Frequently Asked Questions

Access to eCompliance

Where/What is eCompliance and how do I gain access?

It's an online system that also stores IRB, shared among the three campuses at KUMC, KUSM-Wichita and KU in Lawrence at

Some people in my department have received the email, but when they go to the link, they can't log-in. Whom should I call?

The KUMC help desk can check the account and password. 5-9999. Make sure the caller knows if they are paid university faculty or unclassified staff so they can communicate clearly with the help desk.

My department has traditionally requested that new-hires do all training on their first day; we're not finding a COI certification?

After a new hire's information has been entered into the HR database, an Annual COI Ceritifcation willl be created and an e-mail sent to the new employee via eCompliance (  This process typcially takes a few days.

We have a student listed as study personnel of a grant so she/he must compete a COI. How do I request access?

Since he /she has student status, the account is already in the system and probably just needs to be enabled. Send the student's name to His / Her account will be enabled, a COI certification will be created, and the system will send the student an e-mail with the link to the certification.

My department performs research and members of the research team are not KUMC faculty or unclassified staff. How do we request COI access?

Please see the Reporting page for details.

How do I check to see who has completed their COI?

Access to the data is limited. Your department faculty and staff can go to the system and print out their certification and submit as proof.


What is a conflict of interest?

"Conflict of interest" refers to situations in which financial or managerial interests or time commitments may compromise, or have the appearance of compromising, scientific judgment, integrity of research data, fulfillment of professional duties, or the safety and welfare of research volunteers. A conflict of interest depends on the situation and not on the character or actions of the individual.

Conflicts can be individual or institutional in nature. Individual conflict of interest may be associated with financial incentives in research, business ownership, consulting, intellectual property development, outside employment, and commitment to external organizations. Institutional conflict of interest arises from financial interests of the university or senior officials that might color the review, approval, or monitoring of research.

It is important to note that potential conflicts frequently arise in university settings, often as part of desirable and legitimate professional development. Activities such as consulting and commercialization of technologies represent the fulfillment of the university's mission to translate scientific discoveries into beneficial products and services. KUMC encourages interactions that promote public benefit while ensuring the integrity with which those activities are accomplished.

Standards for reporting: financial and managerial interests of:

  • Equity (e.g., ownership, stock holdings, equity interests, loans)
  • Remuneration (e.g., salary, consulting fees, commissions)
  • Intellectual property rights and interests (e.g., patents, copyrights)
  • Sponsored travel (travel which is paid on behalf of the individual and not reimbursed to the individual so that the exact monetary value may not be readily available)
  • Outside professional positions, paid or volunteer (e.g., board position, consulting)

What is a Conflict of Time Commitment?

Conflict of time commitment exists whenever a faculty or staff member's external activities exceed reasonable time limits or whenever an unclassified staff or faculty member's primary professional responsibility is not to the institution.

Standards for reporting: External time commitments should be reported if they relate to university responsibilities. These include consulting, outside employment, public service, pro bono work, or service as an officer in an external entity.

Who is considered an Investigator? 

The federal definition of Investigator is "the project director or principal Investigator (PD/PI) and any other person, regardless of title or position, who is responsible for the design, conduct, or reporting of research funded by the PHS, or proposed for such funding, which may include, for example, persons who are subgrantees, contractors, consortium participants, collaborators, or consultants."

Disclosure Requirements and Applicability

Who is required to file Conflict of Interest (COI) reports?

Kansas Board of Regents and KUMC policies require conflict of interest reporting by all full and part-time faculty and unclassified staff and other individuals who are responsible for the design, conduct, or reporting of research, and certain sub-recipients of sponsored projects or awards from PHS compliant agencies

How often is filing required?

Reports must be filed:

  • upon employment,
  • annually thereafter,
  • upon submission of a PHS-compliant research proposal on which you are considered an investigator, and
  • on an ad hoc / update basis as new situations arise.

Ad hoc / update reports: Regents policy requires ad hoc reporting of any new situations that may raise questions about conflict of interest. These activities should be reported as soon as they become known. If the issue pertains to federally funded research, government regulations require that the newly-disclosed conflict be managed, reduced, or eliminated, at least on an interim basis, within sixty (60) days of its identification.

How do I file my report in the new system

For Annual COI and COI upon employment, you will receive an email from the reporting system. It will contain a link to your COI reporting form or certification.. Use your KUMC network credentials to log-in.

For ad hoc / updates, log into the eCompliance system and click the Create Update Certification button on the left hand margin of the screen.

Detailed instructions for completing the form and navigating the system are found on the User Guidance link on the COI website.

What does the supervisor's signature indicate?

"Supervisor Review Completed" as used in the COI Reporting System indicates that the supervisor has reviewed the individual's certification and agrees to the best of his or her knowledge that the filer is in compliance with the COI policy, specifically as it relates to conflicts of time.

Research Related Certifications

What's new in the COI Reporting process?

