79C3C34C52B45572883A05D425EB0F82
FAQs and Vignettes
https://www.nsf.gov/bfa/dias/policy/hsfaqs.jsp
http://leaux.net/URLS/ConvertAPI Text Files/65576E7E9EDB1D6663E55D79F631FBE5.en.txt
Examining the file media/Synopses/65576E7E9EDB1D6663E55D79F631FBE5.html:
This file was generated: 2020-12-01 05:31:18
| Indicators in focus are typically shown highlighted in yellow; | Peer Indicators (that share the same Vulnerability association) are shown highlighted in pink; | "Outside" Indicators (those that do NOT share the same Vulnerability association) are shown highlighted in green; | Trigger Words/Phrases are shown highlighted in gray. | 
Link to Orphaned Trigger Words (Appendix (Indicator List, Indicator Peers, Trigger Words, Type/Vulnerability/Indicator Overlay)
Applicable Type / Vulnerability / Indicator Overlay for this Input
Political / Criminal Convictions
Searching for indicator prisoners:
(return to top)
           
p.(None):   
p.(None):  Some agencies have adopted additional regulations ("subparts", see below) dealing with special populations. The Common Rule is also referred to as 
p.(None):  "Subpart A" of the DHHS regulations of human research 45 CFR 46, to distinguish it from the other subparts listed below. 
p.(None):   
p.(None):  Institutions assure that they will comply with the regulations regarding human subjects research. This assurance is normally filed with the appropriate 
p.(None):  federal agency that sponsors their research. Most universities have assurances from DHHS. Under the Common Rule, each agency (e.g., NSF) agrees to 
p.(None):  accept an assurance issued by DHHS as a commitment that the institution will follow the regulations. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What are the Subparts of the regulations? 
p.(None):   
p.(None):  Subpart A, known as the Common Rule, relates to human subjects research in general. The other subparts (B, C and D of the DHHS version) relate to 
p.(None):  special research populations and have been adopted by some agencies. (See http://www.hhs.gov/ohrp/humansubjects/guidance/45cfr46.html) 
p.(None):   
p.(None):  Subpart B relates to research on fetuses, neonates, and pregnant women; 
p.(None):   
p.(None):  Subpart C relates to research with prisoners, and in general stipulates that the IRB include a prisoner or prisoner representative (among other 
p.(None):  requirements); 
p.(None):   
p.(None):  Subpart D relates to research with children, and in general mandates that adequate provisions be made for soliciting the assent of children and permission 
p.(None):  of their parents or guardians. 
p.(None):   
p.(None):  NSF has chosen not to adopt subparts B, C, and D. Only subpart A regulations are necessarily relevant for NSF funded projects. The Common Rule 
p.(None):  indicates that vulnerable populations include subjects, such as children, prisoners, pregnant women, or handicapped or mentally disabled persons. 
p.(None):   
p.(None):  Institutions which follow subparts B, C, and D for DHHS-sponsored research may not need to do so for NSF-sponsored projects. 
p.(None):   
p.(None):  Many institutions have signed Federal Wide Assurances with DHHS in which they may have agreed to apply the subparts to all research. If this poses a 
p.(None):  problem in conducting the NSF-sponsored research, institutions are advised to consult with their NSF program officer. In many cases problems are 
p.(None):  caused not by the regulations themselves, but by overly restrictive interpretations by IRBs. For example, Subpart C's mandate of an IRB member who is 
p.(None):  "a prisoner, or prisoner's representative with appropriate background and experience ..." can be met by a suitable member of the sociology or criminal 
p.(None):  justice faculty, the regulations do not require a formal affiliation with a prisoner association. Subpart D's mandate of informed consent is subject to "the 
p.(None):  extent that consent is required by §46.116 of Subpart A..." and does not automatically and invariably require written consent forms. As § 46.116.d. (same 
p.(None):  as § 690.116.d) specifies, informed consent can be modified or waived for a project which: 
p.(None):   
...
Political / Illegal Activity
Searching for indicator illegal:
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p.(None):  procedures are in effect. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What sorts of harm can arise from social and behavioral science research? 
p.(None):   
p.(None):  Here are some typical examples: 
p.(None):   
p.(None):  Harms commensurate with daily life, requiring no special protection: 
p.(None):   
p.(None):  Mere inconvenience when a survey or other research interaction is administered at an inconvenient time or place or simply takes a long time to 
p.(None):  administer. 
p.(None):   
p.(None):  Harms that have the potential for serious effects, which IRBs should examine: 
p.(None):   
p.(None):  Emotional or psychological harm, for example when a research interaction causes upset, or worry about breach of confidentiality. 
p.(None):  Social harm due to stigma or other negative social outcomes of breach of confidentiality. 
p.(None):  Physical harm if revelations about others get back to those persons, particularly when researchers study domestic violence, gang activity, political 
p.(None):  activity in a conflict zone, or other phenomena concerning violence-prone individuals. 
p.(None):  Financial harm if revelations result in loss of employment or insurance coverage. 
p.(None):  Legal harm when illegal activities are disclosed. 
p.(None):  Moral harm when participation in research strengthens subjects' inclinations to behave unethically. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Informed Consent in Social and Behavioral Science 
p.(None):   
p.(None):  Informed consent should take the form of a friendly, easily understood communication process with competent participants. Ideally it should be a 
p.(None):  verbal exchange between researcher and subject, with a written summary of the information for the subject to keep as appropriate. When written, it 
p.(None):  should be brief, and simply phrased at a reading level that the least literate subject can understand. 
p.(None):   
p.(None):  The informed consent process should involve a friendly discussion that provides a basis for subjects to decide about participation. Subjects should be able 
p.(None):  to think about what they have been told and to ask any questions. IRBs and researchers should not defeat the purpose of informed consent by substituting 
p.(None):  a legalistic consent form for an effective communication process. If signed forms are appropriate, signing the form should not be perfunctory, unreflecting 
p.(None):  and automatic. When written informed consent would be the only identifiable link to research participants, it may increase risk and in some circumstances 
p.(None):  should be avoided. 
p.(None):   
...
           
p.(None):  specific research project is the most appropriate government interpretation of the regulations with respect to that project. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What flexibility does the IRB have in applying the Common Rule? 
p.(None):   
p.(None):  The purpose of the federal regulations is to obtain the benefits of research for society while minimizing the risks of harm to human research participants. 
p.(None):  To further this goal the regulations encourage IRBs to make independent informed judgments, using common sense and expertise to apply a standard set 
p.(None):  of rules to diverse research situations, and to document the procedure followed in arriving at its judgment. 
p.(None):   
p.(None):  For example, sections §116 (c), (d), and §117 (c) discuss flexible procedures that may be used to administer informed consent, depending on the specifics 
p.(None):  of the research project. Informed consent is the procedure by which the researcher respects the autonomy of research participants (as discussed in the 
p.(None):  The Belmont Report). Since written documentation of informed consent can create harm for research participants in some circumstances, it should not be 
p.(None):  routinely required in all cases. For example, research should not use signed forms when the focus is on illegal behavior, or on partisan political activity in 
p.(None):  violent areas, where signed forms may potentially increase risks to the participants. Here the respondent's signed form could expose him or her to harm 
p.(None):  from state authorities or private vendettas. 
p.(None):   
p.(None):  Your IRB can authorize a waiver of written consent forms or other formal consent procedures under specified conditions. (See 45 CFR Part 46 
p.(None):  §116)(See 45 CFR Part 46 §117 )(See FAQ Informed Consent in Social and Behavioral Science)(See FAQ When a Signed Consent Form can 
p.(None):  Harm a Participant 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What if the researcher and the IRB disagree about the risk and appropriate action to be taken in the project? 
p.(None):   
p.(None):  The regulations do not discuss procedures for resolving conflicts between IRBs and researchers. Each institution should develop a written set of 
p.(None):  procedures for resolving differences of opinion. For example, perhaps a conversation could be scheduled between the research office administrator, the 
p.(None):  IRB chair, the researcher, outside consultants if deemed appropriate, and the funding agency representative. The major principles to be respected in any 
p.(None):  mediation procedure should include: 
p.(None):   
...
Political / criminal
Searching for indicator criminal:
(return to top)
           
p.(None):  of their parents or guardians. 
p.(None):   
p.(None):  NSF has chosen not to adopt subparts B, C, and D. Only subpart A regulations are necessarily relevant for NSF funded projects. The Common Rule 
p.(None):  indicates that vulnerable populations include subjects, such as children, prisoners, pregnant women, or handicapped or mentally disabled persons. 
p.(None):   
p.(None):  Institutions which follow subparts B, C, and D for DHHS-sponsored research may not need to do so for NSF-sponsored projects. 
p.(None):   
p.(None):  Many institutions have signed Federal Wide Assurances with DHHS in which they may have agreed to apply the subparts to all research. If this poses a 
p.(None):  problem in conducting the NSF-sponsored research, institutions are advised to consult with their NSF program officer. In many cases problems are 
p.(None):  caused not by the regulations themselves, but by overly restrictive interpretations by IRBs. For example, Subpart C's mandate of an IRB member who is 
p.(None):  "a prisoner, or prisoner's representative with appropriate background and experience ..." can be met by a suitable member of the sociology or criminal 
p.(None):  justice faculty, the regulations do not require a formal affiliation with a prisoner association. Subpart D's mandate of informed consent is subject to "the 
p.(None):  extent that consent is required by §46.116 of Subpart A..." and does not automatically and invariably require written consent forms. As § 46.116.d. (same 
p.(None):  as § 690.116.d) specifies, informed consent can be modified or waived for a project which: 
p.(None):   
p.(None):  could not practicably be carried out without the waiver or alteration, 
p.(None):  is of no more than minimal risk, 
p.(None):  the waiver or alteration will not adversely affect the rights and welfare of the subjects, 
p.(None):  where appropriate, the subjects will be provided with additional pertinent information after participation. 
p.(None):   
p.(None):  These conditions cover a lot of research supported by the National Science Foundation. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Original Agencies, Departments and Offices approving the Common Rule (1991) 
p.(None):   
p.(None):  Agency for International Development 
p.(None):  Consumer Product Safety Commission 
p.(None):  Department of Agriculture 
p.(None):  Department of Commerce 
p.(None):  Department of Defense 
p.(None):  Department of Education 
p.(None):  Department of Energy 
p.(None):  Department of Health and Human Services 
p.(None):  Centers for Disease Control 
...
           
p.(None):  exempt under preceding exemption if human subjects are elected public officials, and if federal statutes require confidentiality of identifiable 
p.(None):  information. ((§ 101 (b) (3)) 
p.(None):   
p.(None):  Research involving the collection or study of existing data if publicly available or unidentifiable. ((§ 101 (b) (4)) 
p.(None):   
p.(None):  Research and demonstration projects designed to study public benefit or service programs. ((§ 101 (b) (5)) 
p.(None):   
p.(None):  Taste and food quality evaluation and consumer acceptance studies. ((§ 101 (b) (6)) 
p.(None):   
p.(None):  Exempt research is free from continued oversight by the IRB although the institution (either a designated IRB representative, the entire committee, or 
p.(None):  some other institutional authority), not the researcher, must determine that the project is exempt in the first place. Usually this is accomplished through a 
p.(None):  brief review process. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Does this mean that all questionnaire, educational test, and interview-based studies are exempt? 
p.(None):   
p.(None):  Such studies are exempt UNLESS: 
p.(None):   
p.(None):  Specific individual human subjects can be identified directly or through identifiers linked to them (i.e., their names, telephone numbers or other 
p.(None):  unique identifiers are recorded in the data) 
p.(None):   
p.(None):  AND disclosure of their responses could place them at risk of: 
p.(None):   
p.(None):  criminal/civil liability, or 
p.(None):  damage to their financial standing, employability, or reputation 
p.(None):   
p.(None):  Research on vulnerable populations may not be exempt. Consult with your local IRB or NSF program officer for guidance in specific cases. 
p.(None):   
p.(None):  When the subjects are public officials or candidates for public office, the research is exempt even when identifiers are included or disclosure might be 
p.(None):  harmful. 
p.(None):   
p.(None):  When the subjects are public officials or candidates for public office, the research is exempt even when identifiers are included or disclosure might be 
p.(None):  harmful. However, all research should be bound by professional ethics and respect for respondents to guard their privacy whether or not the research is 
p.(None):  exempt (unless the participants understand that their information may be made public and permission is granted). 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Does this mean that I cannot collect or record personal identifying information? 
p.(None):   
p.(None):  IF you collect information on individually identified participants from publicly available sources, the project may be in the exempt category as long as that 
p.(None):  information would not cause harm to the individual if it were known. For example, recording observations of everyday public behavior, or interviewing 
p.(None):  people about non-controversial opinions or preferences. 
p.(None):   
p.(None):  Does this mean that I cannot collect or record personal identifying information when studying sensitive topics? 
p.(None):   
...
           
p.(None):  paper records), he foresaw no risk because the questions did not deal with sensitive topics. 
p.(None):   
p.(None):  During one exercise he was astonished to see a student's response describe some sanctioned behavior-plagiarism on the part of the student. He had 
p.(None):  recorded the student's identity. 
p.(None):   
p.(None):  What to do? 
p.(None):   
p.(None):  There are 2 issues here. First, to the extent that Dr. Goodbar is using students survey responses for his published scholarly articles, he is 
p.(None):  conducting research CFR 46.112 (d). In conducting research, he would have submitted an IRB proposal and obtained permission to survey the 
p.(None):  students. The second issue concerns confidentiality, and if Dr. Goodbar promised this within the IRB proposal and promised this to students on the 
p.(None):  consent form, then he is obligated to maintain that confidentiality. 
p.(None):   
p.(None):  To protect the student, the record should be erased immediately. 
p.(None):   
p.(None):  To respect the academic institution and tradition, the student should be counseled on the impropriety of plagiarism. 
p.(None):   
p.(None):  In general, in the case of a serious matter (a threat of violence, a criminal act, a serious breach of academic discipline, e.g., the theft of a test) the 
p.(None):  professor should inform institutional authorities provided that confidentiality was not promised. 
p.(None):   
p.(None):  The professor should routinely point out to students, before the research takes place, to consider before responding that their responses will be 
p.(None):  recorded. They should be told not to say anything they would not want others to see and hear on tape. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Doesn't the Common Rule demand confidentiality in research records? 
p.(None):   
p.(None):  The Common Rule addresses privacy of information about persons and confidentiality of data. A research project involving individual information about 
p.(None):  respondents can be exempt under two conditions: 
p.(None):   
p.(None):  if the information either is not linked to the respondents' identity (§ 101 (b) (2)), e.g., it is anonymous, or 
p.(None):  the information is linked to the respondents' identity, but the nature of the information is such that disclosure will not be reasonably expected to 
p.(None):  cause harm (§ 101 (b) (2)). Non-anonymous data recording can be exempt if any breach of confidentiality will not cause harm beyond that 
p.(None):  encountered in everyday life. Historical or other research where the respondent is fully aware that publication will involve names, or where the 
p.(None):  information is in public records, is not of concern here. 
p.(None):   
...
           
p.(None):  assistants could be asked to sign confidentiality agreements. 
p.(None):   
p.(None):  Access to the data can be controlled electronically, perhaps by storing very sensitive data on computers not attached to a network where hackers 
p.(None):  could penetrate the files. Electronic files can be protected with key-words, and portable computers should be appropriately secured. 
p.(None):   
p.(None):  The data can be manipulated electronically, for example by encrypting data files. The data can also be recoded to eliminate identifiers by collapsing 
p.(None):  it into categories. 
p.(None):   
p.(None):  Research involving many data files on the same person can use anonymous linkage systems. 
p.(None):   
p.(None):  CERTIFICATES OF CONFIDENTIALITY: If research is contemplated on a topic which is likely to be subject to legal proceedings, the federal 
p.(None):  government can issue a "Certificate of Confidentiality" which shields the data from required disclosure by the researcher. Under section 301(d) of 
p.(None):  the Public Health Service Act (42 U.S.C. 241(d)) the Secretary of Health and Human Services may authorize persons engaged in biomedical, 
p.(None):  behavioral, clinical, or other research to protect the privacy of individuals who are the subjects of that research. This authority has been delegated 
p.(None):  to the National Institutes of Health (NIH). Persons authorized by the NIH to protect the privacy of research subjects may not be compelled in any 
p.(None):  Federal, State, or local civil, criminal, administrative, legislative, or other proceedings to identify them by name or other identifying characteristic. For 
p.(None):  additional information, see https://humansubjects.nih.gov/coc/background. For detailed application instructions, see 
p.(None):  https://grants.nih.gov/grants/policy/coc/appl_extramural.htm. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Where can I find information about confidentiality in data? 
p.(None):   
p.(None):  The National Research Council's Committee on National Statistics, part of the Division of Behavioral and Social Sciences and Education has a 
p.(None):  publication, "Improving Access to and Confidentiality of Research Data: Report of a Workshop" edited by Christopher Mackie and Norman Bradburn. 
p.(None):   
p.(None):  The U.S. Department of Justice, Office of Justice Programs, Bureau of Justice Statistics has a paper by Joan Sieber on its web site, "Summary of Human 
p.(None):  Subjects Protection Issues Related to Large Sample Surveys" which gives a comprehensive discussion and bibliography of these issues. 
p.(None):   
p.(None):  The Federal Committee on Statistical Methodology (FCSM), sponsored by OMB, has produced 2 reports on statistical methods to limit disclosure. "Report 
p.(None):  on Statistical Disclosure and Disclosure-Avoidance Techniques", 1978 (NTIS PB86-2115/AS) and 22, "Report on Statistical Disclosure Limitation 
p.(None):  Methodology", 1994 (NTIS PB94-165305) respectively). They can be found them on the FCSM's web site at http://www.fcsm.gov. 
p.(None):   
...
Political / political affiliation
Searching for indicator political:
(return to top)
           
p.(None):  after evaluating the level of risk involved, a waiver of informed consent may be recommended if risk of harm is low and adequate confidentiality 
p.(None):  procedures are in effect. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What sorts of harm can arise from social and behavioral science research? 
p.(None):   
p.(None):  Here are some typical examples: 
p.(None):   
p.(None):  Harms commensurate with daily life, requiring no special protection: 
p.(None):   
p.(None):  Mere inconvenience when a survey or other research interaction is administered at an inconvenient time or place or simply takes a long time to 
p.(None):  administer. 
p.(None):   
p.(None):  Harms that have the potential for serious effects, which IRBs should examine: 
p.(None):   
p.(None):  Emotional or psychological harm, for example when a research interaction causes upset, or worry about breach of confidentiality. 
p.(None):  Social harm due to stigma or other negative social outcomes of breach of confidentiality. 
p.(None):  Physical harm if revelations about others get back to those persons, particularly when researchers study domestic violence, gang activity, political 
p.(None):  activity in a conflict zone, or other phenomena concerning violence-prone individuals. 
p.(None):  Financial harm if revelations result in loss of employment or insurance coverage. 
p.(None):  Legal harm when illegal activities are disclosed. 
p.(None):  Moral harm when participation in research strengthens subjects' inclinations to behave unethically. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Informed Consent in Social and Behavioral Science 
p.(None):   
p.(None):  Informed consent should take the form of a friendly, easily understood communication process with competent participants. Ideally it should be a 
p.(None):  verbal exchange between researcher and subject, with a written summary of the information for the subject to keep as appropriate. When written, it 
p.(None):  should be brief, and simply phrased at a reading level that the least literate subject can understand. 
p.(None):   
p.(None):  The informed consent process should involve a friendly discussion that provides a basis for subjects to decide about participation. Subjects should be able 
p.(None):  to think about what they have been told and to ask any questions. IRBs and researchers should not defeat the purpose of informed consent by substituting 
...
           
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What flexibility does the IRB have in applying the Common Rule? 
p.(None):   
p.(None):  The purpose of the federal regulations is to obtain the benefits of research for society while minimizing the risks of harm to human research participants. 
p.(None):  To further this goal the regulations encourage IRBs to make independent informed judgments, using common sense and expertise to apply a standard set 
p.(None):  of rules to diverse research situations, and to document the procedure followed in arriving at its judgment. 
p.(None):   
p.(None):  For example, sections §116 (c), (d), and §117 (c) discuss flexible procedures that may be used to administer informed consent, depending on the specifics 
p.(None):  of the research project. Informed consent is the procedure by which the researcher respects the autonomy of research participants (as discussed in the 
p.(None):  The Belmont Report). Since written documentation of informed consent can create harm for research participants in some circumstances, it should not be 
p.(None):  routinely required in all cases. For example, research should not use signed forms when the focus is on illegal behavior, or on partisan political activity in 
p.(None):  violent areas, where signed forms may potentially increase risks to the participants. Here the respondent's signed form could expose him or her to harm 
p.(None):  from state authorities or private vendettas. 
p.(None):   
p.(None):  Your IRB can authorize a waiver of written consent forms or other formal consent procedures under specified conditions. (See 45 CFR Part 46 
p.(None):  §116)(See 45 CFR Part 46 §117 )(See FAQ Informed Consent in Social and Behavioral Science)(See FAQ When a Signed Consent Form can 
p.(None):  Harm a Participant 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What if the researcher and the IRB disagree about the risk and appropriate action to be taken in the project? 
p.(None):   
p.(None):  The regulations do not discuss procedures for resolving conflicts between IRBs and researchers. Each institution should develop a written set of 
p.(None):  procedures for resolving differences of opinion. For example, perhaps a conversation could be scheduled between the research office administrator, the 
p.(None):  IRB chair, the researcher, outside consultants if deemed appropriate, and the funding agency representative. The major principles to be respected in any 
p.(None):  mediation procedure should include: 
p.(None):   
p.(None):  Limitation of risk of harm to human subjects. 
...
Searching for indicator partisan:
(return to top)
           
p.(None):  specific research project is the most appropriate government interpretation of the regulations with respect to that project. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What flexibility does the IRB have in applying the Common Rule? 
p.(None):   
p.(None):  The purpose of the federal regulations is to obtain the benefits of research for society while minimizing the risks of harm to human research participants. 
p.(None):  To further this goal the regulations encourage IRBs to make independent informed judgments, using common sense and expertise to apply a standard set 
p.(None):  of rules to diverse research situations, and to document the procedure followed in arriving at its judgment. 
p.(None):   
p.(None):  For example, sections §116 (c), (d), and §117 (c) discuss flexible procedures that may be used to administer informed consent, depending on the specifics 
p.(None):  of the research project. Informed consent is the procedure by which the researcher respects the autonomy of research participants (as discussed in the 
p.(None):  The Belmont Report). Since written documentation of informed consent can create harm for research participants in some circumstances, it should not be 
p.(None):  routinely required in all cases. For example, research should not use signed forms when the focus is on illegal behavior, or on partisan political activity in 
p.(None):  violent areas, where signed forms may potentially increase risks to the participants. Here the respondent's signed form could expose him or her to harm 
p.(None):  from state authorities or private vendettas. 
p.(None):   
p.(None):  Your IRB can authorize a waiver of written consent forms or other formal consent procedures under specified conditions. (See 45 CFR Part 46 
p.(None):  §116)(See 45 CFR Part 46 §117 )(See FAQ Informed Consent in Social and Behavioral Science)(See FAQ When a Signed Consent Form can 
p.(None):  Harm a Participant 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What if the researcher and the IRB disagree about the risk and appropriate action to be taken in the project? 
p.(None):   
p.(None):  The regulations do not discuss procedures for resolving conflicts between IRBs and researchers. Each institution should develop a written set of 
p.(None):  procedures for resolving differences of opinion. For example, perhaps a conversation could be scheduled between the research office administrator, the 
p.(None):  IRB chair, the researcher, outside consultants if deemed appropriate, and the funding agency representative. The major principles to be respected in any 
p.(None):  mediation procedure should include: 
p.(None):   
...
Political / vulnerable
Searching for indicator vulnerable:
(return to top)
           
p.(None):  accept an assurance issued by DHHS as a commitment that the institution will follow the regulations. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What are the Subparts of the regulations? 
p.(None):   
p.(None):  Subpart A, known as the Common Rule, relates to human subjects research in general. The other subparts (B, C and D of the DHHS version) relate to 
p.(None):  special research populations and have been adopted by some agencies. (See http://www.hhs.gov/ohrp/humansubjects/guidance/45cfr46.html) 
p.(None):   
p.(None):  Subpart B relates to research on fetuses, neonates, and pregnant women; 
p.(None):   
p.(None):  Subpart C relates to research with prisoners, and in general stipulates that the IRB include a prisoner or prisoner representative (among other 
p.(None):  requirements); 
p.(None):   
p.(None):  Subpart D relates to research with children, and in general mandates that adequate provisions be made for soliciting the assent of children and permission 
p.(None):  of their parents or guardians. 
p.(None):   
p.(None):  NSF has chosen not to adopt subparts B, C, and D. Only subpart A regulations are necessarily relevant for NSF funded projects. The Common Rule 
p.(None):  indicates that vulnerable populations include subjects, such as children, prisoners, pregnant women, or handicapped or mentally disabled persons. 
p.(None):   
p.(None):  Institutions which follow subparts B, C, and D for DHHS-sponsored research may not need to do so for NSF-sponsored projects. 
p.(None):   
p.(None):  Many institutions have signed Federal Wide Assurances with DHHS in which they may have agreed to apply the subparts to all research. If this poses a 
p.(None):  problem in conducting the NSF-sponsored research, institutions are advised to consult with their NSF program officer. In many cases problems are 
p.(None):  caused not by the regulations themselves, but by overly restrictive interpretations by IRBs. For example, Subpart C's mandate of an IRB member who is 
p.(None):  "a prisoner, or prisoner's representative with appropriate background and experience ..." can be met by a suitable member of the sociology or criminal 
p.(None):  justice faculty, the regulations do not require a formal affiliation with a prisoner association. Subpart D's mandate of informed consent is subject to "the 
p.(None):  extent that consent is required by §46.116 of Subpart A..." and does not automatically and invariably require written consent forms. As § 46.116.d. (same 
...
           
p.(None):  exempt under preceding exemption if human subjects are elected public officials, and if federal statutes require confidentiality of identifiable 
p.(None):  information. ((§ 101 (b) (3)) 
p.(None):   
p.(None):  Research involving the collection or study of existing data if publicly available or unidentifiable. ((§ 101 (b) (4)) 
p.(None):   
p.(None):  Research and demonstration projects designed to study public benefit or service programs. ((§ 101 (b) (5)) 
p.(None):   
p.(None):  Taste and food quality evaluation and consumer acceptance studies. ((§ 101 (b) (6)) 
p.(None):   
p.(None):  Exempt research is free from continued oversight by the IRB although the institution (either a designated IRB representative, the entire committee, or 
p.(None):  some other institutional authority), not the researcher, must determine that the project is exempt in the first place. Usually this is accomplished through a 
p.(None):  brief review process. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Does this mean that all questionnaire, educational test, and interview-based studies are exempt? 
p.(None):   
p.(None):  Such studies are exempt UNLESS: 
p.(None):   
p.(None):  Specific individual human subjects can be identified directly or through identifiers linked to them (i.e., their names, telephone numbers or other 
p.(None):  unique identifiers are recorded in the data) 
p.(None):   
p.(None):  AND disclosure of their responses could place them at risk of: 
p.(None):   
p.(None):  criminal/civil liability, or 
p.(None):  damage to their financial standing, employability, or reputation 
p.(None):   
p.(None):  Research on vulnerable populations may not be exempt. Consult with your local IRB or NSF program officer for guidance in specific cases. 
p.(None):   
p.(None):  When the subjects are public officials or candidates for public office, the research is exempt even when identifiers are included or disclosure might be 
p.(None):  harmful. 
p.(None):   
p.(None):  When the subjects are public officials or candidates for public office, the research is exempt even when identifiers are included or disclosure might be 
p.(None):  harmful. However, all research should be bound by professional ethics and respect for respondents to guard their privacy whether or not the research is 
p.(None):  exempt (unless the participants understand that their information may be made public and permission is granted). 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Does this mean that I cannot collect or record personal identifying information? 
p.(None):   
p.(None):  IF you collect information on individually identified participants from publicly available sources, the project may be in the exempt category as long as that 
p.(None):  information would not cause harm to the individual if it were known. For example, recording observations of everyday public behavior, or interviewing 
p.(None):  people about non-controversial opinions or preferences. 
p.(None):   
p.(None):  Does this mean that I cannot collect or record personal identifying information when studying sensitive topics? 
p.(None):   
p.(None):  IF the personal identifying information could harm the participant, then the project would need to be reviewed by the IRB. The IRB might require informed 
...
           
p.(None):  procedures for assuring confidentiality of research data, state laws concerning mandated reporting of child or elder abuse, etc. 
p.(None):   
p.(None):  Offer to consult with researchers as they design their research and as they prepare their protocols. 
p.(None):   
p.(None):  Ensure that the IRB includes members who are, themselves, researchers and who are knowledgeable about research design and human subjects 
p.(None):  protections. Have a directory available to researchers to identify which IRB staff or member to consult with for any given type of problem. 
p.(None):   
p.(None):  Be willing to work with researchers to help them improve their protocols rather than rejecting problematic protocols. 
p.(None):   
p.(None):   
p.(None):  Remember that the time you spend being helpful before a protocol is finished saves everyone's time, creates goodwill, and earns the IRB a reputation that 
p.(None):  will make it easier to recruit top notch researchers to your institution and to the IRB membership. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Advice to Researchers on Dealing with IRBs 
p.(None):   
p.(None):  Researchers can do several things to avoid problems with IRB review: 
p.(None):   
p.(None):  become familiar with the federal policies and regulations and with the local IRB procedures, 
p.(None):   
p.(None):  provide the IRB with sufficient information to allow them to accomplish their job, 
p.(None):   
p.(None):  volunteer to serve on the IRB. 
p.(None):   
p.(None):  Consult with the IRB as soon as you begin to consider doing sensitive research or research on a vulnerable population; learn their concerns and 
p.(None):  recommendations; ask them the best ways to solve the problems they mention. If they suggest "solutions" you cannot live with (e.g., getting written 
p.(None):  consent when you know this would be virtually impossible, or would compromise your sample, rendering the research invalid) let them know their 
p.(None):  requirement means you can't do the research. If they cannot respond in a way that is helpful, consult with the following and provide written 
p.(None):  documentation of what you learned from them. 
p.(None):   
p.(None):  Refer to your scientific society's code of ethics or discuss the issue with representatives of your scientific society. Official representatives of your 
p.(None):  scientific society may be unwilling to give advice, but may refer you to members who are knowledgeable and who might advise you. 
p.(None):   
p.(None):  Consult with the agency (actually or potentially) funding your research. 
p.(None):   
p.(None):  Consult with researchers who have worked on this kind of sensitive research and learn how they and their IRB resolved the problem. 
p.(None):   
p.(None):  Consult the ethics/methodology literature on this issue. 
p.(None):   
p.(None):   Check the Federal Regulations to see what options they allow, but which your IRB may not wish to follow. Remember that your IRB has the option 
p.(None):  of being stricter than the Regulations, but it may be useful to remind them that you are operating within the Regulations. 
p.(None):   
p.(None):  Consult OHRP guidance at http://www.hhs.gov/ohrp/policy/index.html#irbs. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  How should IRBs deal with research in foreign countries? 
p.(None):   
...
Health / Cognitive Impairment
Searching for indicator cognitive:
(return to top)
           
p.(None):  behavioral science projects where risks and benefits are minimal (e.g., many surveys) an extensive statement is not appropriate. 
p.(None):   
p.(None):   
p.(None):  3. Justice. The principle of justice concerns the distribution of the burden of research and the reaping of possible benefits of the research as well as 
p.(None):  the procedural fairness of the research as experienced by the participants. It is relevant to the selection of subjects; the burden of risky research 
p.(None):  should not fall disproportionately on stigmatized or institutionalized persons. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  "Do I make myself clear?" (Vignette) 
p.(None):   
p.(None):  Dr. Strunk prides himself on his ability to communicate clearly, in terms appropriate to his audience. Strunk feels special responsibility to communicate 
p.(None):  clearly when he solicits subjects for his research on children's responses to literature. He follows the principle of respect for the autonomy of human 
p.(None):  subjects, as enunciated in the Belmont Report. In Strunk's view, that means, among other things, that the informed consent must be understandable to 
p.(None):  these parents and to their children. He realizes that comprehension is influenced by emotional as well as cognitive factors. Unusually formal or legalistic 
p.(None):  language will obscure meaning that otherwise would be clear if friendly, informal and familiar forms of address and vocabulary were used. 
p.(None):   
p.(None):  Accordingly, Strunk prepared parental permission and child assent forms in clear friendly language. Since he was a member of the school's PTA, served 
p.(None):  on various PTA committees and was generally known to the teachers and other parents as Bill Strunk, he signed his correspondence with parents as "Bill 
p.(None):  Strunk." Strunk was flabbergasted when his IRB sent him back a very long "corrected" version of his assent and permission letters, rewritten in complex 
p.(None):  "legalese," to be signed as "Dr. William Strunk." Who was right? 
p.(None):   
p.(None):  Strunk was right. The federal regulations require an explanation that subjects can understand. In fact, the University of South Florida recently was sued by 
p.(None):  subjects (successfully for $3,800,000) claiming that the consent form was not written in a manner they could understand. 
p.(None):  (http://www.researchroundtable.com/usfcase.htm). University lawyers who rewrite such documents may fail to realize that clear communication (in terms 
p.(None):  the subjects can understand) is what the law requires. Language that is unclear, alarming, and incomprehensible to the subject does not protect the 
p.(None):  institution and is not in fact "legally correct." 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What exemptions of the Common Rule are most appropriate to social science research? 
p.(None):   
p.(None):  The Common Rule states that there are 6 categories of research that are exempt (from full IRB review). The first 4 of the exemptions will be most 
p.(None):  appropriate for social science research: 
p.(None):   
p.(None):  Research in educational settings involving educational practices. (§ 101 (b) (1)) 
p.(None):   
p.(None):  Research involving educational tests (cognitive, diagnostic, aptitude, achievement), surveys, interviews, or observations of public behavior, unless 
p.(None):  subjects are identified and disclosure of responses would involve more than reasonable risk. (§ 101 (b) (2)) 
p.(None):   
p.(None):  Research involving educational tests (cognitive, diagnostic, aptitude, achievement), surveys, interviews, or observations of public behavior not 
p.(None):  exempt under preceding exemption if human subjects are elected public officials, and if federal statutes require confidentiality of identifiable 
p.(None):  information. ((§ 101 (b) (3)) 
p.(None):   
p.(None):  Research involving the collection or study of existing data if publicly available or unidentifiable. ((§ 101 (b) (4)) 
p.(None):   
p.(None):  Research and demonstration projects designed to study public benefit or service programs. ((§ 101 (b) (5)) 
p.(None):   
p.(None):  Taste and food quality evaluation and consumer acceptance studies. ((§ 101 (b) (6)) 
p.(None):   
p.(None):  Exempt research is free from continued oversight by the IRB although the institution (either a designated IRB representative, the entire committee, or 
p.(None):  some other institutional authority), not the researcher, must determine that the project is exempt in the first place. Usually this is accomplished through a 
p.(None):  brief review process. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Does this mean that all questionnaire, educational test, and interview-based studies are exempt? 
p.(None):   
p.(None):  Such studies are exempt UNLESS: 
p.(None):   
p.(None):  Specific individual human subjects can be identified directly or through identifiers linked to them (i.e., their names, telephone numbers or other 
p.(None):  unique identifiers are recorded in the data) 
p.(None):   
p.(None):  AND disclosure of their responses could place them at risk of: 
p.(None):   
p.(None):  criminal/civil liability, or 
p.(None):  damage to their financial standing, employability, or reputation 
p.(None):   
...
Health / Drug Usage
Searching for indicator drug:
(return to top)
           
p.(None):  extent that consent is required by §46.116 of Subpart A..." and does not automatically and invariably require written consent forms. As § 46.116.d. (same 
p.(None):  as § 690.116.d) specifies, informed consent can be modified or waived for a project which: 
p.(None):   
p.(None):  could not practicably be carried out without the waiver or alteration, 
p.(None):  is of no more than minimal risk, 
p.(None):  the waiver or alteration will not adversely affect the rights and welfare of the subjects, 
p.(None):  where appropriate, the subjects will be provided with additional pertinent information after participation. 
p.(None):   
p.(None):  These conditions cover a lot of research supported by the National Science Foundation. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Original Agencies, Departments and Offices approving the Common Rule (1991) 
p.(None):   
p.(None):  Agency for International Development 
p.(None):  Consumer Product Safety Commission 
p.(None):  Department of Agriculture 
p.(None):  Department of Commerce 
p.(None):  Department of Defense 
p.(None):  Department of Education 
p.(None):  Department of Energy 
p.(None):  Department of Health and Human Services 
p.(None):  Centers for Disease Control 
p.(None):  Food and Drug Administration 
p.(None):  National Institutes of Health 
p.(None):  Department of Housing and Urban Development 
p.(None):  Department of Justice 
p.(None):  Department of Veterans Affairs 
p.(None):  Department of Transportation 
p.(None):  Environmental Protection Agency 
p.(None):  National Aeronautics and Space Administration 
p.(None):  National Science Foundation 
p.(None):  In addition, the Central Intelligence Agency and Social Security Administration are required by Executive Order and statute, respectively, to follow the 
p.(None):  DHHS regulations (including all subparts). 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What parts of the regulations are applicable to my institution? 
p.(None):   
p.(None):  The Common Rule (subpart A of the DHHS regulations) has been adopted by many federal agencies involved in research. 
p.(None):   
p.(None):  NSF has not adopted subparts B, C and D of the DHHS regulations, and they are not necessarily applicable to NSF awards. (See Vignette: Child 
p.(None):  language studies in "Freedonia") 
p.(None):   
p.(None):  Specific institutions may have adopted policies that go beyond NSF's requirements. In general, institutions are free to adopt policies as they see fit, above 
p.(None):  and beyond the Common Rule. IRBs or researchers with specific questions about projects should contact the relevant agency program officer for 
p.(None):  guidance. (See FAQ: What are the Subparts of the regulations?) 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
...
           
