policy 130 or Policy 84, that result in more than a de minimis
                                          Financial Interest. 
- Receipt of compensation in the form of honoraria or reimbursement in connection with
                                          service to professional associations, service on review panels, presentation of scholarly
                                          works, and/or participation in accreditation reviews, and which result in more than
                                          a de minimis Financial Interest.
 
 
 
- Activities Requiring Disclosure for Further Administrative Review and Analysis 
 
 The following activities may be allowed following administrative review and analysis.
                                    Such activities may necessitate supervisory procedures, including a Conflict of Interest
                                    Management Plan, be put in place to prevent bias or inappropriate activities and to
                                    ensure academic standards and institutional integrity. Examples may include but are
                                    not limited to:
                                       
                                       - Requirements that students purchase a textbook or related instructional materials
                                          written or copyrighted by faculty or staff, or members of their immediate family,
                                          which produces compensation for the faculty, staff or family member.
- Receipt of compensation, gifts, or gratuities from any individual or entity doing
                                          business with the University. Note that no University employee may seek or receive
                                          any gift, reward, or promise of reward for recommending, influencing, or attempting
                                          to influence the award of a contract by their employer. (See N.C.G.S. 14-234 and N.C.G.S
                                          138A).
- Service on the board of directors or scientific advisory board of an enterprise that
                                          provides financial support for University research when the Covered Employee, or a
                                          member of their immediate family, may benefit from such financial support.
- An equity or ownership interest in a publicly or non-publicly traded entity or enterprise
                                          held by a Covered Employee, or a member of their immediate family, that does business
                                          with the University or is related to their university employment responsibilities.
- Receipt of financial support for University research under conditions that require
                                          research results to be held confidential, withheld from publication, or inordinately
                                          delayed in publication. Research conducted by faculty or students under any form of
                                          sponsorship must maintain the University鈥檚 open teaching and research philosophy and
                                          must adhere to a policy that prohibits secrecy in research. Such conditions on publication
                                          must be in compliance with UNC Policy Manual, 500.1 and 500.2, and with Policy 84, Copyright Policy, and Policy 130, Patent Policy. 
 
 
 
- Activities That Are Generally Not Allowable or Permitted Unless an Approved Conflict
                                    of Interest Management Plan is in Place
 
 The following activities present such serious problems that they are generally presumed
                                    to be inappropriate. In such cases, a heavy burden will rest with the Covered Employee
                                    to demonstrate to the University鈥檚 satisfaction the compatibility of such practices
                                    with University policy prior to going forward with the proposed activity and the implementation
                                    of an approved Conflict of Interest Management Plan. Such activities may include but
                                    are not limited to:
 
 
                                       
                                       - University research that involves the use of a technology owned by, or contractually
                                          obligated to (by license or an option to license, or otherwise) the Covered Employee,
                                          or to an enterprise or entity in which the Covered Employee or a member of their immediate
                                          family has a consulting relationship, holds an equity or ownership interest, or holds
                                          an executive position.
- Receipt of grant or contract funding for University research from an enterprise or
                                          entity in which the Covered Employee or a member of their immediate family has an
                                          equity or ownership interest.
- Assignments of students or other trainees to University research projects sponsored
                                          by an enterprise or entity in which the Covered Employee or a member of their immediate
                                          family has an equity or ownership interest.
 
 
 
- Activities that are Not Allowable under Any Circumstances
 
 
                                       
                                       - Referring University business to an external enterprise in which a Covered Employee
                                          or a member of their immediate family has a financial interest.
- Any activity that is against State or federal law, or University Policy, including
                                          but not limited to: 
                                          
                                          
                                             
                                             - Negotiating or administering a contract on behalf of the University from which a Covered
                                                Employee derives a direct benefit from the contract. (N.C.G.S. 14-234) 
- Attempting to influence any other person who is involved in making or administering
                                                a contract with the University in which the Covered Employee will benefit. (N.C.G.S. 14-234)
- Soliciting or receiving any gift, favor, reward, service, or promise of reward, including
                                                a promise of future employment, in exchange for recommending, influencing, or attempting
                                                to influence the award of a contract by the University. (N.C.G.S. 14-234)
 
- Associating their name with the University in such a way as to profit financially
                                          by trading on the reputation or goodwill of the University.
- Making unauthorized use of privileged information acquired in connection with one鈥檚
                                          University responsibilities.
- Signing agreements that assign University patent and other intellectual property rights
                                          to third parties without prior University approval.
- Receiving remuneration from both the University (including State-reimbursed travel,
                                          work time, or resources) and an external entity for the same activity. 
 
