Oregon Health & Science University School of Medicine | ||
City: Portland | State: OR | |
Links:
Updates: This institution's COI policies were evaluated on Oct-14 -2016. This institution submitted policies for review for the 2016 AMSA Scorecard. |
Gifts | Members (definitions 9d, pg 1) cannot accept any gifts. But may accept gifts if it is external to or unrelated to their positions and when it could not be perceived as affecting/influencing decisions made in their roles. Institutional gifts may be accepte [Domain Location: 9b pg 9-10] |
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Meals | Note that the policy prohibits the acceptance of meals made available only to participants who choose to attend a specific Vendor-sponsored lecture or other activity taking place at the conference setting [Domain Location: 9b, pg 10] |
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Industry-funded promotional speaking relationships (not ACCME-accredited) | Permitted only if scientific and educational, and not promotional. Bureaus are prohibited among other things. [Domain Location: 9b, pg 7] |
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Industry-support of ACCME-accredited CME | Commercial support permitted for school-sponsored educational activities (CME included) in a way that ensures consistency w professional and SOM standards. Includes ACCME standards. [Domain Location: 9b, pg 11] |
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Attendance of industry-sponsored promotional events | In general, 1) Participation is prohibited when the activities appear to be for the purpose of commercial promotion. 2) Participation is permitted when the activities are for the purpose of educational or scientific exchange. Attendance (non-presenter/sp [Domain Location: 9b, pg 7] |
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Industry-supported scholarships and awards | Conferences may be attended so long as the attendee does not accept remuneration from industry for attendance (e.g., travel) [Domain Location: 9b, pg 7] |
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Ghostwriting and honorary authorships | Activities with industry is not permitted when any one or more of the following situations apply: a. Speaking or consulting that is for marketing or promotional purposes, including Speakers Bureaus. b. A commercial entity has control over any portion of a [Domain Location: 9b, pg 7] |
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Consulting and advising relationships | Satisfy all the criteria for a '3' except there is no mention of fee at fair market value, but clear, legitimate deliverables spelled out in contract. No review board present unfortunately. See domain 7 for things not permitted. [Domain Location: 9b, pg 7] |
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Access of pharmaceutical sales representatives | Meetings need to be 'associated with educational activities on the SOM premises that meet requirements of Commercial Funding of Education. And by mtg/appt only. Must be non-promotional [Domain Location: 9b, pg 11] |
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Access of medical device representatives | Medical Device Reps are under the same categories as vendors in this document, however there is NO mention to restriction in patient care areas. [Domain Location: 9b, pg 11] |
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Conflict of interest disclosure | Only disclosure to an inside system [Domain Location: 9b pg 5-7] |
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COI curriculum | There is a required curriculum only for medical students. It is unclear if the content meets AMSA Standards. [Domain Location: 9z, pg 1] |
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Extension of COI policies to community affiliates | In their definitions, members include students, trainees, volunteers, employees, faculty, visiting faculty, researchers, healthcare practitioners, etc. and off site as 'those working on behalf of [REDACTED]' [Domain Location: 9z, pg 1] |
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Enforcement and Sanctions of Policies | Integrity department and Conflict of Interest Committee mentioned is responsible for oversight, but there is NO mention of sanctions for noncompliance [Domain Location: 9b, pg 5, but integrity department mentioned throughout pertaining to specific violations] |
Model policy | |
Good progress toward model policy | |
No policy, or policy unlikely to have a substantial effect on behavior |