p.(None):  responses could harm the respondent, require full review. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  How should research involving "snowball samples" be handled from a human subjects perspective? 
p.(None):   
p.(None):  In a "snowball sample" each respondent is asked to suggest other persons for inclusion in the research. These persons are then contacted to see if they 
p.(None):  wish to serve as research participants. This is a valid procedure often used by investigators who seek to recruit from populations for which adequate 
p.(None):  sample frames are not available. For example, a researcher seeking to study patterns of informal leadership in a community may ask individuals to name 
p.(None):  others who are influential in a community. Similarly, studies of the diffusion of ideas and acceptance of new technologies can be traced through scientific 
p.(None):  and medical communities. 
p.(None):   
p.(None):  Snowball samples in and of themselves do not necessarily pose a risk for human subjects. IRBs should follow the normal procedure of examining the 
p.(None):  project for risks of harm commensurate with normal life. Each respondent is given the opportunity to participate or to decline participation. 
p.(None):   
p.(None):  For studies studying sensitive topics, study protocols should adhere to the recommendations for confidentiality. For example, studies of networks of drug 
p.(None):  users or tracking sex partners of HIV+ cases require extreme caution with information gathered from one subject about another. All information should be 
p.(None):  treated confidentially. (See Certificate of Confidentiality) 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Is written documentation of informed consent required in ethnographic research? 
p.(None):   
p.(None):  Ethnographic research interviews are not necessarily formal interviews with a questionnaire. They often are simple conversations on the respondent's 
p.(None):  home ground (as opposed to the researcher's laboratory). Competent adult individuals have the option of participating and responding to questions or the 
p.(None):  respondent has the choice of not allowing the researcher access to his or her person, ignoring requests for information, giving misleading replies, or 
p.(None):  responding to requests in other ways that preserve the respondent's dignity and independence. Informed consent is usually implied by the respondent's 
p.(None):  willingness to talk to the researcher. 
p.(None):   
p.(None):  In most ethnographic projects a request for a written, formal consent would seem suspicious, inappropriate, rude and perhaps even threatening. In other 
p.(None):  words, written consent can potentially harm the research interaction and generate rather than ameliorate concern in respondents. In many parts of the 
...
Health / HIV/AIDS
Searching for indicator HIV:
(return to top)
           
p.(None):  responses could harm the respondent, require full review. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  How should research involving "snowball samples" be handled from a human subjects perspective? 
p.(None):   
p.(None):  In a "snowball sample" each respondent is asked to suggest other persons for inclusion in the research. These persons are then contacted to see if they 
p.(None):  wish to serve as research participants. This is a valid procedure often used by investigators who seek to recruit from populations for which adequate 
p.(None):  sample frames are not available. For example, a researcher seeking to study patterns of informal leadership in a community may ask individuals to name 
p.(None):  others who are influential in a community. Similarly, studies of the diffusion of ideas and acceptance of new technologies can be traced through scientific 
p.(None):  and medical communities. 
p.(None):   
p.(None):  Snowball samples in and of themselves do not necessarily pose a risk for human subjects. IRBs should follow the normal procedure of examining the 
p.(None):  project for risks of harm commensurate with normal life. Each respondent is given the opportunity to participate or to decline participation. 
p.(None):   
p.(None):  For studies studying sensitive topics, study protocols should adhere to the recommendations for confidentiality. For example, studies of networks of drug 
p.(None):  users or tracking sex partners of HIV+ cases require extreme caution with information gathered from one subject about another. All information should be 
p.(None):  treated confidentially. (See Certificate of Confidentiality) 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Is written documentation of informed consent required in ethnographic research? 
p.(None):   
p.(None):  Ethnographic research interviews are not necessarily formal interviews with a questionnaire. They often are simple conversations on the respondent's 
p.(None):  home ground (as opposed to the researcher's laboratory). Competent adult individuals have the option of participating and responding to questions or the 
p.(None):  respondent has the choice of not allowing the researcher access to his or her person, ignoring requests for information, giving misleading replies, or 
p.(None):  responding to requests in other ways that preserve the respondent's dignity and independence. Informed consent is usually implied by the respondent's 
p.(None):  willingness to talk to the researcher. 
p.(None):   
p.(None):  In most ethnographic projects a request for a written, formal consent would seem suspicious, inappropriate, rude and perhaps even threatening. In other 
p.(None):  words, written consent can potentially harm the research interaction and generate rather than ameliorate concern in respondents. In many parts of the 
p.(None):  world, for many people with a history of exploitation and unfair dealings with authorities and government, a request to sign a form is fraught with danger. 
...
Health / Healthy People
Searching for indicator volunteers:
(return to top)
           
p.(None):  another to be conducted at the airport, where they were not. The IRB demanded an explanation of why subjects should be paid at the beach but not the 
p.(None):  airport. They agreed to the study after the investigator explained that that people at the beach are busy having fun, so you have to offer to pay them to get 
p.(None):  them to take the time to help you; but people at the airport are bored, and they are often quite happy to have something to fill the time. 
p.(None):   
p.(None):  Principles of justice and equity of recruitment should dictate the researchers selection procedures, but they do not require that merely because 
p.(None):  people are involved in the same study that they must be paid the same amount regardless of circumstances. In some circumstances, with special 
p.(None):  justification, different participants may be paid different amounts. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  "Research-Like Tools Used as Teaching Tools" (Vignette) 
p.(None):   
p.(None):  Professor Speakwell teaches undergraduate courses in linguistics in which he demonstrates variability in both the syntax and vocabulary of spoken 
p.(None):  expression across individuals and cultures. Professor Speakwell involves his students in active learning in the classroom. He brings recordings of spoken 
p.(None):  English to class and calls on students to say whether they find the example grammatical and to explain or guess what the utterance means. He also 
p.(None):  requires students to code narratives to show the part of speech that various words occupy in utterances. 
p.(None):   
p.(None):  Professor Researchit, a colleague of Speakwell's, uses these same techniques with undergraduate student volunteers to do research on variables that 
p.(None):  predict understanding of utterances. Dr. Researchit develops a protocol, and obtains IRB approval and students' signed informed consent. Professor 
p.(None):  Researchit tells Speakwell that he had better get IRB approval and student informed consent since he is doing the same thing. Is Researchit correct? 
p.(None):   
p.(None):  No, Speakwell is not doing the same thing. Speakwell is teaching, not doing research. Even if Speakwell or some of his students record systematic data 
p.(None):  and treat this as a classroom experiment, it is being done for teaching and demonstration purposes. It is part of what students signed up for when they 
p.(None):  enrolled in Speakwell's class. Just as Speakwell is entitled to give exams, require homework, grade students on classroom participation, and so on, he is 
p.(None):  entitled to employ this kind of classroom activity as part of his teaching. 
p.(None):   
p.(None):  The requirement of IRB review would be an inappropriate infringement on Speakwell's academic freedom. There is no point in having students sign a 
p.(None):  consent form. Participation is part of the coursework for which they enrolled. Moreover it would add inappropriately to the IRB workload. The Federal 
p.(None):  Regulations are entirely clear on this point. Activities that require IRB review are strictly limited to research; CFR 46.112 (d) defines research: 
p.(None):   
p.(None):  (d) Research means a systematic investigation, including research development, testing and evaluation, designed to develop or contribute to 
...
           
p.(None):  on Statistical Disclosure and Disclosure-Avoidance Techniques", 1978 (NTIS PB86-2115/AS) and 22, "Report on Statistical Disclosure Limitation 
p.(None):  Methodology", 1994 (NTIS PB94-165305) respectively). They can be found them on the FCSM's web site at http://www.fcsm.gov. 
p.(None):   
p.(None):  FCSM has a standing "Confidentiality and Data Access Committee" (CDAC) which has produced several useful documents. In particular, CDAC's 
p.(None):  "Checklist on Disclosure Potential of Proposed Data Releases" is a useful resource. 
p.(None):   
p.(None):  The U.S. Bureau of the Census has recently cooperated with a private press to publish "Confidentiality, Disclosure, and Data Access, Theory and 
p.(None):  Practical Applications for Statistical Agencies". The book is also based on work by the Committee on National Statistics at the National Academy of 
p.(None):  Sciences-National Research Council. The book is edited by Pat Doyle, Julia Lane, Jules Theeuwes and Laura Zayatz, and published by Elsevier-North 
p.(None):  Holland, 2001. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  "What is Private Information?" (Vignette) 
p.(None):   
p.(None):  Professor Studyphud obtained a prestigious grant for longitudinal research on the outcomes of graduate training in the physical sciences. She will assess 
p.(None):  student values and ethics upon admission to graduate school, the kinds of scientific and personal values imparted in doctoral training, and ethical 
p.(None):  decisions made in career choices and performance as measured five years post-Ph.D. An important part of Studyphud's longitudinal research design is to 
p.(None):  recruit volunteers when they are admitted to the university's Ph.D. program in any of several major physical science departments. Studyphud plans to 
p.(None):  obtain from each program the list of graduate students admitted that year. After the student has enrolled, she plans to send the student, via campus mail, 
p.(None):  an introduction of herself (a professor of psychology), a description of her longitudinal study, an invitation to participate, and a standard consent form. 
p.(None):   
p.(None):  Studyphud showed her research protocol to a colleague who is on the IRB to inquire whether the format was correct. She was surprised when her 
p.(None):  colleague objected to her obtaining a list of students admitted to the Ph.D. program. Her colleague claimed that Studyphud has no right to that list since 
p.(None):  the fact of students' admission to Ph.D. programs is a private event. The colleague said that the only way Studyphud could contact the students is by 
p.(None):  placing a more general solicitation in all doctoral students' mailboxes asking them to contact her if they qualified (as new students) and were interested in 
p.(None):  participating. Was Studyphud's colleague right? 
p.(None):   
p.(None):  Studyphud's colleague was wrong. A list of names of students admitted to a graduate program is not normally private. With students permission, 
p.(None):  departmental newsletters will list and briefly describe these students to welcome them to the program. Lists of their names and a few other identifying 
p.(None):  characteristics will be distributed to faculty, staff and existing doctoral students. 
p.(None):   
p.(None):  The distinction between public and private information can be ambiguous in some cases. Some information that becomes part of university records, such 
p.(None):  as students' financial status or that of their parents, would arguably be private and covered by the federal law called the Family Educational Rights and 
p.(None):  Privacy Act, also known as FERPA or the Buckley Amendment. And clearly if Studyphud were seeking volunteers who had smoked marijuana as 
p.(None):  undergraduates or who had certain medical conditions, she would be dealing with private information. 
p.(None):   
p.(None):  The Common Rule provides a general and satisfactory description of identifiable private information whose confidentiality should be discussed with the 
p.(None):  respondent, such as medical records (§ 102 (f) (2)). 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Is ethnography covered by the Common Rule? 
p.(None):   
p.(None):  Ethnography refers to a type of social science research where the researcher studies human behavior in a natural setting, rather than in a laboratory, for 
p.(None):  purposes of understanding the culture of that particular population. Research may involve observations and/or interviews with people in that setting. Since 
p.(None):  human participants are involved, the research is covered by the regulations. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Is ethnographic research exempt? 
p.(None):   
p.(None):  Depending on the specifics of the research project, ethnographic research may be exempt, qualify for expedited review, or require full IRB review. 
p.(None):  Although research involving public behavior is exempt under the Common Rule, projects focusing on sensitive information, where the disclosure of 
p.(None):  responses could harm the respondent, require full review. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  How should research involving "snowball samples" be handled from a human subjects perspective? 
p.(None):   
...
Health / Mentally Disabled
Searching for indicator disabled:
(return to top)
           
p.(None):  special research populations and have been adopted by some agencies. (See http://www.hhs.gov/ohrp/humansubjects/guidance/45cfr46.html) 
p.(None):   
p.(None):  Subpart B relates to research on fetuses, neonates, and pregnant women; 
p.(None):   
p.(None):  Subpart C relates to research with prisoners, and in general stipulates that the IRB include a prisoner or prisoner representative (among other 
p.(None):  requirements); 
p.(None):   
p.(None):  Subpart D relates to research with children, and in general mandates that adequate provisions be made for soliciting the assent of children and permission 
p.(None):  of their parents or guardians. 
p.(None):   
p.(None):  NSF has chosen not to adopt subparts B, C, and D. Only subpart A regulations are necessarily relevant for NSF funded projects. The Common Rule 
p.(None):  indicates that vulnerable populations include subjects, such as children, prisoners, pregnant women, or handicapped or mentally disabled persons. 
p.(None):   
p.(None):  Institutions which follow subparts B, C, and D for DHHS-sponsored research may not need to do so for NSF-sponsored projects. 
p.(None):   
p.(None):  Many institutions have signed Federal Wide Assurances with DHHS in which they may have agreed to apply the subparts to all research. If this poses a 
p.(None):  problem in conducting the NSF-sponsored research, institutions are advised to consult with their NSF program officer. In many cases problems are 
p.(None):  caused not by the regulations themselves, but by overly restrictive interpretations by IRBs. For example, Subpart C's mandate of an IRB member who is 
p.(None):  "a prisoner, or prisoner's representative with appropriate background and experience ..." can be met by a suitable member of the sociology or criminal 
p.(None):  justice faculty, the regulations do not require a formal affiliation with a prisoner association. Subpart D's mandate of informed consent is subject to "the 
p.(None):  extent that consent is required by §46.116 of Subpart A..." and does not automatically and invariably require written consent forms. As § 46.116.d. (same 
p.(None):  as § 690.116.d) specifies, informed consent can be modified or waived for a project which: 
p.(None):   
p.(None):  could not practicably be carried out without the waiver or alteration, 
p.(None):  is of no more than minimal risk, 
...
Searching for indicator mentally:
(return to top)
           
p.(None):  special research populations and have been adopted by some agencies. (See http://www.hhs.gov/ohrp/humansubjects/guidance/45cfr46.html) 
p.(None):   
p.(None):  Subpart B relates to research on fetuses, neonates, and pregnant women; 
p.(None):   
p.(None):  Subpart C relates to research with prisoners, and in general stipulates that the IRB include a prisoner or prisoner representative (among other 
p.(None):  requirements); 
p.(None):   
p.(None):  Subpart D relates to research with children, and in general mandates that adequate provisions be made for soliciting the assent of children and permission 
p.(None):  of their parents or guardians. 
p.(None):   
p.(None):  NSF has chosen not to adopt subparts B, C, and D. Only subpart A regulations are necessarily relevant for NSF funded projects. The Common Rule 
p.(None):  indicates that vulnerable populations include subjects, such as children, prisoners, pregnant women, or handicapped or mentally disabled persons. 
p.(None):   
p.(None):  Institutions which follow subparts B, C, and D for DHHS-sponsored research may not need to do so for NSF-sponsored projects. 
p.(None):   
p.(None):  Many institutions have signed Federal Wide Assurances with DHHS in which they may have agreed to apply the subparts to all research. If this poses a 
p.(None):  problem in conducting the NSF-sponsored research, institutions are advised to consult with their NSF program officer. In many cases problems are 
p.(None):  caused not by the regulations themselves, but by overly restrictive interpretations by IRBs. For example, Subpart C's mandate of an IRB member who is 
p.(None):  "a prisoner, or prisoner's representative with appropriate background and experience ..." can be met by a suitable member of the sociology or criminal 
p.(None):  justice faculty, the regulations do not require a formal affiliation with a prisoner association. Subpart D's mandate of informed consent is subject to "the 
p.(None):  extent that consent is required by §46.116 of Subpart A..." and does not automatically and invariably require written consent forms. As § 46.116.d. (same 
p.(None):  as § 690.116.d) specifies, informed consent can be modified or waived for a project which: 
p.(None):   
p.(None):  could not practicably be carried out without the waiver or alteration, 
p.(None):  is of no more than minimal risk, 
...
Health / Motherhood/Family
Searching for indicator family:
(return to top)
           
p.(None):  an introduction of herself (a professor of psychology), a description of her longitudinal study, an invitation to participate, and a standard consent form. 
p.(None):   
p.(None):  Studyphud showed her research protocol to a colleague who is on the IRB to inquire whether the format was correct. She was surprised when her 
p.(None):  colleague objected to her obtaining a list of students admitted to the Ph.D. program. Her colleague claimed that Studyphud has no right to that list since 
p.(None):  the fact of students' admission to Ph.D. programs is a private event. The colleague said that the only way Studyphud could contact the students is by 
p.(None):  placing a more general solicitation in all doctoral students' mailboxes asking them to contact her if they qualified (as new students) and were interested in 
p.(None):  participating. Was Studyphud's colleague right? 
p.(None):   
p.(None):  Studyphud's colleague was wrong. A list of names of students admitted to a graduate program is not normally private. With students permission, 
p.(None):  departmental newsletters will list and briefly describe these students to welcome them to the program. Lists of their names and a few other identifying 
p.(None):  characteristics will be distributed to faculty, staff and existing doctoral students. 
p.(None):   
p.(None):  The distinction between public and private information can be ambiguous in some cases. Some information that becomes part of university records, such 
p.(None):  as students' financial status or that of their parents, would arguably be private and covered by the federal law called the Family Educational Rights and 
p.(None):  Privacy Act, also known as FERPA or the Buckley Amendment. And clearly if Studyphud were seeking volunteers who had smoked marijuana as 
p.(None):  undergraduates or who had certain medical conditions, she would be dealing with private information. 
p.(None):   
p.(None):  The Common Rule provides a general and satisfactory description of identifiable private information whose confidentiality should be discussed with the 
p.(None):  respondent, such as medical records (§ 102 (f) (2)). 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Is ethnography covered by the Common Rule? 
p.(None):   
p.(None):  Ethnography refers to a type of social science research where the researcher studies human behavior in a natural setting, rather than in a laboratory, for 
p.(None):  purposes of understanding the culture of that particular population. Research may involve observations and/or interviews with people in that setting. Since 
p.(None):  human participants are involved, the research is covered by the regulations. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Is ethnographic research exempt? 
p.(None):   
p.(None):  Depending on the specifics of the research project, ethnographic research may be exempt, qualify for expedited review, or require full IRB review. 
p.(None):  Although research involving public behavior is exempt under the Common Rule, projects focusing on sensitive information, where the disclosure of 
p.(None):  responses could harm the respondent, require full review. 
p.(None):   
...
Health / Pregnant
Searching for indicator pregnant:
(return to top)
           
p.(None):  (§) numbers. The text of the regulation in each case is identical. 
p.(None):   
p.(None):  Thus NSF's regulation is listed as 45 CFR Part 690 §101124, while DHHS' regulation, consisting of the identical text, is 45 CFR Part 46 §101124. 
p.(None):   
p.(None):  Some agencies have adopted additional regulations ("subparts", see below) dealing with special populations. The Common Rule is also referred to as 
p.(None):  "Subpart A" of the DHHS regulations of human research 45 CFR 46, to distinguish it from the other subparts listed below. 
p.(None):   
p.(None):  Institutions assure that they will comply with the regulations regarding human subjects research. This assurance is normally filed with the appropriate 
p.(None):  federal agency that sponsors their research. Most universities have assurances from DHHS. Under the Common Rule, each agency (e.g., NSF) agrees to 
p.(None):  accept an assurance issued by DHHS as a commitment that the institution will follow the regulations. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What are the Subparts of the regulations? 
p.(None):   
p.(None):  Subpart A, known as the Common Rule, relates to human subjects research in general. The other subparts (B, C and D of the DHHS version) relate to 
p.(None):  special research populations and have been adopted by some agencies. (See http://www.hhs.gov/ohrp/humansubjects/guidance/45cfr46.html) 
p.(None):   
p.(None):  Subpart B relates to research on fetuses, neonates, and pregnant women; 
p.(None):   
p.(None):  Subpart C relates to research with prisoners, and in general stipulates that the IRB include a prisoner or prisoner representative (among other 
p.(None):  requirements); 
p.(None):   
p.(None):  Subpart D relates to research with children, and in general mandates that adequate provisions be made for soliciting the assent of children and permission 
p.(None):  of their parents or guardians. 
p.(None):   
p.(None):  NSF has chosen not to adopt subparts B, C, and D. Only subpart A regulations are necessarily relevant for NSF funded projects. The Common Rule 
p.(None):  indicates that vulnerable populations include subjects, such as children, prisoners, pregnant women, or handicapped or mentally disabled persons. 
p.(None):   
p.(None):  Institutions which follow subparts B, C, and D for DHHS-sponsored research may not need to do so for NSF-sponsored projects. 
p.(None):   
p.(None):  Many institutions have signed Federal Wide Assurances with DHHS in which they may have agreed to apply the subparts to all research. If this poses a 
p.(None):  problem in conducting the NSF-sponsored research, institutions are advised to consult with their NSF program officer. In many cases problems are 
p.(None):  caused not by the regulations themselves, but by overly restrictive interpretations by IRBs. For example, Subpart C's mandate of an IRB member who is 
p.(None):  "a prisoner, or prisoner's representative with appropriate background and experience ..." can be met by a suitable member of the sociology or criminal 
p.(None):  justice faculty, the regulations do not require a formal affiliation with a prisoner association. Subpart D's mandate of informed consent is subject to "the 
p.(None):  extent that consent is required by §46.116 of Subpart A..." and does not automatically and invariably require written consent forms. As § 46.116.d. (same 
p.(None):  as § 690.116.d) specifies, informed consent can be modified or waived for a project which: 
p.(None):   
p.(None):  could not practicably be carried out without the waiver or alteration, 
...
Social / Access to Social Goods
Searching for indicator access:
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p.(None):  cause harm (§ 101 (b) (2)). Non-anonymous data recording can be exempt if any breach of confidentiality will not cause harm beyond that 
p.(None):  encountered in everyday life. Historical or other research where the respondent is fully aware that publication will involve names, or where the 
p.(None):  information is in public records, is not of concern here. 
p.(None):   
p.(None):  The Common Rule thus explicitly allows social and behavioral science research involving minimal risk to record the identity of respondents in the data. 
p.(None):  Whether or not the research is exempt, professional ethics and respect for persons mandate confidentiality unless the participant agrees to release the 
p.(None):  information. (§ 111 (a) (7)). 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What's the difference between privacy and confidentiality? 
p.(None):   
p.(None):  The Common rule defines "identifiable private information" as: 
p.(None):   
p.(None):  "information about behavior that occurs in a context in which an individual can reasonably expect that no observation or recording is taking place, and 
p.(None):  information which has been provided for specific purposes by an individual and which the individual can reasonably expect will not be made public (for 
p.(None):  example, a medical record)." (§690.102(f)) 
p.(None):   
p.(None):  PRIVACY refers to persons; and to their interest in controlling the access of others to themselves. 
p.(None):   
p.(None):  CONFIDENTIALITY refers to data; and to the agreements that are made about ways in which information is restricted to certain people. 
p.(None):  Identifiable information collected through research should be kept confidential as much as possible, as a matter of professional courtesy, no 
p.(None):  matter whether there is an identified harm or not in accordance with any promise made in the consent form (unless the research is such that 
p.(None):  respondents clearly understand that identities will be published, as in historical studies). 
p.(None):   
p.(None):  Successful confidentiality begins from the top, and implies a research culture which involves everyone, whether they normally have access to 
p.(None):  project files or not, being aware that identifiable private information must be kept confidential. 
p.(None):   
p.(None):  There are many techniques of insuring confidentiality and of de-identifying data, from simple to complex. (See FAQ: What are the major 
p.(None):  techniques for protecting confidentiality? The level of confidentiality should match the level of risk inherent in the project and with any 
p.(None):  promise made in the consent form. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What are the major techniques for protecting confidentiality? 
p.(None):   
p.(None):  The following techniques for assuring confidentiality are listed on a continuum according to the degree of prospective harm that may occur. 
p.(None):   
p.(None):  The simplest procedure to insure confidentiality is to substitute codes for personal identifiers and to store the key in a different locked physical 
p.(None):  location. 
p.(None):   
p.(None):  Another simple procedure is to remove the face sheet, which typically contains personal identifying information such as name, telephone, address. 
p.(None):   
p.(None):  Data with personal identifiers should be kept in locked files, and access to the data should be controlled by the researchers with specified 
p.(None):  procedures. 
p.(None):   
p.(None):  Research assistants should be educated in the importance of confidentiality and the potential risks of harm to subjects. In situations of serious risk 
p.(None):  assistants could be asked to sign confidentiality agreements. 
p.(None):   
p.(None):  Access to the data can be controlled electronically, perhaps by storing very sensitive data on computers not attached to a network where hackers 
p.(None):  could penetrate the files. Electronic files can be protected with key-words, and portable computers should be appropriately secured. 
p.(None):   
p.(None):  The data can be manipulated electronically, for example by encrypting data files. The data can also be recoded to eliminate identifiers by collapsing 
p.(None):  it into categories. 
p.(None):   
p.(None):  Research involving many data files on the same person can use anonymous linkage systems. 
p.(None):   
p.(None):  CERTIFICATES OF CONFIDENTIALITY: If research is contemplated on a topic which is likely to be subject to legal proceedings, the federal 
p.(None):  government can issue a "Certificate of Confidentiality" which shields the data from required disclosure by the researcher. Under section 301(d) of 
p.(None):  the Public Health Service Act (42 U.S.C. 241(d)) the Secretary of Health and Human Services may authorize persons engaged in biomedical, 
p.(None):  behavioral, clinical, or other research to protect the privacy of individuals who are the subjects of that research. This authority has been delegated 
p.(None):  to the National Institutes of Health (NIH). Persons authorized by the NIH to protect the privacy of research subjects may not be compelled in any 
p.(None):  Federal, State, or local civil, criminal, administrative, legislative, or other proceedings to identify them by name or other identifying characteristic. For 
p.(None):  additional information, see https://humansubjects.nih.gov/coc/background. For detailed application instructions, see 
p.(None):  https://grants.nih.gov/grants/policy/coc/appl_extramural.htm. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Where can I find information about confidentiality in data? 
p.(None):   
p.(None):  The National Research Council's Committee on National Statistics, part of the Division of Behavioral and Social Sciences and Education has a 
p.(None):  publication, "Improving Access to and Confidentiality of Research Data: Report of a Workshop" edited by Christopher Mackie and Norman Bradburn. 
p.(None):   
p.(None):  The U.S. Department of Justice, Office of Justice Programs, Bureau of Justice Statistics has a paper by Joan Sieber on its web site, "Summary of Human 
p.(None):  Subjects Protection Issues Related to Large Sample Surveys" which gives a comprehensive discussion and bibliography of these issues. 
p.(None):   
p.(None):  The Federal Committee on Statistical Methodology (FCSM), sponsored by OMB, has produced 2 reports on statistical methods to limit disclosure. "Report 
p.(None):  on Statistical Disclosure and Disclosure-Avoidance Techniques", 1978 (NTIS PB86-2115/AS) and 22, "Report on Statistical Disclosure Limitation 
p.(None):  Methodology", 1994 (NTIS PB94-165305) respectively). They can be found them on the FCSM's web site at http://www.fcsm.gov. 
p.(None):   
p.(None):  FCSM has a standing "Confidentiality and Data Access Committee" (CDAC) which has produced several useful documents. In particular, CDAC's 
p.(None):  "Checklist on Disclosure Potential of Proposed Data Releases" is a useful resource. 
p.(None):   
p.(None):  The U.S. Bureau of the Census has recently cooperated with a private press to publish "Confidentiality, Disclosure, and Data Access, Theory and 
p.(None):  Practical Applications for Statistical Agencies". The book is also based on work by the Committee on National Statistics at the National Academy of 
p.(None):  Sciences-National Research Council. The book is edited by Pat Doyle, Julia Lane, Jules Theeuwes and Laura Zayatz, and published by Elsevier-North 
p.(None):  Holland, 2001. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  "What is Private Information?" (Vignette) 
p.(None):   
p.(None):  Professor Studyphud obtained a prestigious grant for longitudinal research on the outcomes of graduate training in the physical sciences. She will assess 
p.(None):  student values and ethics upon admission to graduate school, the kinds of scientific and personal values imparted in doctoral training, and ethical 
p.(None):  decisions made in career choices and performance as measured five years post-Ph.D. An important part of Studyphud's longitudinal research design is to 
p.(None):  recruit volunteers when they are admitted to the university's Ph.D. program in any of several major physical science departments. Studyphud plans to 
p.(None):  obtain from each program the list of graduate students admitted that year. After the student has enrolled, she plans to send the student, via campus mail, 
p.(None):  an introduction of herself (a professor of psychology), a description of her longitudinal study, an invitation to participate, and a standard consent form. 
p.(None):   
p.(None):  Studyphud showed her research protocol to a colleague who is on the IRB to inquire whether the format was correct. She was surprised when her 
...
           
p.(None):  others who are influential in a community. Similarly, studies of the diffusion of ideas and acceptance of new technologies can be traced through scientific 
p.(None):  and medical communities. 
p.(None):   
p.(None):  Snowball samples in and of themselves do not necessarily pose a risk for human subjects. IRBs should follow the normal procedure of examining the 
p.(None):  project for risks of harm commensurate with normal life. Each respondent is given the opportunity to participate or to decline participation. 
p.(None):   
p.(None):  For studies studying sensitive topics, study protocols should adhere to the recommendations for confidentiality. For example, studies of networks of drug 
p.(None):  users or tracking sex partners of HIV+ cases require extreme caution with information gathered from one subject about another. All information should be 
p.(None):  treated confidentially. (See Certificate of Confidentiality) 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Is written documentation of informed consent required in ethnographic research? 
p.(None):   
p.(None):  Ethnographic research interviews are not necessarily formal interviews with a questionnaire. They often are simple conversations on the respondent's 
p.(None):  home ground (as opposed to the researcher's laboratory). Competent adult individuals have the option of participating and responding to questions or the 
p.(None):  respondent has the choice of not allowing the researcher access to his or her person, ignoring requests for information, giving misleading replies, or 
p.(None):  responding to requests in other ways that preserve the respondent's dignity and independence. Informed consent is usually implied by the respondent's 
p.(None):  willingness to talk to the researcher. 
p.(None):   
p.(None):  In most ethnographic projects a request for a written, formal consent would seem suspicious, inappropriate, rude and perhaps even threatening. In other 
p.(None):  words, written consent can potentially harm the research interaction and generate rather than ameliorate concern in respondents. In many parts of the 
p.(None):  world, for many people with a history of exploitation and unfair dealings with authorities and government, a request to sign a form is fraught with danger. 
p.(None):  Respondents may not be fully literate, may not have familiarity or experience with social science research, and may have learned to expect the worst from 
p.(None):  strangers through experience or popular belief. 
p.(None):   
p.(None):  The roles of women and minors are not necessarily the same in other societies as in the US. In many cultures women and children are forbidden from 
p.(None):  making any agreement without their husband's or father's permission, which may not be appropriate in all situations. Written informed consent in such 
...
Social / Child
Searching for indicator child:
(return to top)
           
p.(None):   
p.(None):   
p.(None):  The Common Rule and Sub-Parts 
p.(None):   
p.(None):  What is the relationship between the Common Rule and the Federal Regulation for the Protection of Human Subjects? 
p.(None):  What are the Subparts of the regulations? 
p.(None):  Original Agencies, Departments and Offices approving the Common Rule (1991) 
p.(None):  Where can I get authoritative and expert interpretation of the regulations? 
p.(None):  What parts of the regulations are applicable to my institution? 
p.(None):  My institution's assurance is with DHHS through OHRP, which has adopted subparts B, C & D. Does this mean that all research conducted through 
p.(None):  this institution must comply with the particulars of these subparts? 
p.(None):  What are the overall goals of the federal policy (the Common Rule)? 
p.(None):  How can oversight be matched to risk in order to achieve the goals of the Common Rule? 
p.(None):  What does "minimal risk" mean in research? 
p.(None):  What does the Belmont Report have to do with IRB reviews? 
p.(None):  "Do I make myself clear?" (Vignette) 
p.(None):   
p.(None):   
p.(None):   
p.(None):  Social Science and the Common Rule 
p.(None):   
p.(None):  What exemptions of the Common Rule are most appropriate to social science research? 
p.(None):  Child language studies in "Freedonia" (Vignette) 
p.(None):  Are third parties human subjects in research? 
p.(None):  Is secondary analysis of data human subjects research? 
p.(None):  What about merging public data files or enhancing a public data file? 
p.(None):  What if the project intends to link data from a new survey to existing individual-level data from public data sources? 
p.(None):  What if the project decides to link data from a new survey to existing individual-level data from public data sources after the survey has been 
p.(None):  completed? 
p.(None):  What sorts of harm can arise from social and behavioral science research? 
p.(None):  Informed Consent in Social and Behavioral Science 
p.(None):  The Beach versus the Airport (Vignette) 
p.(None):  "Research-Like Tools Used as Teaching Tools" (Vignette) 
p.(None):  "Unexpected Risk in Classroom Research" (Vignette) 
p.(None):   
p.(None):   
p.(None):   
p.(None):  Exempt and Expedited Review and Informed Consent 
p.(None):   
p.(None):  What exemptions of the Common Rule are most appropriate to social science research? 
p.(None):  Does this mean that all questionnaire, test, and interview-based studies are exempt? 
p.(None):  My university does not have an "exempt" category for research, only "expedited" and "full review" categories. What does this mean in terms of 
p.(None):  social science projects that the federal government has declared "exempt"? 
p.(None):   
p.(None):   
p.(None):   
p.(None):  Problems and Advice on Dealing with them 
p.(None):   
...
           