For PHS-Sponsored Researchers:

The University must be in compliance with the Public Health Service (PHS) regulations, "Promoting Objectivity in Research," by August 24, 2012. You may be listed as an investigator on a currently funded or proposed project sponsored by an agency that has adopted the new PHS regulations (hereafter "PHS-compliant" agency). There are three procedural changes applicable to investigators on PHS-compliant projects that will require your attention and participation.

1.  Financial Conflict of Interest (FCOI) Training. As of 8/24/12 award funds for PHS-compliant project must be withheld until all investigators on the project have been trained. On completion, your training will be certified for four years.

2. Certification of disclosed financial interests per PHS-compliant project. As of 8/24/12, each Investigator on a PHS-compliant project will also need to submit a special conflict of interest certification ("Research Certification") prior to each PHS-compliant proposal submission, or prior to the availability of funds for PHS-compliant projects pending or renewing the award.

Research Certification process: When a proposal is awarded or a renewal submitted, Research Institute staff will generate an e-mail to each Investigator on the project from the eCompliance system providing a link to his / her Research Certification for that project. All Investigators must submit their certifications in the online system before the funding is released. The Research Certification will include a question about the relation of his or her disclosed financial interests, if any, to the current project and certify that all disclosures are up to date.

You will still need to file an Annual Certification of your significant financial interests and time commitments each fiscal year, beginning in July. 

3. PI decides who is an Investigator. The FCOI training and per-project Research Certification requirements apply to all "Investigators" on PHS-compliant proposed or funded projects. The PI is responsible for identifying individuals who will be participating at the Investigator level on the project.

While the federal definition of Investigator, below, is quite broad, keep in mind that its application to an individual is dependent on the individual's contribution to the project and may not apply to everyone named on the project.

The federal definition of Investigator is "the project director or principal Investigator (PD/PI) and any other person, regardless of title or position, who is responsible for the design, conduct, or reporting of research funded by the PHS, or proposed for such funding, which may include, for example, persons who are subgrantees, contractors, consortium participants, collaborators, or consultants."

What are the PHS-compliant agencies?

For your information, the current list of PHS-compliant agencies, as of 10/22/2012, follows:

  • Administration on Aging (AoA)
  • Administration for Children and Families (ACF)
  • Agency for Healthcare Research and Quality (AHRQ)
  • Agency for Toxic Substance and Disease Registry (ATSDR)
  • Alliance for Lupus Research (ALR)
  • American Cancer Society (ACS)
  • American Heart Association (AHA)
  • Arthritis Foundation (AF)
  • Biomedical Advanced Research and Development Authority (BARDA)
  • California Breast Cancer Research Program (CBCRP)
  • California HIV/AIDS Research Program (CHRP)
  • Centers for Disease Control and Prevention (CDC)
  • Centers for Medicare and Medicaid Services (CMS, formerly HCFA)
  • Department of Health and Human Services (DHHS)
  • Food and Drug Administration (FDA)
  • Health Resources and Services Administration (HRSA)
  • Indian Health Services (IHS)
  • Juvenile Diabetes Research Foundation (JDRF)
  • Lupus Foundation of America (LFA)
  • National Institutes of Health (NIH)
  • Office of the Assistant Secretary for Health (ASH), including
    • Office of the Assistant for Preparedness and Response (ASRP)
    • Office of Minority Health Resources Center (OMH)
    • Office of Population Affairs (OPA)
    • Office of Research Integrity (ORI)
    • Office of Research of Women's Health (OWH)
  • Office of Global Affairs (OGA)
  • Office of the Inspector General (OIG)
  • Substance Abuse and Mental Health Services Administration (SAMHSA)
  • Susan G. Komen Foundation
  • Other non-PHS agencies that formally adopt the PHS FCOI regulations

Sometimes investigators need proof of COI training/certification and disclosure completion for grant applications at other institutions. Who handles this?

The Research Institute will assist you. Call the main line at 913-588-1261 and request COI training or recertification proof for researcher.

Statement of Substantial Interests for the State of Kansas

What is the difference between the State of Kansas Statement of Substantial Interests and Board of Regents Conflict of Interest Reporting?

For many years, state employees with certain kinds of responsibilities have been required to file an annual State of Kansas Statement of Substantial Interests (KS SSI) in accordance with the laws administered by the Kansas Secretary of State. More information about the KS SSI is available on the Kansas Governmental Commission website.

In 2006, the Kansas Legislature approved a change in the scope of state employees required to file the KS SSI. As a result, many KU faculty were required to file the statement for the first time in the spring of 2006. The Conflict of Interest Certification and the Statement of Substantial Interests are two separate reporting requirements. Having filed a KS SSI does not change faculty or staff obligation to file a COI declaration at least annually.

Last modified: Dec 15, 2017
Contact Us

Ryan Werth
COI Manager

Kim Misner-Iles
Compliance Program Coordinator