 
VII. EXTERNAL PROFESSIONAL ACTIVITIES FOR PAY (EPAP) 
                        
                        
                           
                           - Applicability
 
 This Section applies to Covered Employees:
 
 
                                 
                                 - Who are classified as 0.75 FTE or greater, unless otherwise specified by the Covered
                                    Employee鈥檚 Dean;
- Who work in a permanent position; and 
- Whose external activity for pay is conducted concurrently with a contract service
                                    period, including during the summer when teaching or conducting grant- or contract-funded
                                    activities. 
 
 
 
- EPAP Requirements 
 
 EPAPs should generally be limited to no more than the equivalent of twenty percent
                              (20%) of the Covered Employee鈥檚 contracted time. Such activities may be undertaken
                              only if they do not:
                                 
                                 - 
                                    
                                    
                                       
                                       - Create a Conflict of Commitment with the individual's ability to carry out all Primary
                                          Duties in a timely and effective manner; 
- Create a Conflict of Interest; 
- Involve any inappropriate use or exploitation of University resources, i.e., using
                                          any services, facilities, equipment, supplies, or personnel which members of the general
                                          public may not freely use for other than the conduct of University Employment Responsibilities; 
- Make any use of the name of the University of North Carolina or 糖心Vlog University
                                          for any purpose other than professional identification; or 
- Claim, explicitly or implicitly, any University or institutional responsibility for
                                          the conduct or outcome of the EPAP. 
 
 
 
 
- Required Disclosure
 
 Any Covered Employee defined in Paragraph A who plans to engage in EPAPs must complete
                              the "Notice of Intent to Engage in External Professional Activity for Pay" ("Notice
                              of Intent"). A Notice of Intent must be completed online for each proposed activity
                              at least ten (10) calendar days before beginning the activity.
 
 All employees who engage in external professional activities for pay, regardless of
                              whether performed during or outside of the academic year, must also annually disclose
                              financial interests in accordance with UNC Board of Governors鈥 Policy 300.2.2 and
                              Section V. of this Policy.
 
 
- Exemptions 
 
 Faculty serving on academic-year contracts (i.e., traditional nine-month faculty without
                              a summer session contract) are exempt from this Section if:
 
 
                                 
                                 - The External Professional Activity for Pay is wholly performed and completed outside
                                    the academic year; and
- The activity does not otherwise conflict with University policies.
 
 Part-time Covered Employees (i.e., less than .75 FTE) are exempt from this Section
                                    but are subject to the annual disclosure requirements in Section V.A.
 
 SHRA employees are not covered by this Section. SHRA employees who wish to engage
                                    in secondary employment are covered by Policy 87, Secondary Employment Policy.
 
 
 
- Special Circumstances
 
 
                                 
                                 - EPAPs performed at other UNC institutions or State agencies
 
 EPAPs performed for another UNC institution or agency of the State of North Carolina
                                    must also comply with the applicable State and 糖心Vlog policies governing dual employment
                                    and compensation, unless an exception to those policies is expressly authorized by
                                    the Chancellor or the President.
 
 
- Honoraria 
 
 In those instances when State-reimbursed travel, work time, or resources are used
                                    or when the activity can be construed as related to the Covered Employee鈥檚 University
                                    Employment Responsibilities on behalf of the State, the Covered Employee shall not
                                    receive any financial consideration, including an honorarium. In these instances,
                                    the employee may request that the honorarium be paid to the University. The honorarium
                                    may be retained by the employee only for activities performed outside of normal working
                                    hours, as defined by 糖心Vlog, or while the employee is on approved leave, and all expenses
                                    are the responsibility of the employee or a third party that is not a State entity.
                                    Third party support may need to be disclosed by the Covered Employee.
 