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Original Agencies, Departments and Offices approving the Common Rule (1991) 
p.(None):   
p.(None):  Agency for International Development 
p.(None):  Consumer Product Safety Commission 
p.(None):  Department of Agriculture 
p.(None):  Department of Commerce 
p.(None):  Department of Defense 
p.(None):  Department of Education 
p.(None):  Department of Energy 
p.(None):  Department of Health and Human Services 
p.(None):  Centers for Disease Control 
p.(None):  Food and Drug Administration 
p.(None):  National Institutes of Health 
p.(None):  Department of Housing and Urban Development 
p.(None):  Department of Justice 
p.(None):  Department of Veterans Affairs 
p.(None):  Department of Transportation 
p.(None):  Environmental Protection Agency 
p.(None):  National Aeronautics and Space Administration 
p.(None):  National Science Foundation 
p.(None):  In addition, the Central Intelligence Agency and Social Security Administration are required by Executive Order and statute, respectively, to follow the 
p.(None):  DHHS regulations (including all subparts). 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What parts of the regulations are applicable to my institution? 
p.(None):   
p.(None):  The Common Rule (subpart A of the DHHS regulations) has been adopted by many federal agencies involved in research. 
p.(None):   
p.(None):  NSF has not adopted subparts B, C and D of the DHHS regulations, and they are not necessarily applicable to NSF awards. (See Vignette: Child 
p.(None):  language studies in "Freedonia") 
p.(None):   
p.(None):  Specific institutions may have adopted policies that go beyond NSF's requirements. In general, institutions are free to adopt policies as they see fit, above 
p.(None):  and beyond the Common Rule. IRBs or researchers with specific questions about projects should contact the relevant agency program officer for 
p.(None):  guidance. (See FAQ: What are the Subparts of the regulations?) 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  My institution's assurance is with DHHS through OHRP, which has adopted subparts B, C & D. Does this mean that all research conducted 
p.(None):  through this institution must comply with the particulars of these subparts? 
p.(None):   
p.(None):  Not necessarily, if the research project is supported by an agency which has not adopted the particular subpart. The new Federalwide Assurance 
p.(None):  authorizes an institution to follow the regulations as interpreted by the most relevant agency or department. In NSF's opinion, a rote application of 
p.(None):  subparts B, C, and D may not always respect the autonomy of respondents, reduce risk or insure justice, and NSF urges flexibility with the goal of 
p.(None):  protecting human subjects and advancing research. (See Vignette: Child language studies in "Freedonia") (See FAQ: What are the Subparts of the 
p.(None):  regulations?) 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What are the overall goals of the federal policy (the Common Rule)? 
p.(None):   
p.(None):  The policy is designed to ensure minimal standards for the ethical treatment of research subjects. The major goal is to limit harms to participants in 
p.(None):  research. That means that no one should suffer harm just because they became involved as subjects or respondents in a research project. Institutions 
p.(None):  engaged in research should foster a culture of ethical research. 
p.(None):   
p.(None):  ETHICAL RESEARCH rests on three principles: 
p.(None):   
p.(None):  1. RESPECT for persons autonomy, meaning the researcher gives adequate and comprehensive information about the research and any risks likely 
p.(None):  to occur, understandable to the participant, and allows them to voluntarily decide whether to participate. 
p.(None):   
p.(None):  2. BENEFICENCE, meaning the research is designed to maximize benefits and minimize risks to subjects and society. 
p.(None):   
p.(None):  3. 3. JUSTICE, meaning that the research is fair to individual subjects and does not exploit or ignore one group (e.g., the poor) to benefit another 
p.(None):  group (e.g., the wealthy). (cf: The Belmont Report) 
p.(None):   
...
           
p.(None):  should not fall disproportionately on stigmatized or institutionalized persons. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  "Do I make myself clear?" (Vignette) 
p.(None):   
p.(None):  Dr. Strunk prides himself on his ability to communicate clearly, in terms appropriate to his audience. Strunk feels special responsibility to communicate 
p.(None):  clearly when he solicits subjects for his research on children's responses to literature. He follows the principle of respect for the autonomy of human 
p.(None):  subjects, as enunciated in the Belmont Report. In Strunk's view, that means, among other things, that the informed consent must be understandable to 
p.(None):  these parents and to their children. He realizes that comprehension is influenced by emotional as well as cognitive factors. Unusually formal or legalistic 
p.(None):  language will obscure meaning that otherwise would be clear if friendly, informal and familiar forms of address and vocabulary were used. 
p.(None):   
p.(None):  Accordingly, Strunk prepared parental permission and child assent forms in clear friendly language. Since he was a member of the school's PTA, served 
p.(None):  on various PTA committees and was generally known to the teachers and other parents as Bill Strunk, he signed his correspondence with parents as "Bill 
p.(None):  Strunk." Strunk was flabbergasted when his IRB sent him back a very long "corrected" version of his assent and permission letters, rewritten in complex 
p.(None):  "legalese," to be signed as "Dr. William Strunk." Who was right? 
p.(None):   
p.(None):  Strunk was right. The federal regulations require an explanation that subjects can understand. In fact, the University of South Florida recently was sued by 
p.(None):  subjects (successfully for $3,800,000) claiming that the consent form was not written in a manner they could understand. 
p.(None):  (http://www.researchroundtable.com/usfcase.htm). University lawyers who rewrite such documents may fail to realize that clear communication (in terms 
p.(None):  the subjects can understand) is what the law requires. Language that is unclear, alarming, and incomprehensible to the subject does not protect the 
p.(None):  institution and is not in fact "legally correct." 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What exemptions of the Common Rule are most appropriate to social science research? 
p.(None):   
p.(None):  The Common Rule states that there are 6 categories of research that are exempt (from full IRB review). The first 4 of the exemptions will be most 
...
           
p.(None):  harmful. However, all research should be bound by professional ethics and respect for respondents to guard their privacy whether or not the research is 
p.(None):  exempt (unless the participants understand that their information may be made public and permission is granted). 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Does this mean that I cannot collect or record personal identifying information? 
p.(None):   
p.(None):  IF you collect information on individually identified participants from publicly available sources, the project may be in the exempt category as long as that 
p.(None):  information would not cause harm to the individual if it were known. For example, recording observations of everyday public behavior, or interviewing 
p.(None):  people about non-controversial opinions or preferences. 
p.(None):   
p.(None):  Does this mean that I cannot collect or record personal identifying information when studying sensitive topics? 
p.(None):   
p.(None):  IF the personal identifying information could harm the participant, then the project would need to be reviewed by the IRB. The IRB might require informed 
p.(None):  consent to be obtained including a description of the confidentiality procedures to be used. The IRB should be convinced that the subject can understand 
p.(None):  the procedures for confidential handling of the information as communicated in the consent process. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Child language studies in "Freedonia" (Vignette) 
p.(None):   
p.(None):  Professor Jones, a sociolinguist, received a prestigious CAREER Award from the National Science Foundation funding five years of her research on how 
p.(None):  elementary school children in "Freedonia" learn grammatical categories. Her research involved asking children how they say normal phrases on subjects 
p.(None):  that were not sensitive in Freedonian or US culture, thus the research was deemed to be low risk by her institution and NSF. 
p.(None):   
p.(None):  In the fourth year of her research Professor Jones changed institutions to "Academic" University. Professor Jones expected her IRB approval for her 
p.(None):  continuing research to be simple, since this was the fourth year of research on this minimal risk project. She was surprised to learn, three weeks before 
p.(None):  she was due to leave the country, that the new University's IRB wanted her research to be reviewed by a Freedonian IRB. Freedonia does not have social 
p.(None):  science IRBs and using a Freedonian medical IRB to review this project would not be an ideal situation. 
p.(None):  The new University's IRB also said that following Subpart D, pertaining to research involving children, she would need to get prior written consent from 
...
           
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Advice to IRBs on Dealing with Researchers 
p.(None):   
p.(None):  The advance of scientific research is a vital interest of the United States of America. Your institution is by definition an important part of the US research 
p.(None):  effort. The institution should provide enough resources to enable the IRB to: 
p.(None):   
p.(None):  Act in a timely way on research protocols. Expedited reviews should take no longer than five working days. 
p.(None):  Incorporate sufficient expertise to review the research presented to you (§107 (a)). The institution should provide a roster of experts to the Office of 
p.(None):  Human Research Protections of HHS, without conflicts of interest with the research, willing to contribute to the IRB discussion of every proposal. 
p.(None):   
p.(None):  Seek ways to streamline the process. Proposals may be reviewed on-line to minimize paper clutter; departmental representatives could be included 
p.(None):  in the IRB to triage the reviews. 
p.(None):   
p.(None):  Give talks and workshops for departments (and especially for their graduate students) whose protocols are often problematic; make handouts or on- 
p.(None):  line materials that suggest useful procedures for handling human subjects issues that frequently arise. 
p.(None):   
p.(None):  Make sure that your institution's library carries books and articles that offer useful guidance on sensitive issues such as research on children, 
p.(None):  procedures for assuring confidentiality of research data, state laws concerning mandated reporting of child or elder abuse, etc. 
p.(None):   
p.(None):  Offer to consult with researchers as they design their research and as they prepare their protocols. 
p.(None):   
p.(None):  Ensure that the IRB includes members who are, themselves, researchers and who are knowledgeable about research design and human subjects 
p.(None):  protections. Have a directory available to researchers to identify which IRB staff or member to consult with for any given type of problem. 
p.(None):   
p.(None):  Be willing to work with researchers to help them improve their protocols rather than rejecting problematic protocols. 
p.(None):   
p.(None):   
p.(None):  Remember that the time you spend being helpful before a protocol is finished saves everyone's time, creates goodwill, and earns the IRB a reputation that 
p.(None):  will make it easier to recruit top notch researchers to your institution and to the IRB membership. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Advice to Researchers on Dealing with IRBs 
p.(None):   
p.(None):  Researchers can do several things to avoid problems with IRB review: 
p.(None):   
p.(None):  become familiar with the federal policies and regulations and with the local IRB procedures, 
p.(None):   
p.(None):  provide the IRB with sufficient information to allow them to accomplish their job, 
p.(None):   
p.(None):  volunteer to serve on the IRB. 
p.(None):   
p.(None):  Consult with the IRB as soon as you begin to consider doing sensitive research or research on a vulnerable population; learn their concerns and 
...
Searching for indicator children:
(return to top)
           
p.(None):  "Subpart A" of the DHHS regulations of human research 45 CFR 46, to distinguish it from the other subparts listed below. 
p.(None):   
p.(None):  Institutions assure that they will comply with the regulations regarding human subjects research. This assurance is normally filed with the appropriate 
p.(None):  federal agency that sponsors their research. Most universities have assurances from DHHS. Under the Common Rule, each agency (e.g., NSF) agrees to 
p.(None):  accept an assurance issued by DHHS as a commitment that the institution will follow the regulations. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What are the Subparts of the regulations? 
p.(None):   
p.(None):  Subpart A, known as the Common Rule, relates to human subjects research in general. The other subparts (B, C and D of the DHHS version) relate to 
p.(None):  special research populations and have been adopted by some agencies. (See http://www.hhs.gov/ohrp/humansubjects/guidance/45cfr46.html) 
p.(None):   
p.(None):  Subpart B relates to research on fetuses, neonates, and pregnant women; 
p.(None):   
p.(None):  Subpart C relates to research with prisoners, and in general stipulates that the IRB include a prisoner or prisoner representative (among other 
p.(None):  requirements); 
p.(None):   
p.(None):  Subpart D relates to research with children, and in general mandates that adequate provisions be made for soliciting the assent of children and permission 
p.(None):  of their parents or guardians. 
p.(None):   
p.(None):  NSF has chosen not to adopt subparts B, C, and D. Only subpart A regulations are necessarily relevant for NSF funded projects. The Common Rule 
p.(None):  indicates that vulnerable populations include subjects, such as children, prisoners, pregnant women, or handicapped or mentally disabled persons. 
p.(None):   
p.(None):  Institutions which follow subparts B, C, and D for DHHS-sponsored research may not need to do so for NSF-sponsored projects. 
p.(None):   
p.(None):  Many institutions have signed Federal Wide Assurances with DHHS in which they may have agreed to apply the subparts to all research. If this poses a 
p.(None):  problem in conducting the NSF-sponsored research, institutions are advised to consult with their NSF program officer. In many cases problems are 
p.(None):  caused not by the regulations themselves, but by overly restrictive interpretations by IRBs. For example, Subpart C's mandate of an IRB member who is 
p.(None):  "a prisoner, or prisoner's representative with appropriate background and experience ..." can be met by a suitable member of the sociology or criminal 
p.(None):  justice faculty, the regulations do not require a formal affiliation with a prisoner association. Subpart D's mandate of informed consent is subject to "the 
p.(None):  extent that consent is required by §46.116 of Subpart A..." and does not automatically and invariably require written consent forms. As § 46.116.d. (same 
...
           
p.(None):  and the severity (magnitude) of the envisioned harm." "The term 'benefit' is used in the research context to refer to something of value related to 
p.(None):  health or welfare."  "Risks and benefits may affect individual subjects, the families of the individual subjects, and society at large (or special groups 
p.(None):  of subjects in society)." Risks and benefits are usually described in the informed consent process for clinical research; for many social and 
p.(None):  behavioral science projects where risks and benefits are minimal (e.g., many surveys) an extensive statement is not appropriate. 
p.(None):   
p.(None):   
p.(None):  3. Justice. The principle of justice concerns the distribution of the burden of research and the reaping of possible benefits of the research as well as 
p.(None):  the procedural fairness of the research as experienced by the participants. It is relevant to the selection of subjects; the burden of risky research 
p.(None):  should not fall disproportionately on stigmatized or institutionalized persons. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  "Do I make myself clear?" (Vignette) 
p.(None):   
p.(None):  Dr. Strunk prides himself on his ability to communicate clearly, in terms appropriate to his audience. Strunk feels special responsibility to communicate 
p.(None):  clearly when he solicits subjects for his research on children's responses to literature. He follows the principle of respect for the autonomy of human 
p.(None):  subjects, as enunciated in the Belmont Report. In Strunk's view, that means, among other things, that the informed consent must be understandable to 
p.(None):  these parents and to their children. He realizes that comprehension is influenced by emotional as well as cognitive factors. Unusually formal or legalistic 
p.(None):  language will obscure meaning that otherwise would be clear if friendly, informal and familiar forms of address and vocabulary were used. 
p.(None):   
p.(None):  Accordingly, Strunk prepared parental permission and child assent forms in clear friendly language. Since he was a member of the school's PTA, served 
p.(None):  on various PTA committees and was generally known to the teachers and other parents as Bill Strunk, he signed his correspondence with parents as "Bill 
p.(None):  Strunk." Strunk was flabbergasted when his IRB sent him back a very long "corrected" version of his assent and permission letters, rewritten in complex 
p.(None):  "legalese," to be signed as "Dr. William Strunk." Who was right? 
p.(None):   
p.(None):  Strunk was right. The federal regulations require an explanation that subjects can understand. In fact, the University of South Florida recently was sued by 
p.(None):  subjects (successfully for $3,800,000) claiming that the consent form was not written in a manner they could understand. 
p.(None):  (http://www.researchroundtable.com/usfcase.htm). University lawyers who rewrite such documents may fail to realize that clear communication (in terms 
...
           
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Does this mean that I cannot collect or record personal identifying information? 
p.(None):   
p.(None):  IF you collect information on individually identified participants from publicly available sources, the project may be in the exempt category as long as that 
p.(None):  information would not cause harm to the individual if it were known. For example, recording observations of everyday public behavior, or interviewing 
p.(None):  people about non-controversial opinions or preferences. 
p.(None):   
p.(None):  Does this mean that I cannot collect or record personal identifying information when studying sensitive topics? 
p.(None):   
p.(None):  IF the personal identifying information could harm the participant, then the project would need to be reviewed by the IRB. The IRB might require informed 
p.(None):  consent to be obtained including a description of the confidentiality procedures to be used. The IRB should be convinced that the subject can understand 
p.(None):  the procedures for confidential handling of the information as communicated in the consent process. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Child language studies in "Freedonia" (Vignette) 
p.(None):   
p.(None):  Professor Jones, a sociolinguist, received a prestigious CAREER Award from the National Science Foundation funding five years of her research on how 
p.(None):  elementary school children in "Freedonia" learn grammatical categories. Her research involved asking children how they say normal phrases on subjects 
p.(None):  that were not sensitive in Freedonian or US culture, thus the research was deemed to be low risk by her institution and NSF. 
p.(None):   
p.(None):  In the fourth year of her research Professor Jones changed institutions to "Academic" University. Professor Jones expected her IRB approval for her 
p.(None):  continuing research to be simple, since this was the fourth year of research on this minimal risk project. She was surprised to learn, three weeks before 
p.(None):  she was due to leave the country, that the new University's IRB wanted her research to be reviewed by a Freedonian IRB. Freedonia does not have social 
p.(None):  science IRBs and using a Freedonian medical IRB to review this project would not be an ideal situation. 
p.(None):  The new University's IRB also said that following Subpart D, pertaining to research involving children, she would need to get prior written consent from 
p.(None):  parents of all children she would involve in her research, using language which mentioned "risks" that are biomedical in nature and inapplicable in the 
p.(None):  context of her research. Professor Jones called her NSF program officer for help. The program officer, together with the NSF human subjects research 
p.(None):  officer, affirmed that the research was low risk. However the position of the University administrators was that the regulations required both a foreign IRB 
p.(None):  and the application of Subpart D's additional oversight for children. The University pointed out that their Federalwide Assurance with DHHS specifically 
p.(None):  included Subpart D. 
p.(None):   
p.(None):  After additional conversation with NSF staff, University administrators and legal advisors, and OHRP specialists, the University finally gave its approval to 
p.(None):  the project and Professor Jones was able to leave for Freedonia to continue her research as approved originally by her previous institution, without written 
p.(None):  consent. Most of the conversation dealt with formal requirements of the process and did not focus on issues related to potential risks of harm to the 
p.(None):  human subjects in the study. 
p.(None):   
p.(None):  Specific lessons: 
p.(None):   
p.(None):  Research in foreign countries does not always need to be reviewed by a foreign IRB if none exists, or when such a review would not be appropriate 
p.(None):  or feasible under local conditions. The US institution's review is always primary and often sufficient. The review will ensure that at least equivalent 
p.(None):  protections apply to both subject populations. 
p.(None):   
p.(None):  The additional protections involved in the Common Rule's subparts are not automatically relevant to NSF-funded projects and should not serve to 
p.(None):  impede research when minimal risk of harm is involved. The IRB should follow the guidance of the federal agency supporting the research. 
p.(None):   
p.(None):  The general lesson: 
p.(None):   
...
           
p.(None):  Oversight commensurate with the level of risk. 
p.(None):  Adherence to the Common Rule. 
p.(None):   
p.(None):  Ultimately, however, authority to approve the research must rest with the IRB. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Advice to IRBs on Dealing with Researchers 
p.(None):   
p.(None):  The advance of scientific research is a vital interest of the United States of America. Your institution is by definition an important part of the US research 
p.(None):  effort. The institution should provide enough resources to enable the IRB to: 
p.(None):   
p.(None):  Act in a timely way on research protocols. Expedited reviews should take no longer than five working days. 
p.(None):  Incorporate sufficient expertise to review the research presented to you (§107 (a)). The institution should provide a roster of experts to the Office of 
p.(None):  Human Research Protections of HHS, without conflicts of interest with the research, willing to contribute to the IRB discussion of every proposal. 
p.(None):   
p.(None):  Seek ways to streamline the process. Proposals may be reviewed on-line to minimize paper clutter; departmental representatives could be included 
p.(None):  in the IRB to triage the reviews. 
p.(None):   
p.(None):  Give talks and workshops for departments (and especially for their graduate students) whose protocols are often problematic; make handouts or on- 
p.(None):  line materials that suggest useful procedures for handling human subjects issues that frequently arise. 
p.(None):   
p.(None):  Make sure that your institution's library carries books and articles that offer useful guidance on sensitive issues such as research on children, 
p.(None):  procedures for assuring confidentiality of research data, state laws concerning mandated reporting of child or elder abuse, etc. 
p.(None):   
p.(None):  Offer to consult with researchers as they design their research and as they prepare their protocols. 
p.(None):   
p.(None):  Ensure that the IRB includes members who are, themselves, researchers and who are knowledgeable about research design and human subjects 
p.(None):  protections. Have a directory available to researchers to identify which IRB staff or member to consult with for any given type of problem. 
p.(None):   
p.(None):  Be willing to work with researchers to help them improve their protocols rather than rejecting problematic protocols. 
p.(None):   
p.(None):   
p.(None):  Remember that the time you spend being helpful before a protocol is finished saves everyone's time, creates goodwill, and earns the IRB a reputation that 
p.(None):  will make it easier to recruit top notch researchers to your institution and to the IRB membership. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Advice to Researchers on Dealing with IRBs 
p.(None):   
p.(None):  Researchers can do several things to avoid problems with IRB review: 
p.(None):   
p.(None):  become familiar with the federal policies and regulations and with the local IRB procedures, 
p.(None):   
p.(None):  provide the IRB with sufficient information to allow them to accomplish their job, 
p.(None):   
p.(None):  volunteer to serve on the IRB. 
p.(None):   
...
           
p.(None):  respondent has the choice of not allowing the researcher access to his or her person, ignoring requests for information, giving misleading replies, or 
p.(None):  responding to requests in other ways that preserve the respondent's dignity and independence. Informed consent is usually implied by the respondent's 
p.(None):  willingness to talk to the researcher. 
p.(None):   
p.(None):  In most ethnographic projects a request for a written, formal consent would seem suspicious, inappropriate, rude and perhaps even threatening. In other 
p.(None):  words, written consent can potentially harm the research interaction and generate rather than ameliorate concern in respondents. In many parts of the 
p.(None):  world, for many people with a history of exploitation and unfair dealings with authorities and government, a request to sign a form is fraught with danger. 
p.(None):  Respondents may not be fully literate, may not have familiarity or experience with social science research, and may have learned to expect the worst from 
p.(None):  strangers through experience or popular belief. 
p.(None):   
p.(None):  The roles of women and minors are not necessarily the same in other societies as in the US. In many cultures women and children are forbidden from 
p.(None):  making any agreement without their husband's or father's permission, which may not be appropriate in all situations. Written informed consent in such 
p.(None):  cases would be impossible to obtain, or if obtained would generate concern in respondents. 
p.(None):  Researchers should be sensitive to such cultural differences within the US as well as in cultures outside the US. A vital aspect of protecting and respecting 
p.(None):  human subjects is to "do your homework" of learning about the cultural norms of those you wish to study. Expertise regarding the locale is essential and 
p.(None):  may be provided by the investigator or a consultant. In these circumstances the Common Rule authorizes a waiver of written documentation. § 117 (c) (1) 
p.(None):  discusses situations where the only record linking the subject and the research would be the consent document, and the principal risk would be potential 
p.(None):  harm resulting from a breach of confidentiality. 
p.(None):   
p.(None):  § 117 (c) (2) deals with waiving written documentation of informed consent in situations where "the research presents no more than minimal risk of harm 
...
Social / Fetus/Neonate
Searching for indicator fetuses:
(return to top)
           
p.(None):  Federal agencies). Each agency's regulations are printed in the Code of Federal Regulations (CFR) with different preface numbers but the same section 
p.(None):  (§) numbers. The text of the regulation in each case is identical. 
p.(None):   
p.(None):  Thus NSF's regulation is listed as 45 CFR Part 690 §101124, while DHHS' regulation, consisting of the identical text, is 45 CFR Part 46 §101124. 
p.(None):   
p.(None):  Some agencies have adopted additional regulations ("subparts", see below) dealing with special populations. The Common Rule is also referred to as 
p.(None):  "Subpart A" of the DHHS regulations of human research 45 CFR 46, to distinguish it from the other subparts listed below. 
p.(None):   
p.(None):  Institutions assure that they will comply with the regulations regarding human subjects research. This assurance is normally filed with the appropriate 
p.(None):  federal agency that sponsors their research. Most universities have assurances from DHHS. Under the Common Rule, each agency (e.g., NSF) agrees to 
p.(None):  accept an assurance issued by DHHS as a commitment that the institution will follow the regulations. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What are the Subparts of the regulations? 
p.(None):   
p.(None):  Subpart A, known as the Common Rule, relates to human subjects research in general. The other subparts (B, C and D of the DHHS version) relate to 
p.(None):  special research populations and have been adopted by some agencies. (See http://www.hhs.gov/ohrp/humansubjects/guidance/45cfr46.html) 
p.(None):   
p.(None):  Subpart B relates to research on fetuses, neonates, and pregnant women; 
p.(None):   
p.(None):  Subpart C relates to research with prisoners, and in general stipulates that the IRB include a prisoner or prisoner representative (among other 
p.(None):  requirements); 
p.(None):   
p.(None):  Subpart D relates to research with children, and in general mandates that adequate provisions be made for soliciting the assent of children and permission 
p.(None):  of their parents or guardians. 
p.(None):   
p.(None):  NSF has chosen not to adopt subparts B, C, and D. Only subpart A regulations are necessarily relevant for NSF funded projects. The Common Rule 
p.(None):  indicates that vulnerable populations include subjects, such as children, prisoners, pregnant women, or handicapped or mentally disabled persons. 
p.(None):   
p.(None):  Institutions which follow subparts B, C, and D for DHHS-sponsored research may not need to do so for NSF-sponsored projects. 
p.(None):   
...
Searching for indicator neonates:
(return to top)
           
p.(None):  (§) numbers. The text of the regulation in each case is identical. 
p.(None):   
p.(None):  Thus NSF's regulation is listed as 45 CFR Part 690 §101124, while DHHS' regulation, consisting of the identical text, is 45 CFR Part 46 §101124. 
p.(None):   
p.(None):  Some agencies have adopted additional regulations ("subparts", see below) dealing with special populations. The Common Rule is also referred to as 
p.(None):  "Subpart A" of the DHHS regulations of human research 45 CFR 46, to distinguish it from the other subparts listed below. 
p.(None):   
p.(None):  Institutions assure that they will comply with the regulations regarding human subjects research. This assurance is normally filed with the appropriate 
p.(None):  federal agency that sponsors their research. Most universities have assurances from DHHS. Under the Common Rule, each agency (e.g., NSF) agrees to 
p.(None):  accept an assurance issued by DHHS as a commitment that the institution will follow the regulations. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What are the Subparts of the regulations? 
p.(None):   
p.(None):  Subpart A, known as the Common Rule, relates to human subjects research in general. The other subparts (B, C and D of the DHHS version) relate to 
p.(None):  special research populations and have been adopted by some agencies. (See http://www.hhs.gov/ohrp/humansubjects/guidance/45cfr46.html) 
p.(None):   
p.(None):  Subpart B relates to research on fetuses, neonates, and pregnant women; 
p.(None):   
p.(None):  Subpart C relates to research with prisoners, and in general stipulates that the IRB include a prisoner or prisoner representative (among other 
p.(None):  requirements); 
p.(None):   
p.(None):  Subpart D relates to research with children, and in general mandates that adequate provisions be made for soliciting the assent of children and permission 
p.(None):  of their parents or guardians. 
p.(None):   
p.(None):  NSF has chosen not to adopt subparts B, C, and D. Only subpart A regulations are necessarily relevant for NSF funded projects. The Common Rule 
p.(None):  indicates that vulnerable populations include subjects, such as children, prisoners, pregnant women, or handicapped or mentally disabled persons. 
p.(None):   
p.(None):  Institutions which follow subparts B, C, and D for DHHS-sponsored research may not need to do so for NSF-sponsored projects. 
p.(None):   
p.(None):  Many institutions have signed Federal Wide Assurances with DHHS in which they may have agreed to apply the subparts to all research. If this poses a 
...
Social / Incarcerated
Searching for indicator restricted:
(return to top)
           
p.(None):  encountered in everyday life. Historical or other research where the respondent is fully aware that publication will involve names, or where the 
p.(None):  information is in public records, is not of concern here. 
p.(None):   
p.(None):  The Common Rule thus explicitly allows social and behavioral science research involving minimal risk to record the identity of respondents in the data. 
p.(None):  Whether or not the research is exempt, professional ethics and respect for persons mandate confidentiality unless the participant agrees to release the 
p.(None):  information. (§ 111 (a) (7)). 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What's the difference between privacy and confidentiality? 
p.(None):   
p.(None):  The Common rule defines "identifiable private information" as: 
p.(None):   
p.(None):  "information about behavior that occurs in a context in which an individual can reasonably expect that no observation or recording is taking place, and 
p.(None):  information which has been provided for specific purposes by an individual and which the individual can reasonably expect will not be made public (for 
p.(None):  example, a medical record)." (§690.102(f)) 
p.(None):   
p.(None):  PRIVACY refers to persons; and to their interest in controlling the access of others to themselves. 
p.(None):   
p.(None):  CONFIDENTIALITY refers to data; and to the agreements that are made about ways in which information is restricted to certain people. 
p.(None):  Identifiable information collected through research should be kept confidential as much as possible, as a matter of professional courtesy, no 
p.(None):  matter whether there is an identified harm or not in accordance with any promise made in the consent form (unless the research is such that 
p.(None):  respondents clearly understand that identities will be published, as in historical studies). 
p.(None):   
p.(None):  Successful confidentiality begins from the top, and implies a research culture which involves everyone, whether they normally have access to 
p.(None):  project files or not, being aware that identifiable private information must be kept confidential. 
p.(None):   
p.(None):  There are many techniques of insuring confidentiality and of de-identifying data, from simple to complex. (See FAQ: What are the major 
p.(None):  techniques for protecting confidentiality? The level of confidentiality should match the level of risk inherent in the project and with any 
p.(None):  promise made in the consent form. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What are the major techniques for protecting confidentiality? 
p.(None):   
p.(None):  The following techniques for assuring confidentiality are listed on a continuum according to the degree of prospective harm that may occur. 
p.(None):   
p.(None):  The simplest procedure to insure confidentiality is to substitute codes for personal identifiers and to store the key in a different locked physical 
p.(None):  location. 
p.(None):   
...
Social / Institutionalized
Searching for indicator institutionalized:
(return to top)
           
p.(None):  expressions such as 'small risk' or 'high risk' are used, they usually refer (often ambiguously) both to the chance (probability) of experiencing a harm 
p.(None):  and the severity (magnitude) of the envisioned harm." "The term 'benefit' is used in the research context to refer to something of value related to 
p.(None):  health or welfare."  "Risks and benefits may affect individual subjects, the families of the individual subjects, and society at large (or special groups 
p.(None):  of subjects in society)." Risks and benefits are usually described in the informed consent process for clinical research; for many social and 
p.(None):  behavioral science projects where risks and benefits are minimal (e.g., many surveys) an extensive statement is not appropriate. 
p.(None):   
p.(None):   
p.(None):  3. Justice. The principle of justice concerns the distribution of the burden of research and the reaping of possible benefits of the research as well as 
p.(None):  the procedural fairness of the research as experienced by the participants. It is relevant to the selection of subjects; the burden of risky research 
p.(None):  should not fall disproportionately on stigmatized or institutionalized persons. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  "Do I make myself clear?" (Vignette) 
p.(None):   
p.(None):  Dr. Strunk prides himself on his ability to communicate clearly, in terms appropriate to his audience. Strunk feels special responsibility to communicate 
p.(None):  clearly when he solicits subjects for his research on children's responses to literature. He follows the principle of respect for the autonomy of human 
p.(None):  subjects, as enunciated in the Belmont Report. In Strunk's view, that means, among other things, that the informed consent must be understandable to 
p.(None):  these parents and to their children. He realizes that comprehension is influenced by emotional as well as cognitive factors. Unusually formal or legalistic 
p.(None):  language will obscure meaning that otherwise would be clear if friendly, informal and familiar forms of address and vocabulary were used. 
p.(None):   
p.(None):  Accordingly, Strunk prepared parental permission and child assent forms in clear friendly language. Since he was a member of the school's PTA, served 
p.(None):  on various PTA committees and was generally known to the teachers and other parents as Bill Strunk, he signed his correspondence with parents as "Bill 
...
Social / Linguistic Proficiency
Searching for indicator language:
(return to top)
           
p.(None):   
p.(None):  What is the relationship between the Common Rule and the Federal Regulation for the Protection of Human Subjects? 
p.(None):  What are the Subparts of the regulations? 
p.(None):  Original Agencies, Departments and Offices approving the Common Rule (1991) 
p.(None):  Where can I get authoritative and expert interpretation of the regulations? 
p.(None):  What parts of the regulations are applicable to my institution? 
p.(None):  My institution's assurance is with DHHS through OHRP, which has adopted subparts B, C & D. Does this mean that all research conducted through 
p.(None):  this institution must comply with the particulars of these subparts? 
p.(None):  What are the overall goals of the federal policy (the Common Rule)? 
p.(None):  How can oversight be matched to risk in order to achieve the goals of the Common Rule? 
p.(None):  What does "minimal risk" mean in research? 
p.(None):  What does the Belmont Report have to do with IRB reviews? 
p.(None):  "Do I make myself clear?" (Vignette) 
p.(None):   
p.(None):   
p.(None):   
p.(None):  Social Science and the Common Rule 
p.(None):   
p.(None):  What exemptions of the Common Rule are most appropriate to social science research? 
p.(None):  Child language studies in "Freedonia" (Vignette) 
p.(None):  Are third parties human subjects in research? 
p.(None):  Is secondary analysis of data human subjects research? 
p.(None):  What about merging public data files or enhancing a public data file? 
p.(None):  What if the project intends to link data from a new survey to existing individual-level data from public data sources? 
p.(None):  What if the project decides to link data from a new survey to existing individual-level data from public data sources after the survey has been 
p.(None):  completed? 
p.(None):  What sorts of harm can arise from social and behavioral science research? 
p.(None):  Informed Consent in Social and Behavioral Science 
p.(None):  The Beach versus the Airport (Vignette) 
p.(None):  "Research-Like Tools Used as Teaching Tools" (Vignette) 
p.(None):  "Unexpected Risk in Classroom Research" (Vignette) 
p.(None):   
p.(None):   
p.(None):   
p.(None):  Exempt and Expedited Review and Informed Consent 
p.(None):   
p.(None):  What exemptions of the Common Rule are most appropriate to social science research? 
p.(None):  Does this mean that all questionnaire, test, and interview-based studies are exempt? 
p.(None):  My university does not have an "exempt" category for research, only "expedited" and "full review" categories. What does this mean in terms of 
p.(None):  social science projects that the federal government has declared "exempt"? 
p.(None):   
p.(None):   
p.(None):   
p.(None):  Problems and Advice on Dealing with them 
p.(None):   
p.(None):  What flexibility does the IRB have in applying the Common Rule? 
...
           
p.(None):   
p.(None):  Original Agencies, Departments and Offices approving the Common Rule (1991) 
p.(None):   
p.(None):  Agency for International Development 
p.(None):  Consumer Product Safety Commission 
p.(None):  Department of Agriculture 
p.(None):  Department of Commerce 
p.(None):  Department of Defense 
p.(None):  Department of Education 
p.(None):  Department of Energy 
p.(None):  Department of Health and Human Services 
p.(None):  Centers for Disease Control 
p.(None):  Food and Drug Administration 
p.(None):  National Institutes of Health 
p.(None):  Department of Housing and Urban Development 
p.(None):  Department of Justice 
p.(None):  Department of Veterans Affairs 
p.(None):  Department of Transportation 
p.(None):  Environmental Protection Agency 
p.(None):  National Aeronautics and Space Administration 
p.(None):  National Science Foundation 
p.(None):  In addition, the Central Intelligence Agency and Social Security Administration are required by Executive Order and statute, respectively, to follow the 
p.(None):  DHHS regulations (including all subparts). 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What parts of the regulations are applicable to my institution? 
p.(None):   
p.(None):  The Common Rule (subpart A of the DHHS regulations) has been adopted by many federal agencies involved in research. 
p.(None):   
p.(None):  NSF has not adopted subparts B, C and D of the DHHS regulations, and they are not necessarily applicable to NSF awards. (See Vignette: Child 
p.(None):  language studies in "Freedonia") 
p.(None):   
p.(None):  Specific institutions may have adopted policies that go beyond NSF's requirements. In general, institutions are free to adopt policies as they see fit, above 
p.(None):  and beyond the Common Rule. IRBs or researchers with specific questions about projects should contact the relevant agency program officer for 
p.(None):  guidance. (See FAQ: What are the Subparts of the regulations?) 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  My institution's assurance is with DHHS through OHRP, which has adopted subparts B, C & D. Does this mean that all research conducted 
p.(None):  through this institution must comply with the particulars of these subparts? 
p.(None):   
p.(None):  Not necessarily, if the research project is supported by an agency which has not adopted the particular subpart. The new Federalwide Assurance 
p.(None):  authorizes an institution to follow the regulations as interpreted by the most relevant agency or department. In NSF's opinion, a rote application of 
p.(None):  subparts B, C, and D may not always respect the autonomy of respondents, reduce risk or insure justice, and NSF urges flexibility with the goal of 
p.(None):  protecting human subjects and advancing research. (See Vignette: Child language studies in "Freedonia") (See FAQ: What are the Subparts of the 
p.(None):  regulations?) 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What are the overall goals of the federal policy (the Common Rule)? 
p.(None):   
p.(None):  The policy is designed to ensure minimal standards for the ethical treatment of research subjects. The major goal is to limit harms to participants in 
p.(None):  research. That means that no one should suffer harm just because they became involved as subjects or respondents in a research project. Institutions 
p.(None):  engaged in research should foster a culture of ethical research. 
p.(None):   
p.(None):  ETHICAL RESEARCH rests on three principles: 
p.(None):   
p.(None):  1. RESPECT for persons autonomy, meaning the researcher gives adequate and comprehensive information about the research and any risks likely 
p.(None):  to occur, understandable to the participant, and allows them to voluntarily decide whether to participate. 
p.(None):   
p.(None):  2. BENEFICENCE, meaning the research is designed to maximize benefits and minimize risks to subjects and society. 
p.(None):   
p.(None):  3. 3. JUSTICE, meaning that the research is fair to individual subjects and does not exploit or ignore one group (e.g., the poor) to benefit another 
p.(None):  group (e.g., the wealthy). (cf: The Belmont Report) 
p.(None):   
...
           
p.(None):   
p.(None):   
p.(None):  3. Justice. The principle of justice concerns the distribution of the burden of research and the reaping of possible benefits of the research as well as 
p.(None):  the procedural fairness of the research as experienced by the participants. It is relevant to the selection of subjects; the burden of risky research 
p.(None):  should not fall disproportionately on stigmatized or institutionalized persons. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  "Do I make myself clear?" (Vignette) 
p.(None):   
p.(None):  Dr. Strunk prides himself on his ability to communicate clearly, in terms appropriate to his audience. Strunk feels special responsibility to communicate 
p.(None):  clearly when he solicits subjects for his research on children's responses to literature. He follows the principle of respect for the autonomy of human 
p.(None):  subjects, as enunciated in the Belmont Report. In Strunk's view, that means, among other things, that the informed consent must be understandable to 
p.(None):  these parents and to their children. He realizes that comprehension is influenced by emotional as well as cognitive factors. Unusually formal or legalistic 
p.(None):  language will obscure meaning that otherwise would be clear if friendly, informal and familiar forms of address and vocabulary were used. 
p.(None):   
p.(None):  Accordingly, Strunk prepared parental permission and child assent forms in clear friendly language. Since he was a member of the school's PTA, served 
p.(None):  on various PTA committees and was generally known to the teachers and other parents as Bill Strunk, he signed his correspondence with parents as "Bill 
p.(None):  Strunk." Strunk was flabbergasted when his IRB sent him back a very long "corrected" version of his assent and permission letters, rewritten in complex 
p.(None):  "legalese," to be signed as "Dr. William Strunk." Who was right? 
p.(None):   
p.(None):  Strunk was right. The federal regulations require an explanation that subjects can understand. In fact, the University of South Florida recently was sued by 
p.(None):  subjects (successfully for $3,800,000) claiming that the consent form was not written in a manner they could understand. 
p.(None):  (http://www.researchroundtable.com/usfcase.htm). University lawyers who rewrite such documents may fail to realize that clear communication (in terms 
p.(None):  the subjects can understand) is what the law requires. Language that is unclear, alarming, and incomprehensible to the subject does not protect the 
p.(None):  institution and is not in fact "legally correct." 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What exemptions of the Common Rule are most appropriate to social science research? 
p.(None):   
p.(None):  The Common Rule states that there are 6 categories of research that are exempt (from full IRB review). The first 4 of the exemptions will be most 
p.(None):  appropriate for social science research: 
p.(None):   
p.(None):  Research in educational settings involving educational practices. (§ 101 (b) (1)) 
p.(None):   
p.(None):  Research involving educational tests (cognitive, diagnostic, aptitude, achievement), surveys, interviews, or observations of public behavior, unless 
p.(None):  subjects are identified and disclosure of responses would involve more than reasonable risk. (§ 101 (b) (2)) 
p.(None):   
p.(None):  Research involving educational tests (cognitive, diagnostic, aptitude, achievement), surveys, interviews, or observations of public behavior not 
p.(None):  exempt under preceding exemption if human subjects are elected public officials, and if federal statutes require confidentiality of identifiable 
p.(None):  information. ((§ 101 (b) (3)) 
p.(None):   
...
           
p.(None):  harmful. However, all research should be bound by professional ethics and respect for respondents to guard their privacy whether or not the research is 
p.(None):  exempt (unless the participants understand that their information may be made public and permission is granted). 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Does this mean that I cannot collect or record personal identifying information? 
p.(None):   
p.(None):  IF you collect information on individually identified participants from publicly available sources, the project may be in the exempt category as long as that 
p.(None):  information would not cause harm to the individual if it were known. For example, recording observations of everyday public behavior, or interviewing 
p.(None):  people about non-controversial opinions or preferences. 
p.(None):   
p.(None):  Does this mean that I cannot collect or record personal identifying information when studying sensitive topics? 
p.(None):   
p.(None):  IF the personal identifying information could harm the participant, then the project would need to be reviewed by the IRB. The IRB might require informed 
p.(None):  consent to be obtained including a description of the confidentiality procedures to be used. The IRB should be convinced that the subject can understand 
p.(None):  the procedures for confidential handling of the information as communicated in the consent process. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Child language studies in "Freedonia" (Vignette) 
p.(None):   
p.(None):  Professor Jones, a sociolinguist, received a prestigious CAREER Award from the National Science Foundation funding five years of her research on how 
p.(None):  elementary school children in "Freedonia" learn grammatical categories. Her research involved asking children how they say normal phrases on subjects 
p.(None):  that were not sensitive in Freedonian or US culture, thus the research was deemed to be low risk by her institution and NSF. 
p.(None):   
p.(None):  In the fourth year of her research Professor Jones changed institutions to "Academic" University. Professor Jones expected her IRB approval for her 
p.(None):  continuing research to be simple, since this was the fourth year of research on this minimal risk project. She was surprised to learn, three weeks before 
p.(None):  she was due to leave the country, that the new University's IRB wanted her research to be reviewed by a Freedonian IRB. Freedonia does not have social 
p.(None):  science IRBs and using a Freedonian medical IRB to review this project would not be an ideal situation. 
p.(None):  The new University's IRB also said that following Subpart D, pertaining to research involving children, she would need to get prior written consent from 
p.(None):  parents of all children she would involve in her research, using language which mentioned "risks" that are biomedical in nature and inapplicable in the 
p.(None):  context of her research. Professor Jones called her NSF program officer for help. The program officer, together with the NSF human subjects research 
p.(None):  officer, affirmed that the research was low risk. However the position of the University administrators was that the regulations required both a foreign IRB 
p.(None):  and the application of Subpart D's additional oversight for children. The University pointed out that their Federalwide Assurance with DHHS specifically 
p.(None):  included Subpart D. 
p.(None):   
p.(None):  After additional conversation with NSF staff, University administrators and legal advisors, and OHRP specialists, the University finally gave its approval to 
p.(None):  the project and Professor Jones was able to leave for Freedonia to continue her research as approved originally by her previous institution, without written 
p.(None):  consent. Most of the conversation dealt with formal requirements of the process and did not focus on issues related to potential risks of harm to the 
p.(None):  human subjects in the study. 
p.(None):   
p.(None):  Specific lessons: 
p.(None):   
p.(None):  Research in foreign countries does not always need to be reviewed by a foreign IRB if none exists, or when such a review would not be appropriate 
p.(None):  or feasible under local conditions. The US institution's review is always primary and often sufficient. The review will ensure that at least equivalent 
...
           
p.(None):  procedures prescribed by the foreign IRB afford protections that are at least equivalent to those provided in the Common Rule. 
p.(None):   
p.(None):  This regulation is most germane to biomedical research, as few foreign countries apply human subjects regulations to social and behavioral science. In 
p.(None):  many foreign countries IRBs deal only with biomedical research and will refuse to extend their purview to cover social and behavioral science. In other 
p.(None):  foreign situations there will be no analogue to an IRB and the concept may be irrelevant. When this situation occurs, the US institution remains the 
p.(None):  responsible authority and the services of a foreign IRB might not be necessary. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Can research proceed at a foreign institution if no foreign IRB has reviewed the research? 
p.(None):  The Common Rule discusses cooperating research institutions at § 114, which envisions each institution reviewing the research through its IRB. When 
p.(None):  institutions are in foreign locations with no tradition of IRB review of the relevant research, the review of the US institution may be sufficient. If the IRB has 
p.(None):  concerns about the risk of harm to research participants, the IRB should make a serious effort to involve appropriate cultural expertise in its review by 
p.(None):  soliciting the cooperation of persons knowledgeable about the customs and language in the society where the research will occur. 
p.(None):   
p.(None):  There are options that can be considered in order to ensure that research proceeds even in the absence of a foreign IRB. Some foreign IRBs have FWAs, 
p.(None):  and can be used for the review of research to be conducted in that country. Alternatively, a foreign IRB or ethics board in the country where the research is 
p.(None):  to be conducted can review the research. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Compensation and Disguising Cessation of Participation (Vignette) 
p.(None):   
p.(None):  An investigator submitted a proposal to the Maven University IRB for an anonymous paper-and-pencil study of attitudes toward a hypothetical case of 
p.(None):  incest. Due to the sensitive nature of the topic, the IRB wished to ensure that subjects could discontinue their participation at any time. The survey was to 
p.(None):  be administered simultaneously to numerous subjects in a group setting. The IRB felt that individuals who began the survey, but then changed their 
p.(None):  minds, would experience undue pressure to continue participating, since leaving early would call attention to the individual's withdrawal from the study. 
p.(None):  The IRB therefore instructed the investigator to attach a paper-and-pencil puzzle to the survey packet, along with instructions indicating that, if subjects 
p.(None):  wished to discontinue their participation at any time, they could work on the puzzle if they so chose. 
p.(None):   
p.(None):  This created a dilemma for the researchers: they felt no obligation to pay compensation to subjects who choose not to participate. Such payments would 
p.(None):  be costly in research funds, and raise the problem that subjects might chose to participate solely to be compensated for doing puzzles. On the other hand, 
...
           
p.(None):   
p.(None):  Many traditional societies rely on an elder or group of leaders to express decisions with respect to the group. An individual community member who acted 
p.(None):  independently, without the knowledge and consent of the group, might be seen as suspicious, perhaps acting counter to the best interests of everyone. 
p.(None):  The appropriate way for a foreigner to get permission to do research in a setting like this would be to present the project in an open meeting, allowing 
p.(None):  questions to be raised and answered publicly. After formal group approval, any individual member of society would be free to cooperate or not with the 
p.(None):  research project. 
p.(None):   
p.(None):  In all societies, when research is planned in sharply defined communities, consultation with community representatives may be necessary in order to 
p.(None):  avoid negative gossip and refusals to participate. Such community consultation and public relations is part of a good research design and not a substitute 
p.(None):  for individual informed consent. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):   
p.(None):   
p.(None):   
p.(None):  Feedback  
p.(None):   
p.(None):   
p.(None):   
p.(None):   
p.(None):  See all NSF social media  
p.(None):  Website Policies                                                              Budget and Performance 
p.(None):   
p.(None):  Inspector General                                                             Privacy 
p.(None):   
p.(None):  FOIA                                                                          No FEAR Act 
p.(None):   
p.(None):  USA.gov                                                                       Accessibility 
p.(None):   
p.(None):  Plain Language                                                                Contact 
p.(None):   
p.(None):  Help                                                                          Research.gov 
p.(None):   
p.(None):   
p.(None):  National Science Foundation, 2415 Eisenhower Avenue, Alexandria, Virginia 22314, USA Tel: (703) 292-5111, FIRS: (800) 877-8339 | TDD: (800) 281-8749 
...
Social / Literacy
Searching for indicator illiterate:
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p.(None):   
p.(None):  When subjects are peers or superiors of the researcher, extremely detailed verbal informed consent is often unnecessary, and written consent may 
p.(None):  not be appropriate, unless the research is concerned with sensitive personal information. 
p.(None):   
p.(None):  Normal interaction among peers or with persons of higher status than the researcher is not respected by "reading subjects their rights" or by formal or 
p.(None):  written consent procedures. Common sense, courtesy and standard social norms should dictate what is communicated when asking such persons to 
p.(None):  participate in research. 
p.(None):   
p.(None):  The cultural norms and life-styles of subjects should be considered in deciding how to approach informed consent. Issues such as whether to 
p.(None):  present material in printed form, deal with subjects individually or in groups, seek the consent of gatekeepers or superiors in lieu of or in addition to 
p.(None):  individual subjects' consent, and whether to treat underage persons differently should be dictated by the culture and context of the research and the 
p.(None):  level of risk. 
p.(None):   
p.(None):  Persons should be treated respectfully in accordance with their culture and circumstances. People who are functionally illiterate, who are suspicious of 
p.(None):  persons who proffer documents or require signatures, or from non-industrialized cultures should be approached in the style that is most comfortable to 
p.(None):  them. Protocols for research on such populations should show evidence that the researcher is informed about the culture of the intended research 
p.(None):  population and has arranged the informed consent and other research procedures accordingly. 
p.(None):   
p.(None):  IRBs should be flexible in considering a wide range of media as possibly appropriate for administering informed consent given varying degrees of 
p.(None):  risk. Video tapes, brochures, group discussions, web sites, and so on can be more appropriate ways of communicating with potential subjects than 
p.(None):  the kinds of legalistic formal consent forms that have often been used. 
p.(None):   
p.(None):  The emphasis should be on effective communication with appropriate opportunity for exploration, asking questions, achieving clarity and understanding, 
p.(None):  reflecting and making reasoned decisions. (§ 116, §117) 
p.(None):   
p.(None):  The IRB may approve a consent form that does not include, or alters some or all elements of informed consent, or waive the requirement to obtain 
p.(None):  informed consent. 
p.(None):   
p.(None):  There are different circumstances, which might be reasonable for the IRB to consider. For example, if the research involves no more than minimal risk the 
...
Searching for indicator literate:
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p.(None):  Social harm due to stigma or other negative social outcomes of breach of confidentiality. 
p.(None):  Physical harm if revelations about others get back to those persons, particularly when researchers study domestic violence, gang activity, political 
p.(None):  activity in a conflict zone, or other phenomena concerning violence-prone individuals. 
p.(None):  Financial harm if revelations result in loss of employment or insurance coverage. 
p.(None):  Legal harm when illegal activities are disclosed. 
p.(None):  Moral harm when participation in research strengthens subjects' inclinations to behave unethically. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Informed Consent in Social and Behavioral Science 
p.(None):   
p.(None):  Informed consent should take the form of a friendly, easily understood communication process with competent participants. Ideally it should be a 
p.(None):  verbal exchange between researcher and subject, with a written summary of the information for the subject to keep as appropriate. When written, it 
p.(None):  should be brief, and simply phrased at a reading level that the least literate subject can understand. 
p.(None):   
p.(None):  The informed consent process should involve a friendly discussion that provides a basis for subjects to decide about participation. Subjects should be able 
p.(None):  to think about what they have been told and to ask any questions. IRBs and researchers should not defeat the purpose of informed consent by substituting 
p.(None):  a legalistic consent form for an effective communication process. If signed forms are appropriate, signing the form should not be perfunctory, unreflecting 
p.(None):  and automatic. When written informed consent would be the only identifiable link to research participants, it may increase risk and in some circumstances 
p.(None):  should be avoided. 
p.(None):   
p.(None):  When there is likely to be some risk of harm or inconvenience to certain subjects, they should receive enough information to judge whether the risk 
p.(None):  is at a level they can accept. If more than minimal risk is involved the consent form should state the subject's rights and the researcher's 
p.(None):  responsibilities. 
p.(None):   
p.(None):  Research participation in most social-behavioral research involves time and possibly some inconvenience and discomfort. An adequate informed consent 
...
           
p.(None):  treated confidentially. (See Certificate of Confidentiality) 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Is written documentation of informed consent required in ethnographic research? 
p.(None):   
p.(None):  Ethnographic research interviews are not necessarily formal interviews with a questionnaire. They often are simple conversations on the respondent's 
p.(None):  home ground (as opposed to the researcher's laboratory). Competent adult individuals have the option of participating and responding to questions or the 
p.(None):  respondent has the choice of not allowing the researcher access to his or her person, ignoring requests for information, giving misleading replies, or 
p.(None):  responding to requests in other ways that preserve the respondent's dignity and independence. Informed consent is usually implied by the respondent's 
p.(None):  willingness to talk to the researcher. 
p.(None):   
p.(None):  In most ethnographic projects a request for a written, formal consent would seem suspicious, inappropriate, rude and perhaps even threatening. In other 
p.(None):  words, written consent can potentially harm the research interaction and generate rather than ameliorate concern in respondents. In many parts of the 
p.(None):  world, for many people with a history of exploitation and unfair dealings with authorities and government, a request to sign a form is fraught with danger. 
p.(None):  Respondents may not be fully literate, may not have familiarity or experience with social science research, and may have learned to expect the worst from 
p.(None):  strangers through experience or popular belief. 
p.(None):   
p.(None):  The roles of women and minors are not necessarily the same in other societies as in the US. In many cultures women and children are forbidden from 
p.(None):  making any agreement without their husband's or father's permission, which may not be appropriate in all situations. Written informed consent in such 
p.(None):  cases would be impossible to obtain, or if obtained would generate concern in respondents. 
p.(None):  Researchers should be sensitive to such cultural differences within the US as well as in cultures outside the US. A vital aspect of protecting and respecting 
p.(None):  human subjects is to "do your homework" of learning about the cultural norms of those you wish to study. Expertise regarding the locale is essential and 
p.(None):  may be provided by the investigator or a consultant. In these circumstances the Common Rule authorizes a waiver of written documentation. § 117 (c) (1) 
p.(None):  discusses situations where the only record linking the subject and the research would be the consent document, and the principal risk would be potential 
...
Social / Occupation
Searching for indicator job:
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p.(None):   
p.(None):  Make sure that your institution's library carries books and articles that offer useful guidance on sensitive issues such as research on children, 
p.(None):  procedures for assuring confidentiality of research data, state laws concerning mandated reporting of child or elder abuse, etc. 
p.(None):   
p.(None):  Offer to consult with researchers as they design their research and as they prepare their protocols. 
p.(None):   
p.(None):  Ensure that the IRB includes members who are, themselves, researchers and who are knowledgeable about research design and human subjects 
p.(None):  protections. Have a directory available to researchers to identify which IRB staff or member to consult with for any given type of problem. 
p.(None):   
p.(None):  Be willing to work with researchers to help them improve their protocols rather than rejecting problematic protocols. 
p.(None):   
p.(None):   
p.(None):  Remember that the time you spend being helpful before a protocol is finished saves everyone's time, creates goodwill, and earns the IRB a reputation that 
p.(None):  will make it easier to recruit top notch researchers to your institution and to the IRB membership. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Advice to Researchers on Dealing with IRBs 
p.(None):   
p.(None):  Researchers can do several things to avoid problems with IRB review: 
p.(None):   
p.(None):  become familiar with the federal policies and regulations and with the local IRB procedures, 
p.(None):   
p.(None):  provide the IRB with sufficient information to allow them to accomplish their job, 
p.(None):   
p.(None):  volunteer to serve on the IRB. 
p.(None):   
p.(None):  Consult with the IRB as soon as you begin to consider doing sensitive research or research on a vulnerable population; learn their concerns and 
p.(None):  recommendations; ask them the best ways to solve the problems they mention. If they suggest "solutions" you cannot live with (e.g., getting written 
p.(None):  consent when you know this would be virtually impossible, or would compromise your sample, rendering the research invalid) let them know their 
p.(None):  requirement means you can't do the research. If they cannot respond in a way that is helpful, consult with the following and provide written 
p.(None):  documentation of what you learned from them. 
p.(None):   
p.(None):  Refer to your scientific society's code of ethics or discuss the issue with representatives of your scientific society. Official representatives of your 
p.(None):  scientific society may be unwilling to give advice, but may refer you to members who are knowledgeable and who might advise you. 
p.(None):   
p.(None):  Consult with the agency (actually or potentially) funding your research. 
p.(None):   
p.(None):  Consult with researchers who have worked on this kind of sensitive research and learn how they and their IRB resolved the problem. 
p.(None):   
p.(None):  Consult the ethics/methodology literature on this issue. 
p.(None):   
p.(None):   Check the Federal Regulations to see what options they allow, but which your IRB may not wish to follow. Remember that your IRB has the option 
...
Social / Police Officer
Searching for indicator officer:
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p.(None):   
p.(None):   
p.(None):   
p.(None):  Office of Budget Finance and Award Management (BFA) 
p.(None):   
p.(None):   
p.(None):  Office of Budget, Finance, & Award Management 
p.(None):   
p.(None):   
p.(None):  Budget Division 
p.(None):   
p.(None):   
p.(None):  Division of Acquisition and Cooperative Support 
p.(None):   
p.(None):   
p.(None):  Division of Financial Management 
p.(None):   
p.(None):   
p.(None):  Division of Grants & Agreements 
p.(None):   
p.(None):   
p.(None):  Division of Institution & Award Support 
p.(None):   
p.(None):   
p.(None):  Policy Office 
p.(None):   
p.(None):   
p.(None):  CAP Branch 
p.(None):   
p.(None):   
p.(None):  RAM Branch 
p.(None):   
p.(None):   
p.(None):  Systems Office 
p.(None):   
p.(None):   
p.(None):  Large Facilities Office 
p.(None):   
p.(None):   
p.(None):  Advisory Committees 
p.(None):   
p.(None):   
p.(None):  Business and Operations Advisory Committee 
p.(None):   
p.(None):   
p.(None):  External Links 
p.(None):   
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p.(None):  Chief Financial Officer Council 
p.(None):   
p.(None):   
p.(None):      Contact BFA 
p.(None):   
p.(None):   Email    Print    Share 
p.(None):   
p.(None):   
p.(None):   
p.(None):  Frequently Asked Questions and Vignettes 
p.(None):  Interpreting the Common Rule for the Protection of Human Subjects for Behavioral and Social Science Research 
p.(None):   
p.(None):  Click on the applicable heading to go to a specific subject: 
p.(None):   
p.(None):  The Common Rule and Sub-Parts 
p.(None):   
p.(None):  Social Science and the Common Rule 
p.(None):   
p.(None):  Exempt and Expedited Review and Informed Consent 
p.(None):   
p.(None):  Problems and Advice on Dealing with them 
p.(None):   
p.(None):  Confidentiality-Privacy 
p.(None):   
p.(None):  Ethnography 
p.(None):   
p.(None):   
p.(None):  The Common Rule and Sub-Parts 
p.(None):   
p.(None):  What is the relationship between the Common Rule and the Federal Regulation for the Protection of Human Subjects? 
p.(None):  What are the Subparts of the regulations? 
p.(None):  Original Agencies, Departments and Offices approving the Common Rule (1991) 
p.(None):  Where can I get authoritative and expert interpretation of the regulations? 
p.(None):  What parts of the regulations are applicable to my institution? 
p.(None):  My institution's assurance is with DHHS through OHRP, which has adopted subparts B, C & D. Does this mean that all research conducted through 
...
           
p.(None):   
p.(None):  Subpart C relates to research with prisoners, and in general stipulates that the IRB include a prisoner or prisoner representative (among other 
p.(None):  requirements); 
p.(None):   
p.(None):  Subpart D relates to research with children, and in general mandates that adequate provisions be made for soliciting the assent of children and permission 
p.(None):  of their parents or guardians. 
p.(None):   
p.(None):  NSF has chosen not to adopt subparts B, C, and D. Only subpart A regulations are necessarily relevant for NSF funded projects. The Common Rule 
p.(None):  indicates that vulnerable populations include subjects, such as children, prisoners, pregnant women, or handicapped or mentally disabled persons. 
p.(None):   
p.(None):  Institutions which follow subparts B, C, and D for DHHS-sponsored research may not need to do so for NSF-sponsored projects. 
p.(None):   
p.(None):  Many institutions have signed Federal Wide Assurances with DHHS in which they may have agreed to apply the subparts to all research. If this poses a 
p.(None):  problem in conducting the NSF-sponsored research, institutions are advised to consult with their NSF program officer. In many cases problems are 
p.(None):  caused not by the regulations themselves, but by overly restrictive interpretations by IRBs. For example, Subpart C's mandate of an IRB member who is 
p.(None):  "a prisoner, or prisoner's representative with appropriate background and experience ..." can be met by a suitable member of the sociology or criminal 
p.(None):  justice faculty, the regulations do not require a formal affiliation with a prisoner association. Subpart D's mandate of informed consent is subject to "the 
p.(None):  extent that consent is required by §46.116 of Subpart A..." and does not automatically and invariably require written consent forms. As § 46.116.d. (same 
p.(None):  as § 690.116.d) specifies, informed consent can be modified or waived for a project which: 
p.(None):   
p.(None):  could not practicably be carried out without the waiver or alteration, 
p.(None):  is of no more than minimal risk, 
p.(None):  the waiver or alteration will not adversely affect the rights and welfare of the subjects, 
p.(None):  where appropriate, the subjects will be provided with additional pertinent information after participation. 
p.(None):   
p.(None):  These conditions cover a lot of research supported by the National Science Foundation. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Original Agencies, Departments and Offices approving the Common Rule (1991) 
p.(None):   
p.(None):  Agency for International Development 
...
           
p.(None):  Department of Health and Human Services 
p.(None):  Centers for Disease Control 
p.(None):  Food and Drug Administration 
p.(None):  National Institutes of Health 
p.(None):  Department of Housing and Urban Development 
p.(None):  Department of Justice 
p.(None):  Department of Veterans Affairs 
p.(None):  Department of Transportation 
p.(None):  Environmental Protection Agency 
p.(None):  National Aeronautics and Space Administration 
p.(None):  National Science Foundation 
p.(None):  In addition, the Central Intelligence Agency and Social Security Administration are required by Executive Order and statute, respectively, to follow the 
p.(None):  DHHS regulations (including all subparts). 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What parts of the regulations are applicable to my institution? 
p.(None):   
p.(None):  The Common Rule (subpart A of the DHHS regulations) has been adopted by many federal agencies involved in research. 
p.(None):   
p.(None):  NSF has not adopted subparts B, C and D of the DHHS regulations, and they are not necessarily applicable to NSF awards. (See Vignette: Child 
p.(None):  language studies in "Freedonia") 
p.(None):   
p.(None):  Specific institutions may have adopted policies that go beyond NSF's requirements. In general, institutions are free to adopt policies as they see fit, above 
p.(None):  and beyond the Common Rule. IRBs or researchers with specific questions about projects should contact the relevant agency program officer for 
p.(None):  guidance. (See FAQ: What are the Subparts of the regulations?) 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  My institution's assurance is with DHHS through OHRP, which has adopted subparts B, C & D. Does this mean that all research conducted 
p.(None):  through this institution must comply with the particulars of these subparts? 
p.(None):   
p.(None):  Not necessarily, if the research project is supported by an agency which has not adopted the particular subpart. The new Federalwide Assurance 
p.(None):  authorizes an institution to follow the regulations as interpreted by the most relevant agency or department. In NSF's opinion, a rote application of 
p.(None):  subparts B, C, and D may not always respect the autonomy of respondents, reduce risk or insure justice, and NSF urges flexibility with the goal of 
p.(None):  protecting human subjects and advancing research. (See Vignette: Child language studies in "Freedonia") (See FAQ: What are the Subparts of the 
p.(None):  regulations?) 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What are the overall goals of the federal policy (the Common Rule)? 
p.(None):   
p.(None):  The policy is designed to ensure minimal standards for the ethical treatment of research subjects. The major goal is to limit harms to participants in 
p.(None):  research. That means that no one should suffer harm just because they became involved as subjects or respondents in a research project. Institutions 
...
           