 
- Political Candidacy
 
 The Board of Governors has established rules for monitoring and regulating the involvement
                                    of University employees in political candidacy and office-holding that could interfere
                                    with full-time commitment to University Employment Responsibilities, contained in
                                    the UNC Policy Manual, 300.5.1 and 300.5.2.
 
 
 
- EPAP Review, Monitoring, and Appeals 
 
 
                                 
                                 - The Notice of Intent shall initially be reviewed by the employee's first-level supervisor
                                    Department (鈥淩eviewing Officer鈥). If the reviewing officer determines that the proposed
                                    activity is not consistent with this Policy, the employee shall be notified of such
                                    determination within ten (10) days of the date the Notice of Intent was filed. If
                                    a Notice of Intent is disapproved, the Covered Employee shall not proceed with the
                                    activity but may appeal the determination in writing to the administrative officer
                                    to whom the Reviewing Officer reports (i.e., the Covered Employee鈥檚 second-level supervisor),
                                    and then to the COI Panel. The decision of the COI Panel shall be final.
- If the Reviewing Officer approves the form and the Notice of Intent discloses either:
                                    (i) a proposed activity for an entity that provides funding that directly supports
                                    the Covered Employee鈥檚 University Employment Responsibilities or activities, or (ii)
                                    a proposed activity for a private entity in which the Covered Employee or member of
                                    the Covered Employee鈥檚 Immediate Family holds an equity or ownership interest or holds
                                    an office, the Reviewing Officer鈥檚 supervisor shall also review and approve or disapprove
                                    the Notice of Intent within ten (10) days of receipt. An appeal of a disapproval by
                                    that officer shall be to the COI Panel. The decision of the COI Panel shall be final.
- After approval by the relevant supervisor(s), the COI Officer shall review the form
                                    to ensure compliance with this Policy. 
- Approval of EPAPs may be granted for a period not to exceed the balance of either:
                                    
                                    
                                       
                                       - The fiscal year in the case of 12-month employees and employees with contracts that
                                          include summer session; or 
- The academic year for nine-month employees with no summer session contract. 
 
- If the approved activity will continue beyond the end of the relevant fiscal or academic
                                    year in which it began, the Covered Employee must file an additional disclosure before
                                    engaging in the activity in the succeeding year.
- Monitoring of activities related to External Professional Activities for Pay is the
                                    responsibility of the Covered Employee鈥檚 supervisor. Changes in circumstances must
                                    be disclosed by the Covered Employee.
 
 
 
- Additional Requirements for SAAO and EPS Employees
 
 In accordance with the UNC Policy Manual, 300.2.2.2[R], the following requirements
                              apply to the external professional activities of specific categories of employees:
 
 
                                 
                                 - SAAOs must use annual leave if they wish to engage during the conventional University
                                    workweek in external activities that produce income for them.
- SAAOs and EPS employees are prohibited from receiving honoraria unless:
                                    
                                    
                                       
                                       - the activity is performed during non-working hours or while the employee is on annual
                                          leave,
- the State has no responsibility for paying expenses associated with the activity,
                                          and
- the activity is not part of the employee's State duties.
 
 
VIII. CONFLICT OF INTEREST AND COMMITMENT REVIEW PANEL
                        
                        The Conflict of Interest and Commitment Review Panel (鈥淐OI Panel鈥) is comprised of
                           the following individuals, who shall serve by virtue of their office: (1) the General
                           Counsel or their designee; (2) Chief Compliance Officer, who shall serve as chair
                           of the panel; (3) the Associate Provost; or their designee; (4) the Director of Research
                           Compliance and Integrity;  and (5) the Associate Vice Chancellor for Human Resources
                           or their designee.
                        
                        The COI Panel shall be responsible for (i) providing counsel and assistance to Covered
                           Employees in disclosing potential Conflicts of Interest and Commitment and to supervisors
                           in making Conflict of Interest determinations; and (ii) reviewing and approving proposed
                           Management Plans regarding Conflict of Interest management, mitigation or elimination. 
                        