p.(None):  information. ((§ 101 (b) (3)) 
p.(None):   
p.(None):  Research involving the collection or study of existing data if publicly available or unidentifiable. ((§ 101 (b) (4)) 
p.(None):   
p.(None):  Research and demonstration projects designed to study public benefit or service programs. ((§ 101 (b) (5)) 
p.(None):   
p.(None):  Taste and food quality evaluation and consumer acceptance studies. ((§ 101 (b) (6)) 
p.(None):   
p.(None):  Exempt research is free from continued oversight by the IRB although the institution (either a designated IRB representative, the entire committee, or 
p.(None):  some other institutional authority), not the researcher, must determine that the project is exempt in the first place. Usually this is accomplished through a 
p.(None):  brief review process. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Does this mean that all questionnaire, educational test, and interview-based studies are exempt? 
p.(None):   
p.(None):  Such studies are exempt UNLESS: 
p.(None):   
p.(None):  Specific individual human subjects can be identified directly or through identifiers linked to them (i.e., their names, telephone numbers or other 
p.(None):  unique identifiers are recorded in the data) 
p.(None):   
p.(None):  AND disclosure of their responses could place them at risk of: 
p.(None):   
p.(None):  criminal/civil liability, or 
p.(None):  damage to their financial standing, employability, or reputation 
p.(None):   
p.(None):  Research on vulnerable populations may not be exempt. Consult with your local IRB or NSF program officer for guidance in specific cases. 
p.(None):   
p.(None):  When the subjects are public officials or candidates for public office, the research is exempt even when identifiers are included or disclosure might be 
p.(None):  harmful. 
p.(None):   
p.(None):  When the subjects are public officials or candidates for public office, the research is exempt even when identifiers are included or disclosure might be 
p.(None):  harmful. However, all research should be bound by professional ethics and respect for respondents to guard their privacy whether or not the research is 
p.(None):  exempt (unless the participants understand that their information may be made public and permission is granted). 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Does this mean that I cannot collect or record personal identifying information? 
p.(None):   
p.(None):  IF you collect information on individually identified participants from publicly available sources, the project may be in the exempt category as long as that 
p.(None):  information would not cause harm to the individual if it were known. For example, recording observations of everyday public behavior, or interviewing 
p.(None):  people about non-controversial opinions or preferences. 
p.(None):   
p.(None):  Does this mean that I cannot collect or record personal identifying information when studying sensitive topics? 
p.(None):   
p.(None):  IF the personal identifying information could harm the participant, then the project would need to be reviewed by the IRB. The IRB might require informed 
...
           
p.(None):  elementary school children in "Freedonia" learn grammatical categories. Her research involved asking children how they say normal phrases on subjects 
p.(None):  that were not sensitive in Freedonian or US culture, thus the research was deemed to be low risk by her institution and NSF. 
p.(None):   
p.(None):  In the fourth year of her research Professor Jones changed institutions to "Academic" University. Professor Jones expected her IRB approval for her 
p.(None):  continuing research to be simple, since this was the fourth year of research on this minimal risk project. She was surprised to learn, three weeks before 
p.(None):  she was due to leave the country, that the new University's IRB wanted her research to be reviewed by a Freedonian IRB. Freedonia does not have social 
p.(None):  science IRBs and using a Freedonian medical IRB to review this project would not be an ideal situation. 
p.(None):  The new University's IRB also said that following Subpart D, pertaining to research involving children, she would need to get prior written consent from 
p.(None):  parents of all children she would involve in her research, using language which mentioned "risks" that are biomedical in nature and inapplicable in the 
p.(None):  context of her research. Professor Jones called her NSF program officer for help. The program officer, together with the NSF human subjects research 
p.(None):  officer, affirmed that the research was low risk. However the position of the University administrators was that the regulations required both a foreign IRB 
p.(None):  and the application of Subpart D's additional oversight for children. The University pointed out that their Federalwide Assurance with DHHS specifically 
p.(None):  included Subpart D. 
p.(None):   
p.(None):  After additional conversation with NSF staff, University administrators and legal advisors, and OHRP specialists, the University finally gave its approval to 
p.(None):  the project and Professor Jones was able to leave for Freedonia to continue her research as approved originally by her previous institution, without written 
p.(None):  consent. Most of the conversation dealt with formal requirements of the process and did not focus on issues related to potential risks of harm to the 
p.(None):  human subjects in the study. 
p.(None):   
p.(None):  Specific lessons: 
p.(None):   
p.(None):  Research in foreign countries does not always need to be reviewed by a foreign IRB if none exists, or when such a review would not be appropriate 
p.(None):  or feasible under local conditions. The US institution's review is always primary and often sufficient. The review will ensure that at least equivalent 
p.(None):  protections apply to both subject populations. 
p.(None):   
p.(None):  The additional protections involved in the Common Rule's subparts are not automatically relevant to NSF-funded projects and should not serve to 
...
           
p.(None):  must be examined by an independent authority. Exempt projects are usually free from continued oversight by the IRB unless the nature of the project 
p.(None):  changes. 
p.(None):   
p.(None):  On the other hand, your university may have simply collapsed the exempt and expedited categories of research together. In an expedited review, typically 
p.(None):  only one experienced member of the IRB committee, or the chair of the committee, will review the project and confirm that the project is indeed minimal 
p.(None):  risk, or a minor change to a previously approved protocol, and meets the criteria for expedited review. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Where can I get authoritative and expert interpretation of the regulations? 
p.(None):   
p.(None):  Many agencies support the Common Rule, meaning they follow the same regulations. Each agency has special expertise in the application of the 
p.(None):  regulations for relevant research. 
p.(None):   
p.(None):  For example, NSF funds research in the area of experimental economics. An IRB asking how to apply the regulations to experimental economics 
p.(None):  research could seek guidance from the funding agency supporting those research activities. 
p.(None):   
p.(None):  The most knowledgeable advice comes from the agency funding the research. 
p.(None):   
p.(None):  Although all agencies follow the same regulations, each agency has different expertise on the application of the regulations to specific cases. For NSF 
p.(None):  research, the first person to call is the Program Officer, who will answer questions directly or get authoritative advice from NSF's Human Subjects 
p.(None):  Research Protections Officer. 
p.(None):   
p.(None):  But my institution's assurance is from OHRP. Doesn't that mean that I must get that office's response to my question? 
p.(None):   
p.(None):  No, OHRP will direct inquiries from requestors to the appropriate officials at the funding department or agency. The response of the agency funding a 
p.(None):  specific research project is the most appropriate government interpretation of the regulations with respect to that project. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What flexibility does the IRB have in applying the Common Rule? 
p.(None):   
p.(None):  The purpose of the federal regulations is to obtain the benefits of research for society while minimizing the risks of harm to human research participants. 
p.(None):  To further this goal the regulations encourage IRBs to make independent informed judgments, using common sense and expertise to apply a standard set 
p.(None):  of rules to diverse research situations, and to document the procedure followed in arriving at its judgment. 
p.(None):   
p.(None):  For example, sections §116 (c), (d), and §117 (c) discuss flexible procedures that may be used to administer informed consent, depending on the specifics 
p.(None):  of the research project. Informed consent is the procedure by which the researcher respects the autonomy of research participants (as discussed in the 
...
Social / Religion
Searching for indicator belief:
(return to top)
           
p.(None):   
p.(None):  Ethnographic research interviews are not necessarily formal interviews with a questionnaire. They often are simple conversations on the respondent's 
p.(None):  home ground (as opposed to the researcher's laboratory). Competent adult individuals have the option of participating and responding to questions or the 
p.(None):  respondent has the choice of not allowing the researcher access to his or her person, ignoring requests for information, giving misleading replies, or 
p.(None):  responding to requests in other ways that preserve the respondent's dignity and independence. Informed consent is usually implied by the respondent's 
p.(None):  willingness to talk to the researcher. 
p.(None):   
p.(None):  In most ethnographic projects a request for a written, formal consent would seem suspicious, inappropriate, rude and perhaps even threatening. In other 
p.(None):  words, written consent can potentially harm the research interaction and generate rather than ameliorate concern in respondents. In many parts of the 
p.(None):  world, for many people with a history of exploitation and unfair dealings with authorities and government, a request to sign a form is fraught with danger. 
p.(None):  Respondents may not be fully literate, may not have familiarity or experience with social science research, and may have learned to expect the worst from 
p.(None):  strangers through experience or popular belief. 
p.(None):   
p.(None):  The roles of women and minors are not necessarily the same in other societies as in the US. In many cultures women and children are forbidden from 
p.(None):  making any agreement without their husband's or father's permission, which may not be appropriate in all situations. Written informed consent in such 
p.(None):  cases would be impossible to obtain, or if obtained would generate concern in respondents. 
p.(None):  Researchers should be sensitive to such cultural differences within the US as well as in cultures outside the US. A vital aspect of protecting and respecting 
p.(None):  human subjects is to "do your homework" of learning about the cultural norms of those you wish to study. Expertise regarding the locale is essential and 
p.(None):  may be provided by the investigator or a consultant. In these circumstances the Common Rule authorizes a waiver of written documentation. § 117 (c) (1) 
p.(None):  discusses situations where the only record linking the subject and the research would be the consent document, and the principal risk would be potential 
p.(None):  harm resulting from a breach of confidentiality. 
p.(None):   
...
Social / Student
Searching for indicator student:
(return to top)
           
p.(None):  Specific lessons: 
p.(None):   
p.(None):  Research in foreign countries does not always need to be reviewed by a foreign IRB if none exists, or when such a review would not be appropriate 
p.(None):  or feasible under local conditions. The US institution's review is always primary and often sufficient. The review will ensure that at least equivalent 
p.(None):  protections apply to both subject populations. 
p.(None):   
p.(None):  The additional protections involved in the Common Rule's subparts are not automatically relevant to NSF-funded projects and should not serve to 
p.(None):  impede research when minimal risk of harm is involved. The IRB should follow the guidance of the federal agency supporting the research. 
p.(None):   
p.(None):  The general lesson: 
p.(None):   
p.(None):  The purpose of the regulations is to prevent or minimize harm, given informed consent, while ensuring the quality of research. The degree of 
p.(None):  oversight should be scaled to the level of risk. 
p.(None):   
p.(None):  Other guidelines may be applicable and provide guidance including ethical standards of professional associations as well as certain journals that 
p.(None):  require assurance that research has been conducted with ethical standards. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Are third parties human subjects in research? 
p.(None):   
p.(None):  The Common rule defines a human subject as: "...a living individual about whom an investigator (whether professional or student) conducting research 
p.(None):  obtains (1) data through intervention or interaction with the individual, or (2) identifiable private information. (§ 690.102(f)) 
p.(None):   
p.(None):  When respondents give information about other people who are not directly interviewed these others are known as "third parties". 
p.(None):   
p.(None):  The goals of the Common Rule apply to any person who has the potential to be harmed because of a research project, whether or not the person is 
p.(None):  directly interviewed or identified through an interview with someone else. 
p.(None):   
p.(None):  The research project should be assessed for the likelihood that third parties could be harmed. If the project is low risk then no special oversight is required. 
p.(None):   
p.(None):  If the data are stripped of identifiable private information (http://www.icpsr.umich.edu/), then no "human subjects" are involved. The IRB records should 
p.(None):  retain information about the process leading to this determination. 
p.(None):   
p.(None):  The project information should be kept confidential; the level of confidentiality (applicable to all identified persons, not just interviewed subjects in the 
p.(None):  research) should be commensurate with the level of risk. 
p.(None):   
p.(None):  Additional provisions may apply in the case of health information privacy and confidentiality (HIPAA). These provisions generally require securing patient 
p.(None):  records containing individually identifiable health information so that they are not readily available to those who do not need them. 
p.(None):   
...
           
p.(None):  another to be conducted at the airport, where they were not. The IRB demanded an explanation of why subjects should be paid at the beach but not the 
p.(None):  airport. They agreed to the study after the investigator explained that that people at the beach are busy having fun, so you have to offer to pay them to get 
p.(None):  them to take the time to help you; but people at the airport are bored, and they are often quite happy to have something to fill the time. 
p.(None):   
p.(None):  Principles of justice and equity of recruitment should dictate the researchers selection procedures, but they do not require that merely because 
p.(None):  people are involved in the same study that they must be paid the same amount regardless of circumstances. In some circumstances, with special 
p.(None):  justification, different participants may be paid different amounts. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  "Research-Like Tools Used as Teaching Tools" (Vignette) 
p.(None):   
p.(None):  Professor Speakwell teaches undergraduate courses in linguistics in which he demonstrates variability in both the syntax and vocabulary of spoken 
p.(None):  expression across individuals and cultures. Professor Speakwell involves his students in active learning in the classroom. He brings recordings of spoken 
p.(None):  English to class and calls on students to say whether they find the example grammatical and to explain or guess what the utterance means. He also 
p.(None):  requires students to code narratives to show the part of speech that various words occupy in utterances. 
p.(None):   
p.(None):  Professor Researchit, a colleague of Speakwell's, uses these same techniques with undergraduate student volunteers to do research on variables that 
p.(None):  predict understanding of utterances. Dr. Researchit develops a protocol, and obtains IRB approval and students' signed informed consent. Professor 
p.(None):  Researchit tells Speakwell that he had better get IRB approval and student informed consent since he is doing the same thing. Is Researchit correct? 
p.(None):   
p.(None):  No, Speakwell is not doing the same thing. Speakwell is teaching, not doing research. Even if Speakwell or some of his students record systematic data 
p.(None):  and treat this as a classroom experiment, it is being done for teaching and demonstration purposes. It is part of what students signed up for when they 
p.(None):  enrolled in Speakwell's class. Just as Speakwell is entitled to give exams, require homework, grade students on classroom participation, and so on, he is 
p.(None):  entitled to employ this kind of classroom activity as part of his teaching. 
p.(None):   
p.(None):  The requirement of IRB review would be an inappropriate infringement on Speakwell's academic freedom. There is no point in having students sign a 
p.(None):  consent form. Participation is part of the coursework for which they enrolled. Moreover it would add inappropriately to the IRB workload. The Federal 
p.(None):  Regulations are entirely clear on this point. Activities that require IRB review are strictly limited to research; CFR 46.112 (d) defines research: 
p.(None):   
p.(None):  (d) Research means a systematic investigation, including research development, testing and evaluation, designed to develop or contribute to 
p.(None):  generalizable knowledge. Activities, which meet this definition, constitute research for purposes of this policy, whether or not they are conducted or 
p.(None):  supported under a program, which is considered research for other purposes. For example, some demonstration and service programs may include 
p.(None):  research activities. 
p.(None):   
...
           
p.(None):  proposal, they ruled that the amount of the prize could not be advertised, because $500 is "coercive". 
p.(None):   
p.(None):  The researchers argued that a lottery is not gambling, because subjects do not risk their own money. They further argued that it is not unfair to pay 
p.(None):  subjects differentially, because all have an equal opportunity to win the prize and know that beforehand. 
p.(None):   
p.(None):  The use of a lottery to compensate subjects should require no special justification. 
p.(None):   
p.(None):  Because of the voluntary and anonymous nature of participation, the research is minimal risk, and so the size of the prize should not matter. The 
p.(None):  researchers argued that the size of the prize is not as relevant as the expected value. With ten participants, the expected value of the prize would be only 
p.(None):  $50, which can hardly be viewed as coercive. The researchers further argued that the subjects, as Maven U. undergraduates, were adults who could 
p.(None):  legally participate in state operated lotteries. The students would be briefed that a lottery with a $500 prize is worth substantially less than $500 to the 
p.(None):  average participant. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  "Unexpected Risk in Classroom Research" 
p.(None):   
p.(None):  Dr. Goodbar, a professor of sociology, was in the habit of surveying students on their experiences, as both a classroom exercise in survey research 
p.(None):  techniques as well as a source for his published articles. While he recorded the identity of student respondents (sometimes on videotape, other times on 
p.(None):  paper records), he foresaw no risk because the questions did not deal with sensitive topics. 
p.(None):   
p.(None):  During one exercise he was astonished to see a student's response describe some sanctioned behavior-plagiarism on the part of the student. He had 
p.(None):  recorded the student's identity. 
p.(None):   
p.(None):  What to do? 
p.(None):   
p.(None):  There are 2 issues here. First, to the extent that Dr. Goodbar is using students survey responses for his published scholarly articles, he is 
p.(None):  conducting research CFR 46.112 (d). In conducting research, he would have submitted an IRB proposal and obtained permission to survey the 
p.(None):  students. The second issue concerns confidentiality, and if Dr. Goodbar promised this within the IRB proposal and promised this to students on the 
p.(None):  consent form, then he is obligated to maintain that confidentiality. 
p.(None):   
p.(None):  To protect the student, the record should be erased immediately. 
p.(None):   
p.(None):  To respect the academic institution and tradition, the student should be counseled on the impropriety of plagiarism. 
p.(None):   
p.(None):  In general, in the case of a serious matter (a threat of violence, a criminal act, a serious breach of academic discipline, e.g., the theft of a test) the 
p.(None):  professor should inform institutional authorities provided that confidentiality was not promised. 
p.(None):   
p.(None):  The professor should routinely point out to students, before the research takes place, to consider before responding that their responses will be 
p.(None):  recorded. They should be told not to say anything they would not want others to see and hear on tape. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Doesn't the Common Rule demand confidentiality in research records? 
p.(None):   
p.(None):  The Common Rule addresses privacy of information about persons and confidentiality of data. A research project involving individual information about 
p.(None):  respondents can be exempt under two conditions: 
p.(None):   
p.(None):  if the information either is not linked to the respondents' identity (§ 101 (b) (2)), e.g., it is anonymous, or 
p.(None):  the information is linked to the respondents' identity, but the nature of the information is such that disclosure will not be reasonably expected to 
p.(None):  cause harm (§ 101 (b) (2)). Non-anonymous data recording can be exempt if any breach of confidentiality will not cause harm beyond that 
...
           
p.(None):  Subjects Protection Issues Related to Large Sample Surveys" which gives a comprehensive discussion and bibliography of these issues. 
p.(None):   
p.(None):  The Federal Committee on Statistical Methodology (FCSM), sponsored by OMB, has produced 2 reports on statistical methods to limit disclosure. "Report 
p.(None):  on Statistical Disclosure and Disclosure-Avoidance Techniques", 1978 (NTIS PB86-2115/AS) and 22, "Report on Statistical Disclosure Limitation 
p.(None):  Methodology", 1994 (NTIS PB94-165305) respectively). They can be found them on the FCSM's web site at http://www.fcsm.gov. 
p.(None):   
p.(None):  FCSM has a standing "Confidentiality and Data Access Committee" (CDAC) which has produced several useful documents. In particular, CDAC's 
p.(None):  "Checklist on Disclosure Potential of Proposed Data Releases" is a useful resource. 
p.(None):   
p.(None):  The U.S. Bureau of the Census has recently cooperated with a private press to publish "Confidentiality, Disclosure, and Data Access, Theory and 
p.(None):  Practical Applications for Statistical Agencies". The book is also based on work by the Committee on National Statistics at the National Academy of 
p.(None):  Sciences-National Research Council. The book is edited by Pat Doyle, Julia Lane, Jules Theeuwes and Laura Zayatz, and published by Elsevier-North 
p.(None):  Holland, 2001. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  "What is Private Information?" (Vignette) 
p.(None):   
p.(None):  Professor Studyphud obtained a prestigious grant for longitudinal research on the outcomes of graduate training in the physical sciences. She will assess 
p.(None):  student values and ethics upon admission to graduate school, the kinds of scientific and personal values imparted in doctoral training, and ethical 
p.(None):  decisions made in career choices and performance as measured five years post-Ph.D. An important part of Studyphud's longitudinal research design is to 
p.(None):  recruit volunteers when they are admitted to the university's Ph.D. program in any of several major physical science departments. Studyphud plans to 
p.(None):  obtain from each program the list of graduate students admitted that year. After the student has enrolled, she plans to send the student, via campus mail, 
p.(None):  an introduction of herself (a professor of psychology), a description of her longitudinal study, an invitation to participate, and a standard consent form. 
p.(None):   
p.(None):  Studyphud showed her research protocol to a colleague who is on the IRB to inquire whether the format was correct. She was surprised when her 
p.(None):  colleague objected to her obtaining a list of students admitted to the Ph.D. program. Her colleague claimed that Studyphud has no right to that list since 
p.(None):  the fact of students' admission to Ph.D. programs is a private event. The colleague said that the only way Studyphud could contact the students is by 
p.(None):  placing a more general solicitation in all doctoral students' mailboxes asking them to contact her if they qualified (as new students) and were interested in 
p.(None):  participating. Was Studyphud's colleague right? 
p.(None):   
p.(None):  Studyphud's colleague was wrong. A list of names of students admitted to a graduate program is not normally private. With students permission, 
p.(None):  departmental newsletters will list and briefly describe these students to welcome them to the program. Lists of their names and a few other identifying 
p.(None):  characteristics will be distributed to faculty, staff and existing doctoral students. 
p.(None):   
p.(None):  The distinction between public and private information can be ambiguous in some cases. Some information that becomes part of university records, such 
p.(None):  as students' financial status or that of their parents, would arguably be private and covered by the federal law called the Family Educational Rights and 
...
Social / Threat of Stigma
Searching for indicator stigma:
(return to top)
           
p.(None):  completed? 
p.(None):   
p.(None):  If the level of confidentiality in the new data set created by the linkage is less than that in either of the pre-existing sets, then the change in research 
p.(None):  design must be examined by either the IRB official or fully convened IRB depending upon whether the initial review was exempt. Following that review, 
p.(None):  after evaluating the level of risk involved, a waiver of informed consent may be recommended if risk of harm is low and adequate confidentiality 
p.(None):  procedures are in effect. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What sorts of harm can arise from social and behavioral science research? 
p.(None):   
p.(None):  Here are some typical examples: 
p.(None):   
p.(None):  Harms commensurate with daily life, requiring no special protection: 
p.(None):   
p.(None):  Mere inconvenience when a survey or other research interaction is administered at an inconvenient time or place or simply takes a long time to 
p.(None):  administer. 
p.(None):   
p.(None):  Harms that have the potential for serious effects, which IRBs should examine: 
p.(None):   
p.(None):  Emotional or psychological harm, for example when a research interaction causes upset, or worry about breach of confidentiality. 
p.(None):  Social harm due to stigma or other negative social outcomes of breach of confidentiality. 
p.(None):  Physical harm if revelations about others get back to those persons, particularly when researchers study domestic violence, gang activity, political 
p.(None):  activity in a conflict zone, or other phenomena concerning violence-prone individuals. 
p.(None):  Financial harm if revelations result in loss of employment or insurance coverage. 
p.(None):  Legal harm when illegal activities are disclosed. 
p.(None):  Moral harm when participation in research strengthens subjects' inclinations to behave unethically. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Informed Consent in Social and Behavioral Science 
p.(None):   
p.(None):  Informed consent should take the form of a friendly, easily understood communication process with competent participants. Ideally it should be a 
p.(None):  verbal exchange between researcher and subject, with a written summary of the information for the subject to keep as appropriate. When written, it 
p.(None):  should be brief, and simply phrased at a reading level that the least literate subject can understand. 
p.(None):   
...
Searching for indicator threat:
(return to top)
           
p.(None):  paper records), he foresaw no risk because the questions did not deal with sensitive topics. 
p.(None):   
p.(None):  During one exercise he was astonished to see a student's response describe some sanctioned behavior-plagiarism on the part of the student. He had 
p.(None):  recorded the student's identity. 
p.(None):   
p.(None):  What to do? 
p.(None):   
p.(None):  There are 2 issues here. First, to the extent that Dr. Goodbar is using students survey responses for his published scholarly articles, he is 
p.(None):  conducting research CFR 46.112 (d). In conducting research, he would have submitted an IRB proposal and obtained permission to survey the 
p.(None):  students. The second issue concerns confidentiality, and if Dr. Goodbar promised this within the IRB proposal and promised this to students on the 
p.(None):  consent form, then he is obligated to maintain that confidentiality. 
p.(None):   
p.(None):  To protect the student, the record should be erased immediately. 
p.(None):   
p.(None):  To respect the academic institution and tradition, the student should be counseled on the impropriety of plagiarism. 
p.(None):   
p.(None):  In general, in the case of a serious matter (a threat of violence, a criminal act, a serious breach of academic discipline, e.g., the theft of a test) the 
p.(None):  professor should inform institutional authorities provided that confidentiality was not promised. 
p.(None):   
p.(None):  The professor should routinely point out to students, before the research takes place, to consider before responding that their responses will be 
p.(None):  recorded. They should be told not to say anything they would not want others to see and hear on tape. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Doesn't the Common Rule demand confidentiality in research records? 
p.(None):   
p.(None):  The Common Rule addresses privacy of information about persons and confidentiality of data. A research project involving individual information about 
p.(None):  respondents can be exempt under two conditions: 
p.(None):   
p.(None):  if the information either is not linked to the respondents' identity (§ 101 (b) (2)), e.g., it is anonymous, or 
p.(None):  the information is linked to the respondents' identity, but the nature of the information is such that disclosure will not be reasonably expected to 
p.(None):  cause harm (§ 101 (b) (2)). Non-anonymous data recording can be exempt if any breach of confidentiality will not cause harm beyond that 
p.(None):  encountered in everyday life. Historical or other research where the respondent is fully aware that publication will involve names, or where the 
p.(None):  information is in public records, is not of concern here. 
p.(None):   
...
Searching for indicator stigmatized:
(return to top)
           
p.(None):  Potential risks and benefits of the research project need to be assessed. "The term 'risk' refers to a possibility that harm may occur. However, when 
p.(None):  expressions such as 'small risk' or 'high risk' are used, they usually refer (often ambiguously) both to the chance (probability) of experiencing a harm 
p.(None):  and the severity (magnitude) of the envisioned harm." "The term 'benefit' is used in the research context to refer to something of value related to 
p.(None):  health or welfare."  "Risks and benefits may affect individual subjects, the families of the individual subjects, and society at large (or special groups 
p.(None):  of subjects in society)." Risks and benefits are usually described in the informed consent process for clinical research; for many social and 
p.(None):  behavioral science projects where risks and benefits are minimal (e.g., many surveys) an extensive statement is not appropriate. 
p.(None):   
p.(None):   
p.(None):  3. Justice. The principle of justice concerns the distribution of the burden of research and the reaping of possible benefits of the research as well as 
p.(None):  the procedural fairness of the research as experienced by the participants. It is relevant to the selection of subjects; the burden of risky research 
p.(None):  should not fall disproportionately on stigmatized or institutionalized persons. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  "Do I make myself clear?" (Vignette) 
p.(None):   
p.(None):  Dr. Strunk prides himself on his ability to communicate clearly, in terms appropriate to his audience. Strunk feels special responsibility to communicate 
p.(None):  clearly when he solicits subjects for his research on children's responses to literature. He follows the principle of respect for the autonomy of human 
p.(None):  subjects, as enunciated in the Belmont Report. In Strunk's view, that means, among other things, that the informed consent must be understandable to 
p.(None):  these parents and to their children. He realizes that comprehension is influenced by emotional as well as cognitive factors. Unusually formal or legalistic 
p.(None):  language will obscure meaning that otherwise would be clear if friendly, informal and familiar forms of address and vocabulary were used. 
p.(None):   
p.(None):  Accordingly, Strunk prepared parental permission and child assent forms in clear friendly language. Since he was a member of the school's PTA, served 
...
Social / Threat of Violence
Searching for indicator violence:
(return to top)
           
p.(None):  design must be examined by either the IRB official or fully convened IRB depending upon whether the initial review was exempt. Following that review, 
p.(None):  after evaluating the level of risk involved, a waiver of informed consent may be recommended if risk of harm is low and adequate confidentiality 
p.(None):  procedures are in effect. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What sorts of harm can arise from social and behavioral science research? 
p.(None):   
p.(None):  Here are some typical examples: 
p.(None):   
p.(None):  Harms commensurate with daily life, requiring no special protection: 
p.(None):   
p.(None):  Mere inconvenience when a survey or other research interaction is administered at an inconvenient time or place or simply takes a long time to 
p.(None):  administer. 
p.(None):   
p.(None):  Harms that have the potential for serious effects, which IRBs should examine: 
p.(None):   
p.(None):  Emotional or psychological harm, for example when a research interaction causes upset, or worry about breach of confidentiality. 
p.(None):  Social harm due to stigma or other negative social outcomes of breach of confidentiality. 
p.(None):  Physical harm if revelations about others get back to those persons, particularly when researchers study domestic violence, gang activity, political 
p.(None):  activity in a conflict zone, or other phenomena concerning violence-prone individuals. 
p.(None):  Financial harm if revelations result in loss of employment or insurance coverage. 
p.(None):  Legal harm when illegal activities are disclosed. 
p.(None):  Moral harm when participation in research strengthens subjects' inclinations to behave unethically. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Informed Consent in Social and Behavioral Science 
p.(None):   
p.(None):  Informed consent should take the form of a friendly, easily understood communication process with competent participants. Ideally it should be a 
p.(None):  verbal exchange between researcher and subject, with a written summary of the information for the subject to keep as appropriate. When written, it 
p.(None):  should be brief, and simply phrased at a reading level that the least literate subject can understand. 
p.(None):   
p.(None):  The informed consent process should involve a friendly discussion that provides a basis for subjects to decide about participation. Subjects should be able 
p.(None):  to think about what they have been told and to ask any questions. IRBs and researchers should not defeat the purpose of informed consent by substituting 
p.(None):  a legalistic consent form for an effective communication process. If signed forms are appropriate, signing the form should not be perfunctory, unreflecting 
...
           
p.(None):  paper records), he foresaw no risk because the questions did not deal with sensitive topics. 
p.(None):   
p.(None):  During one exercise he was astonished to see a student's response describe some sanctioned behavior-plagiarism on the part of the student. He had 
p.(None):  recorded the student's identity. 
p.(None):   
p.(None):  What to do? 
p.(None):   
p.(None):  There are 2 issues here. First, to the extent that Dr. Goodbar is using students survey responses for his published scholarly articles, he is 
p.(None):  conducting research CFR 46.112 (d). In conducting research, he would have submitted an IRB proposal and obtained permission to survey the 
p.(None):  students. The second issue concerns confidentiality, and if Dr. Goodbar promised this within the IRB proposal and promised this to students on the 
p.(None):  consent form, then he is obligated to maintain that confidentiality. 
p.(None):   
p.(None):  To protect the student, the record should be erased immediately. 
p.(None):   
p.(None):  To respect the academic institution and tradition, the student should be counseled on the impropriety of plagiarism. 
p.(None):   
p.(None):  In general, in the case of a serious matter (a threat of violence, a criminal act, a serious breach of academic discipline, e.g., the theft of a test) the 
p.(None):  professor should inform institutional authorities provided that confidentiality was not promised. 
p.(None):   
p.(None):  The professor should routinely point out to students, before the research takes place, to consider before responding that their responses will be 
p.(None):  recorded. They should be told not to say anything they would not want others to see and hear on tape. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Doesn't the Common Rule demand confidentiality in research records? 
p.(None):   
p.(None):  The Common Rule addresses privacy of information about persons and confidentiality of data. A research project involving individual information about 
p.(None):  respondents can be exempt under two conditions: 
p.(None):   
p.(None):  if the information either is not linked to the respondents' identity (§ 101 (b) (2)), e.g., it is anonymous, or 
p.(None):  the information is linked to the respondents' identity, but the nature of the information is such that disclosure will not be reasonably expected to 
p.(None):  cause harm (§ 101 (b) (2)). Non-anonymous data recording can be exempt if any breach of confidentiality will not cause harm beyond that 
p.(None):  encountered in everyday life. Historical or other research where the respondent is fully aware that publication will involve names, or where the 
p.(None):  information is in public records, is not of concern here. 
p.(None):   
...
Social / Victim of Abuse
Searching for indicator abuse:
(return to top)
           
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Advice to IRBs on Dealing with Researchers 
p.(None):   
p.(None):  The advance of scientific research is a vital interest of the United States of America. Your institution is by definition an important part of the US research 
p.(None):  effort. The institution should provide enough resources to enable the IRB to: 
p.(None):   
p.(None):  Act in a timely way on research protocols. Expedited reviews should take no longer than five working days. 
p.(None):  Incorporate sufficient expertise to review the research presented to you (§107 (a)). The institution should provide a roster of experts to the Office of 
p.(None):  Human Research Protections of HHS, without conflicts of interest with the research, willing to contribute to the IRB discussion of every proposal. 
p.(None):   
p.(None):  Seek ways to streamline the process. Proposals may be reviewed on-line to minimize paper clutter; departmental representatives could be included 
p.(None):  in the IRB to triage the reviews. 
p.(None):   
p.(None):  Give talks and workshops for departments (and especially for their graduate students) whose protocols are often problematic; make handouts or on- 
p.(None):  line materials that suggest useful procedures for handling human subjects issues that frequently arise. 
p.(None):   
p.(None):  Make sure that your institution's library carries books and articles that offer useful guidance on sensitive issues such as research on children, 
p.(None):  procedures for assuring confidentiality of research data, state laws concerning mandated reporting of child or elder abuse, etc. 
p.(None):   
p.(None):  Offer to consult with researchers as they design their research and as they prepare their protocols. 
p.(None):   
p.(None):  Ensure that the IRB includes members who are, themselves, researchers and who are knowledgeable about research design and human subjects 
p.(None):  protections. Have a directory available to researchers to identify which IRB staff or member to consult with for any given type of problem. 
p.(None):   
p.(None):  Be willing to work with researchers to help them improve their protocols rather than rejecting problematic protocols. 
p.(None):   
p.(None):   
p.(None):  Remember that the time you spend being helpful before a protocol is finished saves everyone's time, creates goodwill, and earns the IRB a reputation that 
p.(None):  will make it easier to recruit top notch researchers to your institution and to the IRB membership. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Advice to Researchers on Dealing with IRBs 
p.(None):   
p.(None):  Researchers can do several things to avoid problems with IRB review: 
p.(None):   
p.(None):  become familiar with the federal policies and regulations and with the local IRB procedures, 
p.(None):   
p.(None):  provide the IRB with sufficient information to allow them to accomplish their job, 
p.(None):   
p.(None):  volunteer to serve on the IRB. 
p.(None):   
p.(None):  Consult with the IRB as soon as you begin to consider doing sensitive research or research on a vulnerable population; learn their concerns and 
p.(None):  recommendations; ask them the best ways to solve the problems they mention. If they suggest "solutions" you cannot live with (e.g., getting written 
...
Social / Women
Searching for indicator women:
(return to top)
           
p.(None):  (§) numbers. The text of the regulation in each case is identical. 
p.(None):   
p.(None):  Thus NSF's regulation is listed as 45 CFR Part 690 §101124, while DHHS' regulation, consisting of the identical text, is 45 CFR Part 46 §101124. 
p.(None):   
p.(None):  Some agencies have adopted additional regulations ("subparts", see below) dealing with special populations. The Common Rule is also referred to as 
p.(None):  "Subpart A" of the DHHS regulations of human research 45 CFR 46, to distinguish it from the other subparts listed below. 
p.(None):   
p.(None):  Institutions assure that they will comply with the regulations regarding human subjects research. This assurance is normally filed with the appropriate 
p.(None):  federal agency that sponsors their research. Most universities have assurances from DHHS. Under the Common Rule, each agency (e.g., NSF) agrees to 
p.(None):  accept an assurance issued by DHHS as a commitment that the institution will follow the regulations. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What are the Subparts of the regulations? 
p.(None):   
p.(None):  Subpart A, known as the Common Rule, relates to human subjects research in general. The other subparts (B, C and D of the DHHS version) relate to 
p.(None):  special research populations and have been adopted by some agencies. (See http://www.hhs.gov/ohrp/humansubjects/guidance/45cfr46.html) 
p.(None):   
p.(None):  Subpart B relates to research on fetuses, neonates, and pregnant women; 
p.(None):   
p.(None):  Subpart C relates to research with prisoners, and in general stipulates that the IRB include a prisoner or prisoner representative (among other 
p.(None):  requirements); 
p.(None):   
p.(None):  Subpart D relates to research with children, and in general mandates that adequate provisions be made for soliciting the assent of children and permission 
p.(None):  of their parents or guardians. 
p.(None):   
p.(None):  NSF has chosen not to adopt subparts B, C, and D. Only subpart A regulations are necessarily relevant for NSF funded projects. The Common Rule 
p.(None):  indicates that vulnerable populations include subjects, such as children, prisoners, pregnant women, or handicapped or mentally disabled persons. 
p.(None):   
p.(None):  Institutions which follow subparts B, C, and D for DHHS-sponsored research may not need to do so for NSF-sponsored projects. 
p.(None):   
p.(None):  Many institutions have signed Federal Wide Assurances with DHHS in which they may have agreed to apply the subparts to all research. If this poses a 
p.(None):  problem in conducting the NSF-sponsored research, institutions are advised to consult with their NSF program officer. In many cases problems are 
p.(None):  caused not by the regulations themselves, but by overly restrictive interpretations by IRBs. For example, Subpart C's mandate of an IRB member who is 
p.(None):  "a prisoner, or prisoner's representative with appropriate background and experience ..." can be met by a suitable member of the sociology or criminal 
p.(None):  justice faculty, the regulations do not require a formal affiliation with a prisoner association. Subpart D's mandate of informed consent is subject to "the 
p.(None):  extent that consent is required by §46.116 of Subpart A..." and does not automatically and invariably require written consent forms. As § 46.116.d. (same 
p.(None):  as § 690.116.d) specifies, informed consent can be modified or waived for a project which: 
p.(None):   
p.(None):  could not practicably be carried out without the waiver or alteration, 
...
           
p.(None):   
p.(None):  Ethnographic research interviews are not necessarily formal interviews with a questionnaire. They often are simple conversations on the respondent's 
p.(None):  home ground (as opposed to the researcher's laboratory). Competent adult individuals have the option of participating and responding to questions or the 
p.(None):  respondent has the choice of not allowing the researcher access to his or her person, ignoring requests for information, giving misleading replies, or 
p.(None):  responding to requests in other ways that preserve the respondent's dignity and independence. Informed consent is usually implied by the respondent's 
p.(None):  willingness to talk to the researcher. 
p.(None):   
p.(None):  In most ethnographic projects a request for a written, formal consent would seem suspicious, inappropriate, rude and perhaps even threatening. In other 
p.(None):  words, written consent can potentially harm the research interaction and generate rather than ameliorate concern in respondents. In many parts of the 
p.(None):  world, for many people with a history of exploitation and unfair dealings with authorities and government, a request to sign a form is fraught with danger. 
p.(None):  Respondents may not be fully literate, may not have familiarity or experience with social science research, and may have learned to expect the worst from 
p.(None):  strangers through experience or popular belief. 
p.(None):   
p.(None):  The roles of women and minors are not necessarily the same in other societies as in the US. In many cultures women and children are forbidden from 
p.(None):  making any agreement without their husband's or father's permission, which may not be appropriate in all situations. Written informed consent in such 
p.(None):  cases would be impossible to obtain, or if obtained would generate concern in respondents. 
p.(None):  Researchers should be sensitive to such cultural differences within the US as well as in cultures outside the US. A vital aspect of protecting and respecting 
p.(None):  human subjects is to "do your homework" of learning about the cultural norms of those you wish to study. Expertise regarding the locale is essential and 
p.(None):  may be provided by the investigator or a consultant. In these circumstances the Common Rule authorizes a waiver of written documentation. § 117 (c) (1) 
p.(None):  discusses situations where the only record linking the subject and the research would be the consent document, and the principal risk would be potential 
p.(None):  harm resulting from a breach of confidentiality. 
p.(None):   
p.(None):  § 117 (c) (2) deals with waiving written documentation of informed consent in situations where "the research presents no more than minimal risk of harm 
...
Social / Youth/Minors
Searching for indicator minor:
(return to top)
           
p.(None):  of a trivial harm. Proposals with extremely low probabilities of serious harm should be carefully examined to minimize risks and ensure that 
p.(None):  appropriate informed consent is obtained. 
p.(None):   
p.(None):  In these guidance statements, "minimal risk" is used to refer to research where the magnitude of harm is low, whether the probability of harm is low 
p.(None):  or high. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What does "minimal risk" mean in research? 
p.(None):   
p.(None):  The Common rule defines minimal risk as: "the probability and magnitude of harm or discomfort anticipated in the research are not greater in and of 
p.(None):  themselves than those ordinarily encountered in daily life or during the performance of routine physical or psychological examinations or tests." (§ 690.102 
p.(None):  (i)) 
p.(None):   
p.(None):  Note that the probability of harm should be distinguished from the magnitude of harm. It is virtually certain that we will suffer minor transient harms 
p.(None):  in normal every-day life (transportation delays; inclement weather; embarrassment; fatigue; etc.). Such high-probability, low-magnitude harms are 
p.(None):  within the definition of "low-risk" research. Researchers might be asked what the probability of transient harm occurring is; whether the harm is 
p.(None):  likely to be lasting in any way; and what steps will be taken to ameliorate the harm. 
p.(None):  "More than minimal risk" means that the degree of physical or psychological discomfort is above that which is ordinarily encountered in daily living 
p.(None):  or during the performance of routine physical or psychological examinations or tests. This could include disclosure of confidential information to 
p.(None):  individuals who could use that information to harm a subject in some way. 
p.(None):   
p.(None):  Researchers who gather such information are obligated to take all reasonable measures to provide a secure environment for data and to assure that it 
p.(None):  does not come into the wrong hands (See FAQ: What are the major techniques for protecting confidentiality?). The regulations refer to serious harm: 
p.(None):   
p.(None):  Most social science data, even if revealed, would not put subjects at serious risks. The mere fact that data might be disclosed does not mean that 
p.(None):  subjects will be seriously harmed; the critical question is whether disclosure would be potentially damaging. 
p.(None):   
...
           
p.(None):  generalizable knowledge. Activities, which meet this definition, constitute research for purposes of this policy, whether or not they are conducted or 
p.(None):  supported under a program, which is considered research for other purposes. For example, some demonstration and service programs may include 
p.(None):  research activities. 
p.(None):   
p.(None):  Researchit's project in fact fits the criteria for exemption, because it uses interview procedures that involve no risk of harm.( § 690.101.b.2) 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  My university does not have an "exempt" category for research, only "expedited" and "full review" categories. What does this mean in terms of 
p.(None):  social science projects that the federal government has declared "exempt"? 
p.(None):  The regulations specify exempt research at § 101 (b) and expedited review at § 110. Your university requires that the IRB or some other non-involved 
p.(None):  person, and not simply the investigator, must confirm that the project is in the exempt category. In order for that determination to be made, the project 
p.(None):  must be examined by an independent authority. Exempt projects are usually free from continued oversight by the IRB unless the nature of the project 
p.(None):  changes. 
p.(None):   
p.(None):  On the other hand, your university may have simply collapsed the exempt and expedited categories of research together. In an expedited review, typically 
p.(None):  only one experienced member of the IRB committee, or the chair of the committee, will review the project and confirm that the project is indeed minimal 
p.(None):  risk, or a minor change to a previously approved protocol, and meets the criteria for expedited review. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Where can I get authoritative and expert interpretation of the regulations? 
p.(None):   
p.(None):  Many agencies support the Common Rule, meaning they follow the same regulations. Each agency has special expertise in the application of the 
p.(None):  regulations for relevant research. 
p.(None):   
p.(None):  For example, NSF funds research in the area of experimental economics. An IRB asking how to apply the regulations to experimental economics 
p.(None):  research could seek guidance from the funding agency supporting those research activities. 
p.(None):   
p.(None):  The most knowledgeable advice comes from the agency funding the research. 
p.(None):   
p.(None):  Although all agencies follow the same regulations, each agency has different expertise on the application of the regulations to specific cases. For NSF 
p.(None):  research, the first person to call is the Program Officer, who will answer questions directly or get authoritative advice from NSF's Human Subjects 
p.(None):  Research Protections Officer. 
p.(None):   
p.(None):  But my institution's assurance is from OHRP. Doesn't that mean that I must get that office's response to my question? 
p.(None):   
p.(None):  No, OHRP will direct inquiries from requestors to the appropriate officials at the funding department or agency. The response of the agency funding a 
p.(None):  specific research project is the most appropriate government interpretation of the regulations with respect to that project. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
...
Social / education
Searching for indicator education:
(return to top)
           
p.(None):  justice faculty, the regulations do not require a formal affiliation with a prisoner association. Subpart D's mandate of informed consent is subject to "the 
p.(None):  extent that consent is required by §46.116 of Subpart A..." and does not automatically and invariably require written consent forms. As § 46.116.d. (same 
p.(None):  as § 690.116.d) specifies, informed consent can be modified or waived for a project which: 
p.(None):   
p.(None):  could not practicably be carried out without the waiver or alteration, 
p.(None):  is of no more than minimal risk, 
p.(None):  the waiver or alteration will not adversely affect the rights and welfare of the subjects, 
p.(None):  where appropriate, the subjects will be provided with additional pertinent information after participation. 
p.(None):   
p.(None):  These conditions cover a lot of research supported by the National Science Foundation. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Original Agencies, Departments and Offices approving the Common Rule (1991) 
p.(None):   
p.(None):  Agency for International Development 
p.(None):  Consumer Product Safety Commission 
p.(None):  Department of Agriculture 
p.(None):  Department of Commerce 
p.(None):  Department of Defense 
p.(None):  Department of Education 
p.(None):  Department of Energy 
p.(None):  Department of Health and Human Services 
p.(None):  Centers for Disease Control 
p.(None):  Food and Drug Administration 
p.(None):  National Institutes of Health 
p.(None):  Department of Housing and Urban Development 
p.(None):  Department of Justice 
p.(None):  Department of Veterans Affairs 
p.(None):  Department of Transportation 
p.(None):  Environmental Protection Agency 
p.(None):  National Aeronautics and Space Administration 
p.(None):  National Science Foundation 
p.(None):  In addition, the Central Intelligence Agency and Social Security Administration are required by Executive Order and statute, respectively, to follow the 
p.(None):  DHHS regulations (including all subparts). 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What parts of the regulations are applicable to my institution? 
p.(None):   
p.(None):  The Common Rule (subpart A of the DHHS regulations) has been adopted by many federal agencies involved in research. 
p.(None):   
p.(None):  NSF has not adopted subparts B, C and D of the DHHS regulations, and they are not necessarily applicable to NSF awards. (See Vignette: Child 
p.(None):  language studies in "Freedonia") 
p.(None):   
p.(None):  Specific institutions may have adopted policies that go beyond NSF's requirements. In general, institutions are free to adopt policies as they see fit, above 
...
           
p.(None):  it into categories. 
p.(None):   
p.(None):  Research involving many data files on the same person can use anonymous linkage systems. 
p.(None):   
p.(None):  CERTIFICATES OF CONFIDENTIALITY: If research is contemplated on a topic which is likely to be subject to legal proceedings, the federal 
p.(None):  government can issue a "Certificate of Confidentiality" which shields the data from required disclosure by the researcher. Under section 301(d) of 
p.(None):  the Public Health Service Act (42 U.S.C. 241(d)) the Secretary of Health and Human Services may authorize persons engaged in biomedical, 
p.(None):  behavioral, clinical, or other research to protect the privacy of individuals who are the subjects of that research. This authority has been delegated 
p.(None):  to the National Institutes of Health (NIH). Persons authorized by the NIH to protect the privacy of research subjects may not be compelled in any 
p.(None):  Federal, State, or local civil, criminal, administrative, legislative, or other proceedings to identify them by name or other identifying characteristic. For 
p.(None):  additional information, see https://humansubjects.nih.gov/coc/background. For detailed application instructions, see 
p.(None):  https://grants.nih.gov/grants/policy/coc/appl_extramural.htm. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Where can I find information about confidentiality in data? 
p.(None):   
p.(None):  The National Research Council's Committee on National Statistics, part of the Division of Behavioral and Social Sciences and Education has a 
p.(None):  publication, "Improving Access to and Confidentiality of Research Data: Report of a Workshop" edited by Christopher Mackie and Norman Bradburn. 
p.(None):   
p.(None):  The U.S. Department of Justice, Office of Justice Programs, Bureau of Justice Statistics has a paper by Joan Sieber on its web site, "Summary of Human 
p.(None):  Subjects Protection Issues Related to Large Sample Surveys" which gives a comprehensive discussion and bibliography of these issues. 
p.(None):   
p.(None):  The Federal Committee on Statistical Methodology (FCSM), sponsored by OMB, has produced 2 reports on statistical methods to limit disclosure. "Report 
p.(None):  on Statistical Disclosure and Disclosure-Avoidance Techniques", 1978 (NTIS PB86-2115/AS) and 22, "Report on Statistical Disclosure Limitation 
p.(None):  Methodology", 1994 (NTIS PB94-165305) respectively). They can be found them on the FCSM's web site at http://www.fcsm.gov. 
p.(None):   
p.(None):  FCSM has a standing "Confidentiality and Data Access Committee" (CDAC) which has produced several useful documents. In particular, CDAC's 
p.(None):  "Checklist on Disclosure Potential of Proposed Data Releases" is a useful resource. 
p.(None):   
p.(None):  The U.S. Bureau of the Census has recently cooperated with a private press to publish "Confidentiality, Disclosure, and Data Access, Theory and 
p.(None):  Practical Applications for Statistical Agencies". The book is also based on work by the Committee on National Statistics at the National Academy of 
...
Searching for indicator educational:
(return to top)
           
p.(None):  on various PTA committees and was generally known to the teachers and other parents as Bill Strunk, he signed his correspondence with parents as "Bill 
p.(None):  Strunk." Strunk was flabbergasted when his IRB sent him back a very long "corrected" version of his assent and permission letters, rewritten in complex 
p.(None):  "legalese," to be signed as "Dr. William Strunk." Who was right? 
p.(None):   
p.(None):  Strunk was right. The federal regulations require an explanation that subjects can understand. In fact, the University of South Florida recently was sued by 
p.(None):  subjects (successfully for $3,800,000) claiming that the consent form was not written in a manner they could understand. 
p.(None):  (http://www.researchroundtable.com/usfcase.htm). University lawyers who rewrite such documents may fail to realize that clear communication (in terms 
p.(None):  the subjects can understand) is what the law requires. Language that is unclear, alarming, and incomprehensible to the subject does not protect the 
p.(None):  institution and is not in fact "legally correct." 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What exemptions of the Common Rule are most appropriate to social science research? 
p.(None):   
p.(None):  The Common Rule states that there are 6 categories of research that are exempt (from full IRB review). The first 4 of the exemptions will be most 
p.(None):  appropriate for social science research: 
p.(None):   
p.(None):  Research in educational settings involving educational practices. (§ 101 (b) (1)) 
p.(None):   
p.(None):  Research involving educational tests (cognitive, diagnostic, aptitude, achievement), surveys, interviews, or observations of public behavior, unless 
p.(None):  subjects are identified and disclosure of responses would involve more than reasonable risk. (§ 101 (b) (2)) 
p.(None):   
p.(None):  Research involving educational tests (cognitive, diagnostic, aptitude, achievement), surveys, interviews, or observations of public behavior not 
p.(None):  exempt under preceding exemption if human subjects are elected public officials, and if federal statutes require confidentiality of identifiable 
p.(None):  information. ((§ 101 (b) (3)) 
p.(None):   
p.(None):  Research involving the collection or study of existing data if publicly available or unidentifiable. ((§ 101 (b) (4)) 
p.(None):   
p.(None):  Research and demonstration projects designed to study public benefit or service programs. ((§ 101 (b) (5)) 
p.(None):   
p.(None):  Taste and food quality evaluation and consumer acceptance studies. ((§ 101 (b) (6)) 
p.(None):   
p.(None):  Exempt research is free from continued oversight by the IRB although the institution (either a designated IRB representative, the entire committee, or 
p.(None):  some other institutional authority), not the researcher, must determine that the project is exempt in the first place. Usually this is accomplished through a 
p.(None):  brief review process. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Does this mean that all questionnaire, educational test, and interview-based studies are exempt? 
p.(None):   
p.(None):  Such studies are exempt UNLESS: 
p.(None):   
p.(None):  Specific individual human subjects can be identified directly or through identifiers linked to them (i.e., their names, telephone numbers or other 
p.(None):  unique identifiers are recorded in the data) 
p.(None):   
p.(None):  AND disclosure of their responses could place them at risk of: 
p.(None):   
p.(None):  criminal/civil liability, or 
p.(None):  damage to their financial standing, employability, or reputation 
p.(None):   
p.(None):  Research on vulnerable populations may not be exempt. Consult with your local IRB or NSF program officer for guidance in specific cases. 
p.(None):   
p.(None):  When the subjects are public officials or candidates for public office, the research is exempt even when identifiers are included or disclosure might be 
p.(None):  harmful. 
p.(None):   
p.(None):  When the subjects are public officials or candidates for public office, the research is exempt even when identifiers are included or disclosure might be 
p.(None):  harmful. However, all research should be bound by professional ethics and respect for respondents to guard their privacy whether or not the research is 
p.(None):  exempt (unless the participants understand that their information may be made public and permission is granted). 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Does this mean that I cannot collect or record personal identifying information? 
p.(None):   
p.(None):  IF you collect information on individually identified participants from publicly available sources, the project may be in the exempt category as long as that 
...
           
p.(None):   
p.(None):  The lessons: 
p.(None):   
p.(None):  The risk in this project is the harm resulting from a breach of confidentiality. The regulations allow the IRB to waive documentation of informed 
p.(None):  consent ((§ 116 (d)), and ethical considerations mandate that they do so, in order to reduce the risk to the subjects. Here a misreading of the rules 
p.(None):  actually increased the risk to subjects. 
p.(None):  Documentation of informed consent is not an end in itself, but should be a tool to decrease risk of unexpected harm to participants. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Does research conducted as a classroom exercise count as human subjects research? 
p.(None):   
p.(None):  The Common Rule defines research as "a systematic investigation, including research development, testing and evaluation, designed to develop or 
p.(None):  contribute to generalizable knowledge" (§ 102.d) 
p.(None):  This includes activities, which are intended to lead to published results, or for example, findings presented at a professional meeting. Classroom 
p.(None):  exercises, involving interactions with human participants, which are part of an educational program, and are not designed to advance generalizable 
p.(None):  knowledge, are not covered by this regulation. Similarly, evaluations for quality improvement or assessment of instruction are not considered research so 
p.(None):  long as they are not designed to create generalizable knowledge. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  How can research conducted as a classroom exercise be reviewed to protect human participants? 
p.(None):   
p.(None):  Since the Common Rule exempts classroom exercises (see FAQ Does research conducted as a classroom exercise count as human subjects 
p.(None):  research?), the IRB has no mandated role to play in reviewing such exercises. However, the IRB typically is the only institutional store of expertise about 
p.(None):  human subjects protections, and may in principle be involved in such research in an oversight function. The following suggestions are offered as guidance 
p.(None):  for institutions seeking to protect participants from harm in such situations without overburdening IRBs with needless review responsibilities. 
p.(None):   
p.(None):  The relevant department should set up a Human Research Committee to review classroom exercises for harm to participants. 
p.(None):   
p.(None):  The department should state, in writing, what sort of research is reviewed in the department (i.e., classroom exercises, non federally-funded 
p.(None):  research, etc. ) in contrast to research which must go to the IRB. 
p.(None):   
...
           
p.(None):  an introduction of herself (a professor of psychology), a description of her longitudinal study, an invitation to participate, and a standard consent form. 
p.(None):   
p.(None):  Studyphud showed her research protocol to a colleague who is on the IRB to inquire whether the format was correct. She was surprised when her 
p.(None):  colleague objected to her obtaining a list of students admitted to the Ph.D. program. Her colleague claimed that Studyphud has no right to that list since 
p.(None):  the fact of students' admission to Ph.D. programs is a private event. The colleague said that the only way Studyphud could contact the students is by 
p.(None):  placing a more general solicitation in all doctoral students' mailboxes asking them to contact her if they qualified (as new students) and were interested in 
p.(None):  participating. Was Studyphud's colleague right? 
p.(None):   
p.(None):  Studyphud's colleague was wrong. A list of names of students admitted to a graduate program is not normally private. With students permission, 
p.(None):  departmental newsletters will list and briefly describe these students to welcome them to the program. Lists of their names and a few other identifying 
p.(None):  characteristics will be distributed to faculty, staff and existing doctoral students. 
p.(None):   
p.(None):  The distinction between public and private information can be ambiguous in some cases. Some information that becomes part of university records, such 
p.(None):  as students' financial status or that of their parents, would arguably be private and covered by the federal law called the Family Educational Rights and 
p.(None):  Privacy Act, also known as FERPA or the Buckley Amendment. And clearly if Studyphud were seeking volunteers who had smoked marijuana as 
p.(None):  undergraduates or who had certain medical conditions, she would be dealing with private information. 
p.(None):   
p.(None):  The Common Rule provides a general and satisfactory description of identifiable private information whose confidentiality should be discussed with the 
p.(None):  respondent, such as medical records (§ 102 (f) (2)). 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Is ethnography covered by the Common Rule? 
p.(None):   
p.(None):  Ethnography refers to a type of social science research where the researcher studies human behavior in a natural setting, rather than in a laboratory, for 
p.(None):  purposes of understanding the culture of that particular population. Research may involve observations and/or interviews with people in that setting. Since 
p.(None):  human participants are involved, the research is covered by the regulations. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Is ethnographic research exempt? 
p.(None):   
p.(None):  Depending on the specifics of the research project, ethnographic research may be exempt, qualify for expedited review, or require full IRB review. 
p.(None):  Although research involving public behavior is exempt under the Common Rule, projects focusing on sensitive information, where the disclosure of 
p.(None):  responses could harm the respondent, require full review. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
...
Social / parents
Searching for indicator parents:
(return to top)
           
p.(None):   
p.(None):  Institutions assure that they will comply with the regulations regarding human subjects research. This assurance is normally filed with the appropriate 
p.(None):  federal agency that sponsors their research. Most universities have assurances from DHHS. Under the Common Rule, each agency (e.g., NSF) agrees to 
p.(None):  accept an assurance issued by DHHS as a commitment that the institution will follow the regulations. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What are the Subparts of the regulations? 
p.(None):   
p.(None):  Subpart A, known as the Common Rule, relates to human subjects research in general. The other subparts (B, C and D of the DHHS version) relate to 
p.(None):  special research populations and have been adopted by some agencies. (See http://www.hhs.gov/ohrp/humansubjects/guidance/45cfr46.html) 
p.(None):   
p.(None):  Subpart B relates to research on fetuses, neonates, and pregnant women; 
p.(None):   
p.(None):  Subpart C relates to research with prisoners, and in general stipulates that the IRB include a prisoner or prisoner representative (among other 
p.(None):  requirements); 
p.(None):   
p.(None):  Subpart D relates to research with children, and in general mandates that adequate provisions be made for soliciting the assent of children and permission 
p.(None):  of their parents or guardians. 
p.(None):   
p.(None):  NSF has chosen not to adopt subparts B, C, and D. Only subpart A regulations are necessarily relevant for NSF funded projects. The Common Rule 
p.(None):  indicates that vulnerable populations include subjects, such as children, prisoners, pregnant women, or handicapped or mentally disabled persons. 
p.(None):   
p.(None):  Institutions which follow subparts B, C, and D for DHHS-sponsored research may not need to do so for NSF-sponsored projects. 
p.(None):   
p.(None):  Many institutions have signed Federal Wide Assurances with DHHS in which they may have agreed to apply the subparts to all research. If this poses a 
p.(None):  problem in conducting the NSF-sponsored research, institutions are advised to consult with their NSF program officer. In many cases problems are 
p.(None):  caused not by the regulations themselves, but by overly restrictive interpretations by IRBs. For example, Subpart C's mandate of an IRB member who is 
p.(None):  "a prisoner, or prisoner's representative with appropriate background and experience ..." can be met by a suitable member of the sociology or criminal 
...
           
p.(None):  of subjects in society)." Risks and benefits are usually described in the informed consent process for clinical research; for many social and 
p.(None):  behavioral science projects where risks and benefits are minimal (e.g., many surveys) an extensive statement is not appropriate. 
p.(None):   
p.(None):   
p.(None):  3. Justice. The principle of justice concerns the distribution of the burden of research and the reaping of possible benefits of the research as well as 
p.(None):  the procedural fairness of the research as experienced by the participants. It is relevant to the selection of subjects; the burden of risky research 
p.(None):  should not fall disproportionately on stigmatized or institutionalized persons. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  "Do I make myself clear?" (Vignette) 
p.(None):   
p.(None):  Dr. Strunk prides himself on his ability to communicate clearly, in terms appropriate to his audience. Strunk feels special responsibility to communicate 
p.(None):  clearly when he solicits subjects for his research on children's responses to literature. He follows the principle of respect for the autonomy of human 
p.(None):  subjects, as enunciated in the Belmont Report. In Strunk's view, that means, among other things, that the informed consent must be understandable to 
p.(None):  these parents and to their children. He realizes that comprehension is influenced by emotional as well as cognitive factors. Unusually formal or legalistic 
p.(None):  language will obscure meaning that otherwise would be clear if friendly, informal and familiar forms of address and vocabulary were used. 
p.(None):   
p.(None):  Accordingly, Strunk prepared parental permission and child assent forms in clear friendly language. Since he was a member of the school's PTA, served 
p.(None):  on various PTA committees and was generally known to the teachers and other parents as Bill Strunk, he signed his correspondence with parents as "Bill 
p.(None):  Strunk." Strunk was flabbergasted when his IRB sent him back a very long "corrected" version of his assent and permission letters, rewritten in complex 
p.(None):  "legalese," to be signed as "Dr. William Strunk." Who was right? 
p.(None):   
p.(None):  Strunk was right. The federal regulations require an explanation that subjects can understand. In fact, the University of South Florida recently was sued by 
p.(None):  subjects (successfully for $3,800,000) claiming that the consent form was not written in a manner they could understand. 
p.(None):  (http://www.researchroundtable.com/usfcase.htm). University lawyers who rewrite such documents may fail to realize that clear communication (in terms 
p.(None):  the subjects can understand) is what the law requires. Language that is unclear, alarming, and incomprehensible to the subject does not protect the 
p.(None):  institution and is not in fact "legally correct." 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What exemptions of the Common Rule are most appropriate to social science research? 
p.(None):   
p.(None):  The Common Rule states that there are 6 categories of research that are exempt (from full IRB review). The first 4 of the exemptions will be most 
p.(None):  appropriate for social science research: 
p.(None):   
p.(None):  Research in educational settings involving educational practices. (§ 101 (b) (1)) 
p.(None):   
...
           
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Child language studies in "Freedonia" (Vignette) 
p.(None):   
p.(None):  Professor Jones, a sociolinguist, received a prestigious CAREER Award from the National Science Foundation funding five years of her research on how 
p.(None):  elementary school children in "Freedonia" learn grammatical categories. Her research involved asking children how they say normal phrases on subjects 
p.(None):  that were not sensitive in Freedonian or US culture, thus the research was deemed to be low risk by her institution and NSF. 
p.(None):   
p.(None):  In the fourth year of her research Professor Jones changed institutions to "Academic" University. Professor Jones expected her IRB approval for her 
p.(None):  continuing research to be simple, since this was the fourth year of research on this minimal risk project. She was surprised to learn, three weeks before 
p.(None):  she was due to leave the country, that the new University's IRB wanted her research to be reviewed by a Freedonian IRB. Freedonia does not have social 
p.(None):  science IRBs and using a Freedonian medical IRB to review this project would not be an ideal situation. 
p.(None):  The new University's IRB also said that following Subpart D, pertaining to research involving children, she would need to get prior written consent from 
p.(None):  parents of all children she would involve in her research, using language which mentioned "risks" that are biomedical in nature and inapplicable in the 
p.(None):  context of her research. Professor Jones called her NSF program officer for help. The program officer, together with the NSF human subjects research 
p.(None):  officer, affirmed that the research was low risk. However the position of the University administrators was that the regulations required both a foreign IRB 
p.(None):  and the application of Subpart D's additional oversight for children. The University pointed out that their Federalwide Assurance with DHHS specifically 
p.(None):  included Subpart D. 
p.(None):   
p.(None):  After additional conversation with NSF staff, University administrators and legal advisors, and OHRP specialists, the University finally gave its approval to 
p.(None):  the project and Professor Jones was able to leave for Freedonia to continue her research as approved originally by her previous institution, without written 
p.(None):  consent. Most of the conversation dealt with formal requirements of the process and did not focus on issues related to potential risks of harm to the 
p.(None):  human subjects in the study. 
p.(None):   
p.(None):  Specific lessons: 
p.(None):   
p.(None):  Research in foreign countries does not always need to be reviewed by a foreign IRB if none exists, or when such a review would not be appropriate 
...
           
p.(None):  obtain from each program the list of graduate students admitted that year. After the student has enrolled, she plans to send the student, via campus mail, 
p.(None):  an introduction of herself (a professor of psychology), a description of her longitudinal study, an invitation to participate, and a standard consent form. 
p.(None):   
p.(None):  Studyphud showed her research protocol to a colleague who is on the IRB to inquire whether the format was correct. She was surprised when her 
p.(None):  colleague objected to her obtaining a list of students admitted to the Ph.D. program. Her colleague claimed that Studyphud has no right to that list since 
p.(None):  the fact of students' admission to Ph.D. programs is a private event. The colleague said that the only way Studyphud could contact the students is by 
p.(None):  placing a more general solicitation in all doctoral students' mailboxes asking them to contact her if they qualified (as new students) and were interested in 
p.(None):  participating. Was Studyphud's colleague right? 
p.(None):   
p.(None):  Studyphud's colleague was wrong. A list of names of students admitted to a graduate program is not normally private. With students permission, 
p.(None):  departmental newsletters will list and briefly describe these students to welcome them to the program. Lists of their names and a few other identifying 
p.(None):  characteristics will be distributed to faculty, staff and existing doctoral students. 
p.(None):   
p.(None):  The distinction between public and private information can be ambiguous in some cases. Some information that becomes part of university records, such 
p.(None):  as students' financial status or that of their parents, would arguably be private and covered by the federal law called the Family Educational Rights and 
p.(None):  Privacy Act, also known as FERPA or the Buckley Amendment. And clearly if Studyphud were seeking volunteers who had smoked marijuana as 
p.(None):  undergraduates or who had certain medical conditions, she would be dealing with private information. 
p.(None):   
p.(None):  The Common Rule provides a general and satisfactory description of identifiable private information whose confidentiality should be discussed with the 
p.(None):  respondent, such as medical records (§ 102 (f) (2)). 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Is ethnography covered by the Common Rule? 
p.(None):   
p.(None):  Ethnography refers to a type of social science research where the researcher studies human behavior in a natural setting, rather than in a laboratory, for 
p.(None):  purposes of understanding the culture of that particular population. Research may involve observations and/or interviews with people in that setting. Since 
p.(None):  human participants are involved, the research is covered by the regulations. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Is ethnographic research exempt? 
p.(None):   
p.(None):  Depending on the specifics of the research project, ethnographic research may be exempt, qualify for expedited review, or require full IRB review. 
p.(None):  Although research involving public behavior is exempt under the Common Rule, projects focusing on sensitive information, where the disclosure of 
...
Social / philosophical differences/differences of opinion
Searching for indicator opinion:
(return to top)
           
p.(None):  DHHS regulations (including all subparts). 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What parts of the regulations are applicable to my institution? 
p.(None):   
p.(None):  The Common Rule (subpart A of the DHHS regulations) has been adopted by many federal agencies involved in research. 
p.(None):   
p.(None):  NSF has not adopted subparts B, C and D of the DHHS regulations, and they are not necessarily applicable to NSF awards. (See Vignette: Child 
p.(None):  language studies in "Freedonia") 
p.(None):   
p.(None):  Specific institutions may have adopted policies that go beyond NSF's requirements. In general, institutions are free to adopt policies as they see fit, above 
p.(None):  and beyond the Common Rule. IRBs or researchers with specific questions about projects should contact the relevant agency program officer for 
p.(None):  guidance. (See FAQ: What are the Subparts of the regulations?) 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  My institution's assurance is with DHHS through OHRP, which has adopted subparts B, C & D. Does this mean that all research conducted 
p.(None):  through this institution must comply with the particulars of these subparts? 
p.(None):   
p.(None):  Not necessarily, if the research project is supported by an agency which has not adopted the particular subpart. The new Federalwide Assurance 
p.(None):  authorizes an institution to follow the regulations as interpreted by the most relevant agency or department. In NSF's opinion, a rote application of 
p.(None):  subparts B, C, and D may not always respect the autonomy of respondents, reduce risk or insure justice, and NSF urges flexibility with the goal of 
p.(None):  protecting human subjects and advancing research. (See Vignette: Child language studies in "Freedonia") (See FAQ: What are the Subparts of the 
p.(None):  regulations?) 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What are the overall goals of the federal policy (the Common Rule)? 
p.(None):   
p.(None):  The policy is designed to ensure minimal standards for the ethical treatment of research subjects. The major goal is to limit harms to participants in 
p.(None):  research. That means that no one should suffer harm just because they became involved as subjects or respondents in a research project. Institutions 
p.(None):  engaged in research should foster a culture of ethical research. 
p.(None):   
p.(None):  ETHICAL RESEARCH rests on three principles: 
p.(None):   
p.(None):  1. RESPECT for persons autonomy, meaning the researcher gives adequate and comprehensive information about the research and any risks likely 
p.(None):  to occur, understandable to the participant, and allows them to voluntarily decide whether to participate. 
p.(None):   
p.(None):  2. BENEFICENCE, meaning the research is designed to maximize benefits and minimize risks to subjects and society. 
p.(None):   
...
           