                        IX. FEDERAL RESEARCH STANDARDS
                        
                        Although this Policy applies to conflicts which may arise with respect to any research
                           or non-research activity conducted under University auspices, regulations issued by
                           the National Science Foundation (鈥淣SF鈥), Public Health Service (鈥淧HS鈥), and the National
                           Aeronautics and Space Administration (NASA) establish specific requirements for University
                           research funded by those agencies. Covered Employees are required to comply with the
                           standards set forth by the relevant funding agency and may be required to disclose
                           additional information. In the event federal agencies or other external sponsors impose
                           additional disclosure requirements, disclosure to the sponsor must also include disclosure
                           to the University. Research-specific Conflict of Interest procedures are supplemental
                           to this Policy.  
                        
                        Consistent with Federal Acquisition Regulation (FAR) Subpart 9.5, the University is
                           committed to identifying, avoiding, and/or managing actual or perceived Organizational
                           Conflicts of Interest (OCIs) in research activities in its capacity as a federal awardee
                           or contractor. An OCI may arise when members of the University assist in the development
                           of new federal programs or federal contract specifications, and the University subsequently
                           competes for federal support through the new programs or contracts.
                        
                        This Policy is designed to comply with the National Science Foundation's Recipient
                           Standards (PAPPG)(NSF 23-1) dated January 30, 2023, the U.S. Department of Health
                           and Human Services Promoting Objectivity in Research Rules, 42 CFR Chapter I, Subchapter
                           D, Part 50, Subpart F as amended January 2, 2016 and the General Services Administration
                           Federal Acquisition Regulations Subpart 9.5 effective June 2, 2023.
                        
                        Please see the Supplemental Procedures for Project-Specific Conflicts of Interest
                           for more information. 
                        
                        X. TRAINING
                        
                        The University shall provide training on the substantive requirements of this Policy
                              to Covered Employees. The University provides this training through the.
                        
                        Investigators who participate in research funded by the PHS must complete required
                           training prior to engaging in agency supported research and at least every four (4)
                           years thereafter, and immediately when the Investigator is found to be in violation
                           of this Policy or an applicable Management Plan.
                        
                        XI. CONFIDENTIAL RECORDS; REQUIRED REPORTING
                        
                        Completed disclosure forms, including attachments and supplemental documentation,
                           are confidential personnel records as defined by the North Carolina Human Resources
                           Act (). The provisions of that Act governing access to and confidentiality of personnel
                           records shall be strictly observed; provided, however, that the University may be
                           obligated to report disclosed or undisclosed Conflicts of Interest and make certain
                           information publicly available under federal regulations.
                        
                        XII. ENFORCEMENT AND REPORTING VIOLATIONS OF THIS POLICY
                        
                        Covered Individuals who do not comply with the provisions of this policy will be subject
                           to disciplinary action.
                        
                        A member of the University community who has reason to believe that another individual
                           has an undisclosed Conflict of Interest or is otherwise violating University policy
                           or federal law and regulations must report the concern to his or her immediate supervisor.
                           Should the allegation(s) be considered by the supervisor to constitute a possible
                           undisclosed conflict or other serious violation of this Policy or federal law and
                           regulations, the supervisor shall report the matter to the Office of Research Administration
                           for investigations related to sponsored research, and to the COI Officer for investigations
                           related to all other matters.  
                        
                        XIII. POLICY REVIEW
                        
                        This Policy shall be reviewed and revised as necessary every four (4) years.
                        
                        XIV. RELATED POLICIES AND RESOURCES
                        
                        University Policy #87, SHRA Employee Secondary Employment Policy
UNC Policy 300.2.2
UNC Policy 300.2.2 [G]
UNC Policy 300.2.2.1 [R]
UNC Policy 300.2.2.2 [R]
糖心Vlog Office of Research Administration Conflicts of Interest
                        
                        
Agencies and Organizations Following PHS COI Regulations
                        
                        糖心Vlog Conflict of Interest
Supplemental Procedures 鈥 Project-Specific Conflicts of Interest