p.(None):  routinely required in all cases. For example, research should not use signed forms when the focus is on illegal behavior, or on partisan political activity in 
p.(None):  violent areas, where signed forms may potentially increase risks to the participants. Here the respondent's signed form could expose him or her to harm 
p.(None):  from state authorities or private vendettas. 
p.(None):   
p.(None):  Your IRB can authorize a waiver of written consent forms or other formal consent procedures under specified conditions. (See 45 CFR Part 46 
p.(None):  §116)(See 45 CFR Part 46 §117 )(See FAQ Informed Consent in Social and Behavioral Science)(See FAQ When a Signed Consent Form can 
p.(None):  Harm a Participant 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What if the researcher and the IRB disagree about the risk and appropriate action to be taken in the project? 
p.(None):   
p.(None):  The regulations do not discuss procedures for resolving conflicts between IRBs and researchers. Each institution should develop a written set of 
p.(None):  procedures for resolving differences of opinion. For example, perhaps a conversation could be scheduled between the research office administrator, the 
p.(None):  IRB chair, the researcher, outside consultants if deemed appropriate, and the funding agency representative. The major principles to be respected in any 
p.(None):  mediation procedure should include: 
p.(None):   
p.(None):  Limitation of risk of harm to human subjects. 
p.(None):  Reasonable implementation of informed consent. 
p.(None):  Avoidance of conflicts of interest. 
p.(None):  Advancement of knowledge through research. 
p.(None):  Oversight commensurate with the level of risk. 
p.(None):  Adherence to the Common Rule. 
p.(None):   
p.(None):  Ultimately, however, authority to approve the research must rest with the IRB. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Advice to IRBs on Dealing with Researchers 
p.(None):   
p.(None):  The advance of scientific research is a vital interest of the United States of America. Your institution is by definition an important part of the US research 
p.(None):  effort. The institution should provide enough resources to enable the IRB to: 
p.(None):   
p.(None):  Act in a timely way on research protocols. Expedited reviews should take no longer than five working days. 
p.(None):  Incorporate sufficient expertise to review the research presented to you (§107 (a)). The institution should provide a roster of experts to the Office of 
p.(None):  Human Research Protections of HHS, without conflicts of interest with the research, willing to contribute to the IRB discussion of every proposal. 
p.(None):   
...
Economic / Economic/Poverty
Searching for indicator poor:
(return to top)
           
p.(None):  protecting human subjects and advancing research. (See Vignette: Child language studies in "Freedonia") (See FAQ: What are the Subparts of the 
p.(None):  regulations?) 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What are the overall goals of the federal policy (the Common Rule)? 
p.(None):   
p.(None):  The policy is designed to ensure minimal standards for the ethical treatment of research subjects. The major goal is to limit harms to participants in 
p.(None):  research. That means that no one should suffer harm just because they became involved as subjects or respondents in a research project. Institutions 
p.(None):  engaged in research should foster a culture of ethical research. 
p.(None):   
p.(None):  ETHICAL RESEARCH rests on three principles: 
p.(None):   
p.(None):  1. RESPECT for persons autonomy, meaning the researcher gives adequate and comprehensive information about the research and any risks likely 
p.(None):  to occur, understandable to the participant, and allows them to voluntarily decide whether to participate. 
p.(None):   
p.(None):  2. BENEFICENCE, meaning the research is designed to maximize benefits and minimize risks to subjects and society. 
p.(None):   
p.(None):  3. 3. JUSTICE, meaning that the research is fair to individual subjects and does not exploit or ignore one group (e.g., the poor) to benefit another 
p.(None):  group (e.g., the wealthy). (cf: The Belmont Report) 
p.(None):   
p.(None):  Research produces benefits valued by society. Regulatory oversight seeks to ensure that any potential harm of the research is balanced by its potential 
p.(None):  benefits. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  How can oversight be matched to risk in order to achieve the goals of the Common Rule? 
p.(None):   
p.(None):  The level of oversight should be matched to the level of risk. This implies that: 
p.(None):   
p.(None):  Projects should be preliminarily assessed for the possibility of harm to subjects greater than what is normally encountered in daily life. 
p.(None):   
p.(None):  IRBs should distinguish the probability of harm from the magnitude of harm. It is possible that a project can be "minimal risk" with a high probability 
p.(None):  of a trivial harm. Proposals with extremely low probabilities of serious harm should be carefully examined to minimize risks and ensure that 
p.(None):  appropriate informed consent is obtained. 
p.(None):   
...
General/Other / Diminished Autonomy
Searching for indicator diminished:
(return to top)
           
p.(None):  psychological reaction, such as depression. It is also conceivable that material covered in the course of an interview may lead subjects to re- 
p.(None):  examine past experiences in a different light, to reevaluate themselves in less than positive terms, or to seek additional information that may lead to 
p.(None):  other difficulties. This process may take days or even weeks. Researchers might be asked to indicate what the probability of such harm is and what 
p.(None):  might be done to ameliorate it should it occur. (For example, counseling referral information can be made available for participants.) 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What does the Belmont Report have to do with IRB reviews? 
p.(None):   
p.(None):  The Belmont Report (1979) was prepared by a government commission convened to frame "Ethical principles and guidelines for the protection of human 
p.(None):  subjects of research." The report described three ethical principles that should be adhered to when conducting research: respect for persons, 
p.(None):  beneficence, and justice. This document provides the philosophical foundation for the Common Rule. It explicitly focused on biomedical research, 
p.(None):  however the regulations that stem from it cover behavioral and social as well as biomedical research. Quoted material here is from that report. 
p.(None):   
p.(None):  1. Respect for persons. This means that "individuals should be treated as autonomous agents, and persons with diminished autonomy are entitled to 
p.(None):  protection." Informed consent is the key element: 
p.(None):   
p.(None):  "Respect for persons requires that subjects, to the degree that they are capable, be given the opportunity to choose what shall and shall not 
p.(None):  happen to them. This opportunity is provided when adequate standards for informed consent are satisfied." 
p.(None):   
p.(None):  Sufficient information should be provided to subjects so that they may make an informed decision about whether to participate. Information 
p.(None):  provided to potential subjects should be clear and understandable. 
p.(None):   
p.(None):  "An agreement to participate in research constitutes a valid consent only if voluntarily given. This element of informed consent requires 
p.(None):  conditions free of coercion and undue influence." 
p.(None):   
p.(None):  2. Beneficence. Researchers are obliged to protect subjects from harm; "maximize possible benefits" of the research while "minimizing possible 
p.(None):  harms." 
p.(None):  Potential risks and benefits of the research project need to be assessed. "The term 'risk' refers to a possibility that harm may occur. However, when 
...
General/Other / Impaired Autonomy
Searching for indicator autonomy:
(return to top)
           
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What parts of the regulations are applicable to my institution? 
p.(None):   
p.(None):  The Common Rule (subpart A of the DHHS regulations) has been adopted by many federal agencies involved in research. 
p.(None):   
p.(None):  NSF has not adopted subparts B, C and D of the DHHS regulations, and they are not necessarily applicable to NSF awards. (See Vignette: Child 
p.(None):  language studies in "Freedonia") 
p.(None):   
p.(None):  Specific institutions may have adopted policies that go beyond NSF's requirements. In general, institutions are free to adopt policies as they see fit, above 
p.(None):  and beyond the Common Rule. IRBs or researchers with specific questions about projects should contact the relevant agency program officer for 
p.(None):  guidance. (See FAQ: What are the Subparts of the regulations?) 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  My institution's assurance is with DHHS through OHRP, which has adopted subparts B, C & D. Does this mean that all research conducted 
p.(None):  through this institution must comply with the particulars of these subparts? 
p.(None):   
p.(None):  Not necessarily, if the research project is supported by an agency which has not adopted the particular subpart. The new Federalwide Assurance 
p.(None):  authorizes an institution to follow the regulations as interpreted by the most relevant agency or department. In NSF's opinion, a rote application of 
p.(None):  subparts B, C, and D may not always respect the autonomy of respondents, reduce risk or insure justice, and NSF urges flexibility with the goal of 
p.(None):  protecting human subjects and advancing research. (See Vignette: Child language studies in "Freedonia") (See FAQ: What are the Subparts of the 
p.(None):  regulations?) 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What are the overall goals of the federal policy (the Common Rule)? 
p.(None):   
p.(None):  The policy is designed to ensure minimal standards for the ethical treatment of research subjects. The major goal is to limit harms to participants in 
p.(None):  research. That means that no one should suffer harm just because they became involved as subjects or respondents in a research project. Institutions 
p.(None):  engaged in research should foster a culture of ethical research. 
p.(None):   
p.(None):  ETHICAL RESEARCH rests on three principles: 
p.(None):   
p.(None):  1. RESPECT for persons autonomy, meaning the researcher gives adequate and comprehensive information about the research and any risks likely 
p.(None):  to occur, understandable to the participant, and allows them to voluntarily decide whether to participate. 
p.(None):   
p.(None):  2. BENEFICENCE, meaning the research is designed to maximize benefits and minimize risks to subjects and society. 
p.(None):   
p.(None):  3. 3. JUSTICE, meaning that the research is fair to individual subjects and does not exploit or ignore one group (e.g., the poor) to benefit another 
p.(None):  group (e.g., the wealthy). (cf: The Belmont Report) 
p.(None):   
p.(None):  Research produces benefits valued by society. Regulatory oversight seeks to ensure that any potential harm of the research is balanced by its potential 
p.(None):  benefits. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  How can oversight be matched to risk in order to achieve the goals of the Common Rule? 
p.(None):   
p.(None):  The level of oversight should be matched to the level of risk. This implies that: 
p.(None):   
p.(None):  Projects should be preliminarily assessed for the possibility of harm to subjects greater than what is normally encountered in daily life. 
p.(None):   
...
           
p.(None):  examine past experiences in a different light, to reevaluate themselves in less than positive terms, or to seek additional information that may lead to 
p.(None):  other difficulties. This process may take days or even weeks. Researchers might be asked to indicate what the probability of such harm is and what 
p.(None):  might be done to ameliorate it should it occur. (For example, counseling referral information can be made available for participants.) 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What does the Belmont Report have to do with IRB reviews? 
p.(None):   
p.(None):  The Belmont Report (1979) was prepared by a government commission convened to frame "Ethical principles and guidelines for the protection of human 
p.(None):  subjects of research." The report described three ethical principles that should be adhered to when conducting research: respect for persons, 
p.(None):  beneficence, and justice. This document provides the philosophical foundation for the Common Rule. It explicitly focused on biomedical research, 
p.(None):  however the regulations that stem from it cover behavioral and social as well as biomedical research. Quoted material here is from that report. 
p.(None):   
p.(None):  1. Respect for persons. This means that "individuals should be treated as autonomous agents, and persons with diminished autonomy are entitled to 
p.(None):  protection." Informed consent is the key element: 
p.(None):   
p.(None):  "Respect for persons requires that subjects, to the degree that they are capable, be given the opportunity to choose what shall and shall not 
p.(None):  happen to them. This opportunity is provided when adequate standards for informed consent are satisfied." 
p.(None):   
p.(None):  Sufficient information should be provided to subjects so that they may make an informed decision about whether to participate. Information 
p.(None):  provided to potential subjects should be clear and understandable. 
p.(None):   
p.(None):  "An agreement to participate in research constitutes a valid consent only if voluntarily given. This element of informed consent requires 
p.(None):  conditions free of coercion and undue influence." 
p.(None):   
p.(None):  2. Beneficence. Researchers are obliged to protect subjects from harm; "maximize possible benefits" of the research while "minimizing possible 
p.(None):  harms." 
p.(None):  Potential risks and benefits of the research project need to be assessed. "The term 'risk' refers to a possibility that harm may occur. However, when 
...
           
p.(None):  health or welfare."  "Risks and benefits may affect individual subjects, the families of the individual subjects, and society at large (or special groups 
p.(None):  of subjects in society)." Risks and benefits are usually described in the informed consent process for clinical research; for many social and 
p.(None):  behavioral science projects where risks and benefits are minimal (e.g., many surveys) an extensive statement is not appropriate. 
p.(None):   
p.(None):   
p.(None):  3. Justice. The principle of justice concerns the distribution of the burden of research and the reaping of possible benefits of the research as well as 
p.(None):  the procedural fairness of the research as experienced by the participants. It is relevant to the selection of subjects; the burden of risky research 
p.(None):  should not fall disproportionately on stigmatized or institutionalized persons. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  "Do I make myself clear?" (Vignette) 
p.(None):   
p.(None):  Dr. Strunk prides himself on his ability to communicate clearly, in terms appropriate to his audience. Strunk feels special responsibility to communicate 
p.(None):  clearly when he solicits subjects for his research on children's responses to literature. He follows the principle of respect for the autonomy of human 
p.(None):  subjects, as enunciated in the Belmont Report. In Strunk's view, that means, among other things, that the informed consent must be understandable to 
p.(None):  these parents and to their children. He realizes that comprehension is influenced by emotional as well as cognitive factors. Unusually formal or legalistic 
p.(None):  language will obscure meaning that otherwise would be clear if friendly, informal and familiar forms of address and vocabulary were used. 
p.(None):   
p.(None):  Accordingly, Strunk prepared parental permission and child assent forms in clear friendly language. Since he was a member of the school's PTA, served 
p.(None):  on various PTA committees and was generally known to the teachers and other parents as Bill Strunk, he signed his correspondence with parents as "Bill 
p.(None):  Strunk." Strunk was flabbergasted when his IRB sent him back a very long "corrected" version of his assent and permission letters, rewritten in complex 
p.(None):  "legalese," to be signed as "Dr. William Strunk." Who was right? 
p.(None):   
p.(None):  Strunk was right. The federal regulations require an explanation that subjects can understand. In fact, the University of South Florida recently was sued by 
...
           
p.(None):  research, the first person to call is the Program Officer, who will answer questions directly or get authoritative advice from NSF's Human Subjects 
p.(None):  Research Protections Officer. 
p.(None):   
p.(None):  But my institution's assurance is from OHRP. Doesn't that mean that I must get that office's response to my question? 
p.(None):   
p.(None):  No, OHRP will direct inquiries from requestors to the appropriate officials at the funding department or agency. The response of the agency funding a 
p.(None):  specific research project is the most appropriate government interpretation of the regulations with respect to that project. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What flexibility does the IRB have in applying the Common Rule? 
p.(None):   
p.(None):  The purpose of the federal regulations is to obtain the benefits of research for society while minimizing the risks of harm to human research participants. 
p.(None):  To further this goal the regulations encourage IRBs to make independent informed judgments, using common sense and expertise to apply a standard set 
p.(None):  of rules to diverse research situations, and to document the procedure followed in arriving at its judgment. 
p.(None):   
p.(None):  For example, sections §116 (c), (d), and §117 (c) discuss flexible procedures that may be used to administer informed consent, depending on the specifics 
p.(None):  of the research project. Informed consent is the procedure by which the researcher respects the autonomy of research participants (as discussed in the 
p.(None):  The Belmont Report). Since written documentation of informed consent can create harm for research participants in some circumstances, it should not be 
p.(None):  routinely required in all cases. For example, research should not use signed forms when the focus is on illegal behavior, or on partisan political activity in 
p.(None):  violent areas, where signed forms may potentially increase risks to the participants. Here the respondent's signed form could expose him or her to harm 
p.(None):  from state authorities or private vendettas. 
p.(None):   
p.(None):  Your IRB can authorize a waiver of written consent forms or other formal consent procedures under specified conditions. (See 45 CFR Part 46 
p.(None):  §116)(See 45 CFR Part 46 §117 )(See FAQ Informed Consent in Social and Behavioral Science)(See FAQ When a Signed Consent Form can 
p.(None):  Harm a Participant 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What if the researcher and the IRB disagree about the risk and appropriate action to be taken in the project? 
p.(None):   
...
General/Other / Manipulable
Searching for indicator manipulated:
(return to top)
           
p.(None):  promise made in the consent form. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What are the major techniques for protecting confidentiality? 
p.(None):   
p.(None):  The following techniques for assuring confidentiality are listed on a continuum according to the degree of prospective harm that may occur. 
p.(None):   
p.(None):  The simplest procedure to insure confidentiality is to substitute codes for personal identifiers and to store the key in a different locked physical 
p.(None):  location. 
p.(None):   
p.(None):  Another simple procedure is to remove the face sheet, which typically contains personal identifying information such as name, telephone, address. 
p.(None):   
p.(None):  Data with personal identifiers should be kept in locked files, and access to the data should be controlled by the researchers with specified 
p.(None):  procedures. 
p.(None):   
p.(None):  Research assistants should be educated in the importance of confidentiality and the potential risks of harm to subjects. In situations of serious risk 
p.(None):  assistants could be asked to sign confidentiality agreements. 
p.(None):   
p.(None):  Access to the data can be controlled electronically, perhaps by storing very sensitive data on computers not attached to a network where hackers 
p.(None):  could penetrate the files. Electronic files can be protected with key-words, and portable computers should be appropriately secured. 
p.(None):   
p.(None):  The data can be manipulated electronically, for example by encrypting data files. The data can also be recoded to eliminate identifiers by collapsing 
p.(None):  it into categories. 
p.(None):   
p.(None):  Research involving many data files on the same person can use anonymous linkage systems. 
p.(None):   
p.(None):  CERTIFICATES OF CONFIDENTIALITY: If research is contemplated on a topic which is likely to be subject to legal proceedings, the federal 
p.(None):  government can issue a "Certificate of Confidentiality" which shields the data from required disclosure by the researcher. Under section 301(d) of 
p.(None):  the Public Health Service Act (42 U.S.C. 241(d)) the Secretary of Health and Human Services may authorize persons engaged in biomedical, 
p.(None):  behavioral, clinical, or other research to protect the privacy of individuals who are the subjects of that research. This authority has been delegated 
p.(None):  to the National Institutes of Health (NIH). Persons authorized by the NIH to protect the privacy of research subjects may not be compelled in any 
p.(None):  Federal, State, or local civil, criminal, administrative, legislative, or other proceedings to identify them by name or other identifying characteristic. For 
p.(None):  additional information, see https://humansubjects.nih.gov/coc/background. For detailed application instructions, see 
p.(None):  https://grants.nih.gov/grants/policy/coc/appl_extramural.htm. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Where can I find information about confidentiality in data? 
p.(None):   
...
General/Other / Relationship to Authority
Searching for indicator authority:
(return to top)
           
p.(None):  appropriate for social science research: 
p.(None):   
p.(None):  Research in educational settings involving educational practices. (§ 101 (b) (1)) 
p.(None):   
p.(None):  Research involving educational tests (cognitive, diagnostic, aptitude, achievement), surveys, interviews, or observations of public behavior, unless 
p.(None):  subjects are identified and disclosure of responses would involve more than reasonable risk. (§ 101 (b) (2)) 
p.(None):   
p.(None):  Research involving educational tests (cognitive, diagnostic, aptitude, achievement), surveys, interviews, or observations of public behavior not 
p.(None):  exempt under preceding exemption if human subjects are elected public officials, and if federal statutes require confidentiality of identifiable 
p.(None):  information. ((§ 101 (b) (3)) 
p.(None):   
p.(None):  Research involving the collection or study of existing data if publicly available or unidentifiable. ((§ 101 (b) (4)) 
p.(None):   
p.(None):  Research and demonstration projects designed to study public benefit or service programs. ((§ 101 (b) (5)) 
p.(None):   
p.(None):  Taste and food quality evaluation and consumer acceptance studies. ((§ 101 (b) (6)) 
p.(None):   
p.(None):  Exempt research is free from continued oversight by the IRB although the institution (either a designated IRB representative, the entire committee, or 
p.(None):  some other institutional authority), not the researcher, must determine that the project is exempt in the first place. Usually this is accomplished through a 
p.(None):  brief review process. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Does this mean that all questionnaire, educational test, and interview-based studies are exempt? 
p.(None):   
p.(None):  Such studies are exempt UNLESS: 
p.(None):   
p.(None):  Specific individual human subjects can be identified directly or through identifiers linked to them (i.e., their names, telephone numbers or other 
p.(None):  unique identifiers are recorded in the data) 
p.(None):   
p.(None):  AND disclosure of their responses could place them at risk of: 
p.(None):   
p.(None):  criminal/civil liability, or 
p.(None):  damage to their financial standing, employability, or reputation 
p.(None):   
p.(None):  Research on vulnerable populations may not be exempt. Consult with your local IRB or NSF program officer for guidance in specific cases. 
p.(None):   
p.(None):  When the subjects are public officials or candidates for public office, the research is exempt even when identifiers are included or disclosure might be 
p.(None):  harmful. 
p.(None):   
p.(None):  When the subjects are public officials or candidates for public office, the research is exempt even when identifiers are included or disclosure might be 
p.(None):  harmful. However, all research should be bound by professional ethics and respect for respondents to guard their privacy whether or not the research is 
...
           
p.(None):  consent form. Participation is part of the coursework for which they enrolled. Moreover it would add inappropriately to the IRB workload. The Federal 
p.(None):  Regulations are entirely clear on this point. Activities that require IRB review are strictly limited to research; CFR 46.112 (d) defines research: 
p.(None):   
p.(None):  (d) Research means a systematic investigation, including research development, testing and evaluation, designed to develop or contribute to 
p.(None):  generalizable knowledge. Activities, which meet this definition, constitute research for purposes of this policy, whether or not they are conducted or 
p.(None):  supported under a program, which is considered research for other purposes. For example, some demonstration and service programs may include 
p.(None):  research activities. 
p.(None):   
p.(None):  Researchit's project in fact fits the criteria for exemption, because it uses interview procedures that involve no risk of harm.( § 690.101.b.2) 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  My university does not have an "exempt" category for research, only "expedited" and "full review" categories. What does this mean in terms of 
p.(None):  social science projects that the federal government has declared "exempt"? 
p.(None):  The regulations specify exempt research at § 101 (b) and expedited review at § 110. Your university requires that the IRB or some other non-involved 
p.(None):  person, and not simply the investigator, must confirm that the project is in the exempt category. In order for that determination to be made, the project 
p.(None):  must be examined by an independent authority. Exempt projects are usually free from continued oversight by the IRB unless the nature of the project 
p.(None):  changes. 
p.(None):   
p.(None):  On the other hand, your university may have simply collapsed the exempt and expedited categories of research together. In an expedited review, typically 
p.(None):  only one experienced member of the IRB committee, or the chair of the committee, will review the project and confirm that the project is indeed minimal 
p.(None):  risk, or a minor change to a previously approved protocol, and meets the criteria for expedited review. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Where can I get authoritative and expert interpretation of the regulations? 
p.(None):   
p.(None):  Many agencies support the Common Rule, meaning they follow the same regulations. Each agency has special expertise in the application of the 
p.(None):  regulations for relevant research. 
p.(None):   
p.(None):  For example, NSF funds research in the area of experimental economics. An IRB asking how to apply the regulations to experimental economics 
p.(None):  research could seek guidance from the funding agency supporting those research activities. 
p.(None):   
p.(None):  The most knowledgeable advice comes from the agency funding the research. 
p.(None):   
p.(None):  Although all agencies follow the same regulations, each agency has different expertise on the application of the regulations to specific cases. For NSF 
p.(None):  research, the first person to call is the Program Officer, who will answer questions directly or get authoritative advice from NSF's Human Subjects 
p.(None):  Research Protections Officer. 
p.(None):   
...
           
p.(None):  §116)(See 45 CFR Part 46 §117 )(See FAQ Informed Consent in Social and Behavioral Science)(See FAQ When a Signed Consent Form can 
p.(None):  Harm a Participant 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What if the researcher and the IRB disagree about the risk and appropriate action to be taken in the project? 
p.(None):   
p.(None):  The regulations do not discuss procedures for resolving conflicts between IRBs and researchers. Each institution should develop a written set of 
p.(None):  procedures for resolving differences of opinion. For example, perhaps a conversation could be scheduled between the research office administrator, the 
p.(None):  IRB chair, the researcher, outside consultants if deemed appropriate, and the funding agency representative. The major principles to be respected in any 
p.(None):  mediation procedure should include: 
p.(None):   
p.(None):  Limitation of risk of harm to human subjects. 
p.(None):  Reasonable implementation of informed consent. 
p.(None):  Avoidance of conflicts of interest. 
p.(None):  Advancement of knowledge through research. 
p.(None):  Oversight commensurate with the level of risk. 
p.(None):  Adherence to the Common Rule. 
p.(None):   
p.(None):  Ultimately, however, authority to approve the research must rest with the IRB. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Advice to IRBs on Dealing with Researchers 
p.(None):   
p.(None):  The advance of scientific research is a vital interest of the United States of America. Your institution is by definition an important part of the US research 
p.(None):  effort. The institution should provide enough resources to enable the IRB to: 
p.(None):   
p.(None):  Act in a timely way on research protocols. Expedited reviews should take no longer than five working days. 
p.(None):  Incorporate sufficient expertise to review the research presented to you (§107 (a)). The institution should provide a roster of experts to the Office of 
p.(None):  Human Research Protections of HHS, without conflicts of interest with the research, willing to contribute to the IRB discussion of every proposal. 
p.(None):   
p.(None):  Seek ways to streamline the process. Proposals may be reviewed on-line to minimize paper clutter; departmental representatives could be included 
p.(None):  in the IRB to triage the reviews. 
p.(None):   
p.(None):  Give talks and workshops for departments (and especially for their graduate students) whose protocols are often problematic; make handouts or on- 
p.(None):  line materials that suggest useful procedures for handling human subjects issues that frequently arise. 
p.(None):   
p.(None):  Make sure that your institution's library carries books and articles that offer useful guidance on sensitive issues such as research on children, 
p.(None):  procedures for assuring confidentiality of research data, state laws concerning mandated reporting of child or elder abuse, etc. 
p.(None):   
...
           
p.(None):  Consult the ethics/methodology literature on this issue. 
p.(None):   
p.(None):   Check the Federal Regulations to see what options they allow, but which your IRB may not wish to follow. Remember that your IRB has the option 
p.(None):  of being stricter than the Regulations, but it may be useful to remind them that you are operating within the Regulations. 
p.(None):   
p.(None):  Consult OHRP guidance at http://www.hhs.gov/ohrp/policy/index.html#irbs. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  How should IRBs deal with research in foreign countries? 
p.(None):   
p.(None):  The US institution administering the research has the primary responsibility, normally codified in an Assurance, to ensure that the project complies with 
p.(None):  US regulations. The Common Rule § 101 (h) discusses foreign human subjects regulations and procedures for substituting them for US regulations. When 
p.(None):  an appropriate foreign IRB exists the regulations foresee involving it in reviewing the research. The US institutions IRB chair determines that the 
p.(None):  procedures prescribed by the foreign IRB afford protections that are at least equivalent to those provided in the Common Rule. 
p.(None):   
p.(None):  This regulation is most germane to biomedical research, as few foreign countries apply human subjects regulations to social and behavioral science. In 
p.(None):  many foreign countries IRBs deal only with biomedical research and will refuse to extend their purview to cover social and behavioral science. In other 
p.(None):  foreign situations there will be no analogue to an IRB and the concept may be irrelevant. When this situation occurs, the US institution remains the 
p.(None):  responsible authority and the services of a foreign IRB might not be necessary. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Can research proceed at a foreign institution if no foreign IRB has reviewed the research? 
p.(None):  The Common Rule discusses cooperating research institutions at § 114, which envisions each institution reviewing the research through its IRB. When 
p.(None):  institutions are in foreign locations with no tradition of IRB review of the relevant research, the review of the US institution may be sufficient. If the IRB has 
p.(None):  concerns about the risk of harm to research participants, the IRB should make a serious effort to involve appropriate cultural expertise in its review by 
p.(None):  soliciting the cooperation of persons knowledgeable about the customs and language in the society where the research will occur. 
p.(None):   
p.(None):  There are options that can be considered in order to ensure that research proceeds even in the absence of a foreign IRB. Some foreign IRBs have FWAs, 
p.(None):  and can be used for the review of research to be conducted in that country. Alternatively, a foreign IRB or ethics board in the country where the research is 
p.(None):  to be conducted can review the research. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Compensation and Disguising Cessation of Participation (Vignette) 
p.(None):   
p.(None):  An investigator submitted a proposal to the Maven University IRB for an anonymous paper-and-pencil study of attitudes toward a hypothetical case of 
...
           
p.(None):  procedures. 
p.(None):   
p.(None):  Research assistants should be educated in the importance of confidentiality and the potential risks of harm to subjects. In situations of serious risk 
p.(None):  assistants could be asked to sign confidentiality agreements. 
p.(None):   
p.(None):  Access to the data can be controlled electronically, perhaps by storing very sensitive data on computers not attached to a network where hackers 
p.(None):  could penetrate the files. Electronic files can be protected with key-words, and portable computers should be appropriately secured. 
p.(None):   
p.(None):  The data can be manipulated electronically, for example by encrypting data files. The data can also be recoded to eliminate identifiers by collapsing 
p.(None):  it into categories. 
p.(None):   
p.(None):  Research involving many data files on the same person can use anonymous linkage systems. 
p.(None):   
p.(None):  CERTIFICATES OF CONFIDENTIALITY: If research is contemplated on a topic which is likely to be subject to legal proceedings, the federal 
p.(None):  government can issue a "Certificate of Confidentiality" which shields the data from required disclosure by the researcher. Under section 301(d) of 
p.(None):  the Public Health Service Act (42 U.S.C. 241(d)) the Secretary of Health and Human Services may authorize persons engaged in biomedical, 
p.(None):  behavioral, clinical, or other research to protect the privacy of individuals who are the subjects of that research. This authority has been delegated 
p.(None):  to the National Institutes of Health (NIH). Persons authorized by the NIH to protect the privacy of research subjects may not be compelled in any 
p.(None):  Federal, State, or local civil, criminal, administrative, legislative, or other proceedings to identify them by name or other identifying characteristic. For 
p.(None):  additional information, see https://humansubjects.nih.gov/coc/background. For detailed application instructions, see 
p.(None):  https://grants.nih.gov/grants/policy/coc/appl_extramural.htm. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Where can I find information about confidentiality in data? 
p.(None):   
p.(None):  The National Research Council's Committee on National Statistics, part of the Division of Behavioral and Social Sciences and Education has a 
p.(None):  publication, "Improving Access to and Confidentiality of Research Data: Report of a Workshop" edited by Christopher Mackie and Norman Bradburn. 
p.(None):   
p.(None):  The U.S. Department of Justice, Office of Justice Programs, Bureau of Justice Statistics has a paper by Joan Sieber on its web site, "Summary of Human 
p.(None):  Subjects Protection Issues Related to Large Sample Surveys" which gives a comprehensive discussion and bibliography of these issues. 
p.(None):   
p.(None):  The Federal Committee on Statistical Methodology (FCSM), sponsored by OMB, has produced 2 reports on statistical methods to limit disclosure. "Report 
...
General/Other / Undue Influence
Searching for indicator undue influence:
(return to top)
           
p.(None):  beneficence, and justice. This document provides the philosophical foundation for the Common Rule. It explicitly focused on biomedical research, 
p.(None):  however the regulations that stem from it cover behavioral and social as well as biomedical research. Quoted material here is from that report. 
p.(None):   
p.(None):  1. Respect for persons. This means that "individuals should be treated as autonomous agents, and persons with diminished autonomy are entitled to 
p.(None):  protection." Informed consent is the key element: 
p.(None):   
p.(None):  "Respect for persons requires that subjects, to the degree that they are capable, be given the opportunity to choose what shall and shall not 
p.(None):  happen to them. This opportunity is provided when adequate standards for informed consent are satisfied." 
p.(None):   
p.(None):  Sufficient information should be provided to subjects so that they may make an informed decision about whether to participate. Information 
p.(None):  provided to potential subjects should be clear and understandable. 
p.(None):   
p.(None):  "An agreement to participate in research constitutes a valid consent only if voluntarily given. This element of informed consent requires 
p.(None):  conditions free of coercion and undue influence." 
p.(None):   
p.(None):  2. Beneficence. Researchers are obliged to protect subjects from harm; "maximize possible benefits" of the research while "minimizing possible 
p.(None):  harms." 
p.(None):  Potential risks and benefits of the research project need to be assessed. "The term 'risk' refers to a possibility that harm may occur. However, when 
p.(None):  expressions such as 'small risk' or 'high risk' are used, they usually refer (often ambiguously) both to the chance (probability) of experiencing a harm 
p.(None):  and the severity (magnitude) of the envisioned harm." "The term 'benefit' is used in the research context to refer to something of value related to 
p.(None):  health or welfare."  "Risks and benefits may affect individual subjects, the families of the individual subjects, and society at large (or special groups 
p.(None):  of subjects in society)." Risks and benefits are usually described in the informed consent process for clinical research; for many social and 
p.(None):  behavioral science projects where risks and benefits are minimal (e.g., many surveys) an extensive statement is not appropriate. 
p.(None):   
p.(None):   
...
General/Other / belmont
Searching for indicator belmont:
(return to top)
           
p.(None):   
p.(None):  Social Science and the Common Rule 
p.(None):   
p.(None):  Exempt and Expedited Review and Informed Consent 
p.(None):   
p.(None):  Problems and Advice on Dealing with them 
p.(None):   
p.(None):  Confidentiality-Privacy 
p.(None):   
p.(None):  Ethnography 
p.(None):   
p.(None):   
p.(None):  The Common Rule and Sub-Parts 
p.(None):   
p.(None):  What is the relationship between the Common Rule and the Federal Regulation for the Protection of Human Subjects? 
p.(None):  What are the Subparts of the regulations? 
p.(None):  Original Agencies, Departments and Offices approving the Common Rule (1991) 
p.(None):  Where can I get authoritative and expert interpretation of the regulations? 
p.(None):  What parts of the regulations are applicable to my institution? 
p.(None):  My institution's assurance is with DHHS through OHRP, which has adopted subparts B, C & D. Does this mean that all research conducted through 
p.(None):  this institution must comply with the particulars of these subparts? 
p.(None):  What are the overall goals of the federal policy (the Common Rule)? 
p.(None):  How can oversight be matched to risk in order to achieve the goals of the Common Rule? 
p.(None):  What does "minimal risk" mean in research? 
p.(None):  What does the Belmont Report have to do with IRB reviews? 
p.(None):  "Do I make myself clear?" (Vignette) 
p.(None):   
p.(None):   
p.(None):   
p.(None):  Social Science and the Common Rule 
p.(None):   
p.(None):  What exemptions of the Common Rule are most appropriate to social science research? 
p.(None):  Child language studies in "Freedonia" (Vignette) 
p.(None):  Are third parties human subjects in research? 
p.(None):  Is secondary analysis of data human subjects research? 
p.(None):  What about merging public data files or enhancing a public data file? 
p.(None):  What if the project intends to link data from a new survey to existing individual-level data from public data sources? 
p.(None):  What if the project decides to link data from a new survey to existing individual-level data from public data sources after the survey has been 
p.(None):  completed? 
p.(None):  What sorts of harm can arise from social and behavioral science research? 
p.(None):  Informed Consent in Social and Behavioral Science 
p.(None):  The Beach versus the Airport (Vignette) 
p.(None):  "Research-Like Tools Used as Teaching Tools" (Vignette) 
p.(None):  "Unexpected Risk in Classroom Research" (Vignette) 
p.(None):   
p.(None):   
p.(None):   
p.(None):  Exempt and Expedited Review and Informed Consent 
p.(None):   
p.(None):  What exemptions of the Common Rule are most appropriate to social science research? 
...
           
p.(None):  protecting human subjects and advancing research. (See Vignette: Child language studies in "Freedonia") (See FAQ: What are the Subparts of the 
p.(None):  regulations?) 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What are the overall goals of the federal policy (the Common Rule)? 
p.(None):   
p.(None):  The policy is designed to ensure minimal standards for the ethical treatment of research subjects. The major goal is to limit harms to participants in 
p.(None):  research. That means that no one should suffer harm just because they became involved as subjects or respondents in a research project. Institutions 
p.(None):  engaged in research should foster a culture of ethical research. 
p.(None):   
p.(None):  ETHICAL RESEARCH rests on three principles: 
p.(None):   
p.(None):  1. RESPECT for persons autonomy, meaning the researcher gives adequate and comprehensive information about the research and any risks likely 
p.(None):  to occur, understandable to the participant, and allows them to voluntarily decide whether to participate. 
p.(None):   
p.(None):  2. BENEFICENCE, meaning the research is designed to maximize benefits and minimize risks to subjects and society. 
p.(None):   
p.(None):  3. 3. JUSTICE, meaning that the research is fair to individual subjects and does not exploit or ignore one group (e.g., the poor) to benefit another 
p.(None):  group (e.g., the wealthy). (cf: The Belmont Report) 
p.(None):   
p.(None):  Research produces benefits valued by society. Regulatory oversight seeks to ensure that any potential harm of the research is balanced by its potential 
p.(None):  benefits. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  How can oversight be matched to risk in order to achieve the goals of the Common Rule? 
p.(None):   
p.(None):  The level of oversight should be matched to the level of risk. This implies that: 
p.(None):   
p.(None):  Projects should be preliminarily assessed for the possibility of harm to subjects greater than what is normally encountered in daily life. 
p.(None):   
p.(None):  IRBs should distinguish the probability of harm from the magnitude of harm. It is possible that a project can be "minimal risk" with a high probability 
p.(None):  of a trivial harm. Proposals with extremely low probabilities of serious harm should be carefully examined to minimize risks and ensure that 
p.(None):  appropriate informed consent is obtained. 
p.(None):   
p.(None):  In these guidance statements, "minimal risk" is used to refer to research where the magnitude of harm is low, whether the probability of harm is low 
...
           
p.(None):  does not come into the wrong hands (See FAQ: What are the major techniques for protecting confidentiality?). The regulations refer to serious harm: 
p.(None):   
p.(None):  Most social science data, even if revealed, would not put subjects at serious risks. The mere fact that data might be disclosed does not mean that 
p.(None):  subjects will be seriously harmed; the critical question is whether disclosure would be potentially damaging. 
p.(None):   
p.(None):  Most social and behavioral scientists, however, subscribe to a strict standard involving confidentiality: 
p.(None):   
p.(None):  Confidentiality should be guaranteed, unless the respondent explicitly agrees to disclosure. The release of any information that can be linked to an 
p.(None):  individual, potentially damaging or not, should be agreed upon. 
p.(None):   
p.(None):  "Delayed harm": It is conceivable that as a result of participating in a social science study a subject may experience some longer term 
p.(None):  psychological reaction, such as depression. It is also conceivable that material covered in the course of an interview may lead subjects to re- 
p.(None):  examine past experiences in a different light, to reevaluate themselves in less than positive terms, or to seek additional information that may lead to 
p.(None):  other difficulties. This process may take days or even weeks. Researchers might be asked to indicate what the probability of such harm is and what 
p.(None):  might be done to ameliorate it should it occur. (For example, counseling referral information can be made available for participants.) 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What does the Belmont Report have to do with IRB reviews? 
p.(None):   
p.(None):  The Belmont Report (1979) was prepared by a government commission convened to frame "Ethical principles and guidelines for the protection of human 
p.(None):  subjects of research." The report described three ethical principles that should be adhered to when conducting research: respect for persons, 
p.(None):  beneficence, and justice. This document provides the philosophical foundation for the Common Rule. It explicitly focused on biomedical research, 
p.(None):  however the regulations that stem from it cover behavioral and social as well as biomedical research. Quoted material here is from that report. 
p.(None):   
p.(None):  1. Respect for persons. This means that "individuals should be treated as autonomous agents, and persons with diminished autonomy are entitled to 
p.(None):  protection." Informed consent is the key element: 
p.(None):   
p.(None):  "Respect for persons requires that subjects, to the degree that they are capable, be given the opportunity to choose what shall and shall not 
p.(None):  happen to them. This opportunity is provided when adequate standards for informed consent are satisfied." 
p.(None):   
p.(None):  Sufficient information should be provided to subjects so that they may make an informed decision about whether to participate. Information 
p.(None):  provided to potential subjects should be clear and understandable. 
p.(None):   
...
           
p.(None):  health or welfare."  "Risks and benefits may affect individual subjects, the families of the individual subjects, and society at large (or special groups 
p.(None):  of subjects in society)." Risks and benefits are usually described in the informed consent process for clinical research; for many social and 
p.(None):  behavioral science projects where risks and benefits are minimal (e.g., many surveys) an extensive statement is not appropriate. 
p.(None):   
p.(None):   
p.(None):  3. Justice. The principle of justice concerns the distribution of the burden of research and the reaping of possible benefits of the research as well as 
p.(None):  the procedural fairness of the research as experienced by the participants. It is relevant to the selection of subjects; the burden of risky research 
p.(None):  should not fall disproportionately on stigmatized or institutionalized persons. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  "Do I make myself clear?" (Vignette) 
p.(None):   
p.(None):  Dr. Strunk prides himself on his ability to communicate clearly, in terms appropriate to his audience. Strunk feels special responsibility to communicate 
p.(None):  clearly when he solicits subjects for his research on children's responses to literature. He follows the principle of respect for the autonomy of human 
p.(None):  subjects, as enunciated in the Belmont Report. In Strunk's view, that means, among other things, that the informed consent must be understandable to 
p.(None):  these parents and to their children. He realizes that comprehension is influenced by emotional as well as cognitive factors. Unusually formal or legalistic 
p.(None):  language will obscure meaning that otherwise would be clear if friendly, informal and familiar forms of address and vocabulary were used. 
p.(None):   
p.(None):  Accordingly, Strunk prepared parental permission and child assent forms in clear friendly language. Since he was a member of the school's PTA, served 
p.(None):  on various PTA committees and was generally known to the teachers and other parents as Bill Strunk, he signed his correspondence with parents as "Bill 
p.(None):  Strunk." Strunk was flabbergasted when his IRB sent him back a very long "corrected" version of his assent and permission letters, rewritten in complex 
p.(None):  "legalese," to be signed as "Dr. William Strunk." Who was right? 
p.(None):   
p.(None):  Strunk was right. The federal regulations require an explanation that subjects can understand. In fact, the University of South Florida recently was sued by 
p.(None):  subjects (successfully for $3,800,000) claiming that the consent form was not written in a manner they could understand. 
...
           
p.(None):  Research Protections Officer. 
p.(None):   
p.(None):  But my institution's assurance is from OHRP. Doesn't that mean that I must get that office's response to my question? 
p.(None):   
p.(None):  No, OHRP will direct inquiries from requestors to the appropriate officials at the funding department or agency. The response of the agency funding a 
p.(None):  specific research project is the most appropriate government interpretation of the regulations with respect to that project. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What flexibility does the IRB have in applying the Common Rule? 
p.(None):   
p.(None):  The purpose of the federal regulations is to obtain the benefits of research for society while minimizing the risks of harm to human research participants. 
p.(None):  To further this goal the regulations encourage IRBs to make independent informed judgments, using common sense and expertise to apply a standard set 
p.(None):  of rules to diverse research situations, and to document the procedure followed in arriving at its judgment. 
p.(None):   
p.(None):  For example, sections §116 (c), (d), and §117 (c) discuss flexible procedures that may be used to administer informed consent, depending on the specifics 
p.(None):  of the research project. Informed consent is the procedure by which the researcher respects the autonomy of research participants (as discussed in the 
p.(None):  The Belmont Report). Since written documentation of informed consent can create harm for research participants in some circumstances, it should not be 
p.(None):  routinely required in all cases. For example, research should not use signed forms when the focus is on illegal behavior, or on partisan political activity in 
p.(None):  violent areas, where signed forms may potentially increase risks to the participants. Here the respondent's signed form could expose him or her to harm 
p.(None):  from state authorities or private vendettas. 
p.(None):   
p.(None):  Your IRB can authorize a waiver of written consent forms or other formal consent procedures under specified conditions. (See 45 CFR Part 46 
p.(None):  §116)(See 45 CFR Part 46 §117 )(See FAQ Informed Consent in Social and Behavioral Science)(See FAQ When a Signed Consent Form can 
p.(None):  Harm a Participant 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What if the researcher and the IRB disagree about the risk and appropriate action to be taken in the project? 
p.(None):   
p.(None):  The regulations do not discuss procedures for resolving conflicts between IRBs and researchers. Each institution should develop a written set of 
...
General/Other / common rule
Searching for indicator 45XcfrX46:
(return to top)
           
p.(None):  Is ethnographic research exempt? 
p.(None):  Is written documentation of informed consent required in ethnographic research? 
p.(None):  How should IRBs proceed in reviewing ethnographic research? 
p.(None):  What is "group consent" and how is it relevant to informed consent? 
p.(None):   
p.(None):   
p.(None):  What is the relationship between the Common Rule and the Federal Regulation for the Protection of Human Subjects? 
p.(None):   
p.(None):  The "Common Rule" is the term used by eighteen federal who have adopted the same regulations governing human subjects of research. (See List of 
p.(None):  Federal agencies). Each agency's regulations are printed in the Code of Federal Regulations (CFR) with different preface numbers but the same section 
p.(None):  (§) numbers. The text of the regulation in each case is identical. 
p.(None):   
p.(None):  Thus NSF's regulation is listed as 45 CFR Part 690 §101124, while DHHS' regulation, consisting of the identical text, is 45 CFR Part 46 §101124. 
p.(None):   
p.(None):  Some agencies have adopted additional regulations ("subparts", see below) dealing with special populations. The Common Rule is also referred to as 
p.(None):  "Subpart A" of the DHHS regulations of human research 45 CFR 46, to distinguish it from the other subparts listed below. 
p.(None):   
p.(None):  Institutions assure that they will comply with the regulations regarding human subjects research. This assurance is normally filed with the appropriate 
p.(None):  federal agency that sponsors their research. Most universities have assurances from DHHS. Under the Common Rule, each agency (e.g., NSF) agrees to 
p.(None):  accept an assurance issued by DHHS as a commitment that the institution will follow the regulations. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What are the Subparts of the regulations? 
p.(None):   
p.(None):  Subpart A, known as the Common Rule, relates to human subjects research in general. The other subparts (B, C and D of the DHHS version) relate to 
p.(None):  special research populations and have been adopted by some agencies. (See http://www.hhs.gov/ohrp/humansubjects/guidance/45cfr46.html) 
p.(None):   
p.(None):  Subpart B relates to research on fetuses, neonates, and pregnant women; 
p.(None):   
p.(None):  Subpart C relates to research with prisoners, and in general stipulates that the IRB include a prisoner or prisoner representative (among other 
p.(None):  requirements); 
p.(None):   
...
Searching for indicator common rule:
(return to top)
           
p.(None):   
p.(None):   
p.(None):   
p.(None):  Office of Budget Finance and Award Management (BFA) 
p.(None):   
p.(None):   
p.(None):  Office of Budget, Finance, & Award Management 
p.(None):   
p.(None):   
p.(None):  Budget Division 
p.(None):   
p.(None):   
p.(None):  Division of Acquisition and Cooperative Support 
p.(None):   
p.(None):   
p.(None):  Division of Financial Management 
p.(None):   
p.(None):   
p.(None):  Division of Grants & Agreements 
p.(None):   
p.(None):   
p.(None):  Division of Institution & Award Support 
p.(None):   
p.(None):   
p.(None):  Policy Office 
p.(None):   
p.(None):   
p.(None):  CAP Branch 
p.(None):   
p.(None):   
p.(None):  RAM Branch 
p.(None):   
p.(None):   
p.(None):  Systems Office 
p.(None):   
p.(None):   
p.(None):  Large Facilities Office 
p.(None):   
p.(None):   
p.(None):  Advisory Committees 
p.(None):   
p.(None):   
p.(None):  Business and Operations Advisory Committee 
p.(None):   
p.(None):   
p.(None):  External Links 
p.(None):   
p.(None):   
p.(None):  Chief Financial Officer Council 
p.(None):   
p.(None):   
p.(None):      Contact BFA 
p.(None):   
p.(None):   Email    Print    Share 
p.(None):   
p.(None):   
p.(None):   
p.(None):  Frequently Asked Questions and Vignettes 
p.(None):  Interpreting the Common Rule for the Protection of Human Subjects for Behavioral and Social Science Research 
p.(None):   
p.(None):  Click on the applicable heading to go to a specific subject: 
p.(None):   
p.(None):  The Common Rule and Sub-Parts 
p.(None):   
p.(None):  Social Science and the Common Rule 
p.(None):   
p.(None):  Exempt and Expedited Review and Informed Consent 
p.(None):   
p.(None):  Problems and Advice on Dealing with them 
p.(None):   
p.(None):  Confidentiality-Privacy 
p.(None):   
p.(None):  Ethnography 
p.(None):   
p.(None):   
p.(None):  The Common Rule and Sub-Parts 
p.(None):   
p.(None):  What is the relationship between the Common Rule and the Federal Regulation for the Protection of Human Subjects? 
p.(None):  What are the Subparts of the regulations? 
p.(None):  Original Agencies, Departments and Offices approving the Common Rule (1991) 
p.(None):  Where can I get authoritative and expert interpretation of the regulations? 
p.(None):  What parts of the regulations are applicable to my institution? 
p.(None):  My institution's assurance is with DHHS through OHRP, which has adopted subparts B, C & D. Does this mean that all research conducted through 
p.(None):  this institution must comply with the particulars of these subparts? 
p.(None):  What are the overall goals of the federal policy (the Common Rule)? 
p.(None):  How can oversight be matched to risk in order to achieve the goals of the Common Rule? 
p.(None):  What does "minimal risk" mean in research? 
p.(None):  What does the Belmont Report have to do with IRB reviews? 
p.(None):  "Do I make myself clear?" (Vignette) 
p.(None):   
p.(None):   
p.(None):   
p.(None):  Social Science and the Common Rule 
p.(None):   
p.(None):  What exemptions of the Common Rule are most appropriate to social science research? 
p.(None):  Child language studies in "Freedonia" (Vignette) 
p.(None):  Are third parties human subjects in research? 
p.(None):  Is secondary analysis of data human subjects research? 
p.(None):  What about merging public data files or enhancing a public data file? 
p.(None):  What if the project intends to link data from a new survey to existing individual-level data from public data sources? 
p.(None):  What if the project decides to link data from a new survey to existing individual-level data from public data sources after the survey has been 
p.(None):  completed? 
p.(None):  What sorts of harm can arise from social and behavioral science research? 
p.(None):  Informed Consent in Social and Behavioral Science 
p.(None):  The Beach versus the Airport (Vignette) 
p.(None):  "Research-Like Tools Used as Teaching Tools" (Vignette) 
p.(None):  "Unexpected Risk in Classroom Research" (Vignette) 
p.(None):   
p.(None):   
p.(None):   
p.(None):  Exempt and Expedited Review and Informed Consent 
p.(None):   
p.(None):  What exemptions of the Common Rule are most appropriate to social science research? 
p.(None):  Does this mean that all questionnaire, test, and interview-based studies are exempt? 
p.(None):  My university does not have an "exempt" category for research, only "expedited" and "full review" categories. What does this mean in terms of 
p.(None):  social science projects that the federal government has declared "exempt"? 
p.(None):   
p.(None):   
p.(None):   
p.(None):  Problems and Advice on Dealing with them 
p.(None):   
p.(None):  What flexibility does the IRB have in applying the Common Rule? 
p.(None):  When a Signed Consent Form can Harm a Participant (Vignette) 
p.(None):  What if the researcher and the IRB disagree about the risk and appropriate action to be taken in the project? 
p.(None):  Advice to IRBs on Dealing with Researchers 
p.(None):  Advice to Researchers on Dealing with IRBs 
p.(None):  How should research involving "snowball samples" be handled from a human subjects perspective? 
p.(None):  How should IRBs deal with research in foreign countries? 
p.(None):  Can research proceed at a foreign institution if no foreign IRB has reviewed the research? 
p.(None):  Does research conducted as a classroom exercise count as human subjects research? 
p.(None):  How can research conducted as a classroom exercise be reviewed to protect human participants? 
p.(None):  Deception 
p.(None):  What issues arise concerning compensation 
p.(None):  Use of Lottery as Compensation (Vignette) 
p.(None):  Compensation and Disguising Cessation of Participation (Vignette) 
p.(None):   
p.(None):   
p.(None):   
p.(None):  Confidentiality-Privacy 
p.(None):   
p.(None):  Does this mean that I cannot collect or record personal identifying information? 
p.(None):  Doesn't the Common Rule demand confidentiality in research records? 
p.(None):  What's the difference between privacy and confidentiality? 
p.(None):  What are the major techniques for protecting confidentiality? 
p.(None):  Where can I find information about confidentiality in data? 
p.(None):  "What is Private Information?" (Vignette) 
p.(None):   
p.(None):   
p.(None):   
p.(None):  Ethnograpy 
p.(None):   
p.(None):  Is ethnography covered by the Common Rule? 
p.(None):  Is ethnographic research exempt? 
p.(None):  Is written documentation of informed consent required in ethnographic research? 
p.(None):  How should IRBs proceed in reviewing ethnographic research? 
p.(None):  What is "group consent" and how is it relevant to informed consent? 
p.(None):   
p.(None):   
p.(None):  What is the relationship between the Common Rule and the Federal Regulation for the Protection of Human Subjects? 
p.(None):   
p.(None):  The "Common Rule" is the term used by eighteen federal who have adopted the same regulations governing human subjects of research. (See List of 
p.(None):  Federal agencies). Each agency's regulations are printed in the Code of Federal Regulations (CFR) with different preface numbers but the same section 
p.(None):  (§) numbers. The text of the regulation in each case is identical. 
p.(None):   
p.(None):  Thus NSF's regulation is listed as 45 CFR Part 690 §101124, while DHHS' regulation, consisting of the identical text, is 45 CFR Part 46 §101124. 
p.(None):   
p.(None):  Some agencies have adopted additional regulations ("subparts", see below) dealing with special populations. The Common Rule is also referred to as 
p.(None):  "Subpart A" of the DHHS regulations of human research 45 CFR 46, to distinguish it from the other subparts listed below. 
p.(None):   
p.(None):  Institutions assure that they will comply with the regulations regarding human subjects research. This assurance is normally filed with the appropriate 
p.(None):  federal agency that sponsors their research. Most universities have assurances from DHHS. Under the Common Rule, each agency (e.g., NSF) agrees to 
p.(None):  accept an assurance issued by DHHS as a commitment that the institution will follow the regulations. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What are the Subparts of the regulations? 
p.(None):   
p.(None):  Subpart A, known as the Common Rule, relates to human subjects research in general. The other subparts (B, C and D of the DHHS version) relate to 
p.(None):  special research populations and have been adopted by some agencies. (See http://www.hhs.gov/ohrp/humansubjects/guidance/45cfr46.html) 
p.(None):   
p.(None):  Subpart B relates to research on fetuses, neonates, and pregnant women; 
p.(None):   
p.(None):  Subpart C relates to research with prisoners, and in general stipulates that the IRB include a prisoner or prisoner representative (among other 
p.(None):  requirements); 
p.(None):   
p.(None):  Subpart D relates to research with children, and in general mandates that adequate provisions be made for soliciting the assent of children and permission 
p.(None):  of their parents or guardians. 
p.(None):   
p.(None):  NSF has chosen not to adopt subparts B, C, and D. Only subpart A regulations are necessarily relevant for NSF funded projects. The Common Rule 
p.(None):  indicates that vulnerable populations include subjects, such as children, prisoners, pregnant women, or handicapped or mentally disabled persons. 
p.(None):   
p.(None):  Institutions which follow subparts B, C, and D for DHHS-sponsored research may not need to do so for NSF-sponsored projects. 
p.(None):   
p.(None):  Many institutions have signed Federal Wide Assurances with DHHS in which they may have agreed to apply the subparts to all research. If this poses a 
p.(None):  problem in conducting the NSF-sponsored research, institutions are advised to consult with their NSF program officer. In many cases problems are 
p.(None):  caused not by the regulations themselves, but by overly restrictive interpretations by IRBs. For example, Subpart C's mandate of an IRB member who is 
p.(None):  "a prisoner, or prisoner's representative with appropriate background and experience ..." can be met by a suitable member of the sociology or criminal 
p.(None):  justice faculty, the regulations do not require a formal affiliation with a prisoner association. Subpart D's mandate of informed consent is subject to "the 
p.(None):  extent that consent is required by §46.116 of Subpart A..." and does not automatically and invariably require written consent forms. As § 46.116.d. (same 
p.(None):  as § 690.116.d) specifies, informed consent can be modified or waived for a project which: 
p.(None):   
p.(None):  could not practicably be carried out without the waiver or alteration, 
p.(None):  is of no more than minimal risk, 
p.(None):  the waiver or alteration will not adversely affect the rights and welfare of the subjects, 
p.(None):  where appropriate, the subjects will be provided with additional pertinent information after participation. 
p.(None):   
p.(None):  These conditions cover a lot of research supported by the National Science Foundation. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Original Agencies, Departments and Offices approving the Common Rule (1991) 
p.(None):   
p.(None):  Agency for International Development 
p.(None):  Consumer Product Safety Commission 
p.(None):  Department of Agriculture 
p.(None):  Department of Commerce 
p.(None):  Department of Defense 
p.(None):  Department of Education 
p.(None):  Department of Energy 
p.(None):  Department of Health and Human Services 
p.(None):  Centers for Disease Control 
p.(None):  Food and Drug Administration 
p.(None):  National Institutes of Health 
p.(None):  Department of Housing and Urban Development 
p.(None):  Department of Justice 
p.(None):  Department of Veterans Affairs 
p.(None):  Department of Transportation 
p.(None):  Environmental Protection Agency 
p.(None):  National Aeronautics and Space Administration 
p.(None):  National Science Foundation 
p.(None):  In addition, the Central Intelligence Agency and Social Security Administration are required by Executive Order and statute, respectively, to follow the 
p.(None):  DHHS regulations (including all subparts). 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What parts of the regulations are applicable to my institution? 
p.(None):   
p.(None):  The Common Rule (subpart A of the DHHS regulations) has been adopted by many federal agencies involved in research. 
p.(None):   
p.(None):  NSF has not adopted subparts B, C and D of the DHHS regulations, and they are not necessarily applicable to NSF awards. (See Vignette: Child 
p.(None):  language studies in "Freedonia") 
p.(None):   
p.(None):  Specific institutions may have adopted policies that go beyond NSF's requirements. In general, institutions are free to adopt policies as they see fit, above 
p.(None):  and beyond the Common Rule. IRBs or researchers with specific questions about projects should contact the relevant agency program officer for 
p.(None):  guidance. (See FAQ: What are the Subparts of the regulations?) 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  My institution's assurance is with DHHS through OHRP, which has adopted subparts B, C & D. Does this mean that all research conducted 
p.(None):  through this institution must comply with the particulars of these subparts? 
p.(None):   
p.(None):  Not necessarily, if the research project is supported by an agency which has not adopted the particular subpart. The new Federalwide Assurance 
p.(None):  authorizes an institution to follow the regulations as interpreted by the most relevant agency or department. In NSF's opinion, a rote application of 
p.(None):  subparts B, C, and D may not always respect the autonomy of respondents, reduce risk or insure justice, and NSF urges flexibility with the goal of 
p.(None):  protecting human subjects and advancing research. (See Vignette: Child language studies in "Freedonia") (See FAQ: What are the Subparts of the 
p.(None):  regulations?) 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What are the overall goals of the federal policy (the Common Rule)? 
p.(None):   
p.(None):  The policy is designed to ensure minimal standards for the ethical treatment of research subjects. The major goal is to limit harms to participants in 
p.(None):  research. That means that no one should suffer harm just because they became involved as subjects or respondents in a research project. Institutions 
p.(None):  engaged in research should foster a culture of ethical research. 
p.(None):   
p.(None):  ETHICAL RESEARCH rests on three principles: 
p.(None):   
p.(None):  1. RESPECT for persons autonomy, meaning the researcher gives adequate and comprehensive information about the research and any risks likely 
p.(None):  to occur, understandable to the participant, and allows them to voluntarily decide whether to participate. 
p.(None):   
p.(None):  2. BENEFICENCE, meaning the research is designed to maximize benefits and minimize risks to subjects and society. 
p.(None):   
p.(None):  3. 3. JUSTICE, meaning that the research is fair to individual subjects and does not exploit or ignore one group (e.g., the poor) to benefit another 
p.(None):  group (e.g., the wealthy). (cf: The Belmont Report) 
p.(None):   
p.(None):  Research produces benefits valued by society. Regulatory oversight seeks to ensure that any potential harm of the research is balanced by its potential 
p.(None):  benefits. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  How can oversight be matched to risk in order to achieve the goals of the Common Rule? 
p.(None):   
p.(None):  The level of oversight should be matched to the level of risk. This implies that: 
p.(None):   
p.(None):  Projects should be preliminarily assessed for the possibility of harm to subjects greater than what is normally encountered in daily life. 
p.(None):   
p.(None):  IRBs should distinguish the probability of harm from the magnitude of harm. It is possible that a project can be "minimal risk" with a high probability 
p.(None):  of a trivial harm. Proposals with extremely low probabilities of serious harm should be carefully examined to minimize risks and ensure that 
p.(None):  appropriate informed consent is obtained. 
p.(None):   
p.(None):  In these guidance statements, "minimal risk" is used to refer to research where the magnitude of harm is low, whether the probability of harm is low 
p.(None):  or high. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What does "minimal risk" mean in research? 
p.(None):   
p.(None):  The Common rule defines minimal risk as: "the probability and magnitude of harm or discomfort anticipated in the research are not greater in and of 
p.(None):  themselves than those ordinarily encountered in daily life or during the performance of routine physical or psychological examinations or tests." (§ 690.102 
p.(None):  (i)) 
p.(None):   
p.(None):  Note that the probability of harm should be distinguished from the magnitude of harm. It is virtually certain that we will suffer minor transient harms 
p.(None):  in normal every-day life (transportation delays; inclement weather; embarrassment; fatigue; etc.). Such high-probability, low-magnitude harms are 
p.(None):  within the definition of "low-risk" research. Researchers might be asked what the probability of transient harm occurring is; whether the harm is 
p.(None):  likely to be lasting in any way; and what steps will be taken to ameliorate the harm. 
p.(None):  "More than minimal risk" means that the degree of physical or psychological discomfort is above that which is ordinarily encountered in daily living 
p.(None):  or during the performance of routine physical or psychological examinations or tests. This could include disclosure of confidential information to 
p.(None):  individuals who could use that information to harm a subject in some way. 
p.(None):   
...
           
p.(None):   
p.(None):  Confidentiality should be guaranteed, unless the respondent explicitly agrees to disclosure. The release of any information that can be linked to an 
p.(None):  individual, potentially damaging or not, should be agreed upon. 
p.(None):   
p.(None):  "Delayed harm": It is conceivable that as a result of participating in a social science study a subject may experience some longer term 
p.(None):  psychological reaction, such as depression. It is also conceivable that material covered in the course of an interview may lead subjects to re- 
p.(None):  examine past experiences in a different light, to reevaluate themselves in less than positive terms, or to seek additional information that may lead to 
p.(None):  other difficulties. This process may take days or even weeks. Researchers might be asked to indicate what the probability of such harm is and what 
p.(None):  might be done to ameliorate it should it occur. (For example, counseling referral information can be made available for participants.) 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What does the Belmont Report have to do with IRB reviews? 
p.(None):   
p.(None):  The Belmont Report (1979) was prepared by a government commission convened to frame "Ethical principles and guidelines for the protection of human 
p.(None):  subjects of research." The report described three ethical principles that should be adhered to when conducting research: respect for persons, 
p.(None):  beneficence, and justice. This document provides the philosophical foundation for the Common Rule. It explicitly focused on biomedical research, 
p.(None):  however the regulations that stem from it cover behavioral and social as well as biomedical research. Quoted material here is from that report. 
p.(None):   
p.(None):  1. Respect for persons. This means that "individuals should be treated as autonomous agents, and persons with diminished autonomy are entitled to 
p.(None):  protection." Informed consent is the key element: 
p.(None):   
p.(None):  "Respect for persons requires that subjects, to the degree that they are capable, be given the opportunity to choose what shall and shall not 
p.(None):  happen to them. This opportunity is provided when adequate standards for informed consent are satisfied." 
p.(None):   
p.(None):  Sufficient information should be provided to subjects so that they may make an informed decision about whether to participate. Information 
p.(None):  provided to potential subjects should be clear and understandable. 
p.(None):   
p.(None):  "An agreement to participate in research constitutes a valid consent only if voluntarily given. This element of informed consent requires 
p.(None):  conditions free of coercion and undue influence." 
p.(None):   
p.(None):  2. Beneficence. Researchers are obliged to protect subjects from harm; "maximize possible benefits" of the research while "minimizing possible 
...
           
p.(None):   
p.(None):  Accordingly, Strunk prepared parental permission and child assent forms in clear friendly language. Since he was a member of the school's PTA, served 
p.(None):  on various PTA committees and was generally known to the teachers and other parents as Bill Strunk, he signed his correspondence with parents as "Bill 
p.(None):  Strunk." Strunk was flabbergasted when his IRB sent him back a very long "corrected" version of his assent and permission letters, rewritten in complex 
p.(None):  "legalese," to be signed as "Dr. William Strunk." Who was right? 
p.(None):   
p.(None):  Strunk was right. The federal regulations require an explanation that subjects can understand. In fact, the University of South Florida recently was sued by 
p.(None):  subjects (successfully for $3,800,000) claiming that the consent form was not written in a manner they could understand. 
p.(None):  (http://www.researchroundtable.com/usfcase.htm). University lawyers who rewrite such documents may fail to realize that clear communication (in terms 
p.(None):  the subjects can understand) is what the law requires. Language that is unclear, alarming, and incomprehensible to the subject does not protect the 
p.(None):  institution and is not in fact "legally correct." 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What exemptions of the Common Rule are most appropriate to social science research? 
p.(None):   
p.(None):  The Common Rule states that there are 6 categories of research that are exempt (from full IRB review). The first 4 of the exemptions will be most 
p.(None):  appropriate for social science research: 
p.(None):   
p.(None):  Research in educational settings involving educational practices. (§ 101 (b) (1)) 
p.(None):   
p.(None):  Research involving educational tests (cognitive, diagnostic, aptitude, achievement), surveys, interviews, or observations of public behavior, unless 
p.(None):  subjects are identified and disclosure of responses would involve more than reasonable risk. (§ 101 (b) (2)) 
p.(None):   
p.(None):  Research involving educational tests (cognitive, diagnostic, aptitude, achievement), surveys, interviews, or observations of public behavior not 
p.(None):  exempt under preceding exemption if human subjects are elected public officials, and if federal statutes require confidentiality of identifiable 
p.(None):  information. ((§ 101 (b) (3)) 
p.(None):   
p.(None):  Research involving the collection or study of existing data if publicly available or unidentifiable. ((§ 101 (b) (4)) 
p.(None):   
p.(None):  Research and demonstration projects designed to study public benefit or service programs. ((§ 101 (b) (5)) 
p.(None):   
p.(None):  Taste and food quality evaluation and consumer acceptance studies. ((§ 101 (b) (6)) 
p.(None):   
p.(None):  Exempt research is free from continued oversight by the IRB although the institution (either a designated IRB representative, the entire committee, or 
...
           
p.(None):  officer, affirmed that the research was low risk. However the position of the University administrators was that the regulations required both a foreign IRB 
p.(None):  and the application of Subpart D's additional oversight for children. The University pointed out that their Federalwide Assurance with DHHS specifically 
p.(None):  included Subpart D. 
p.(None):   
p.(None):  After additional conversation with NSF staff, University administrators and legal advisors, and OHRP specialists, the University finally gave its approval to 
p.(None):  the project and Professor Jones was able to leave for Freedonia to continue her research as approved originally by her previous institution, without written 
p.(None):  consent. Most of the conversation dealt with formal requirements of the process and did not focus on issues related to potential risks of harm to the 
p.(None):  human subjects in the study. 
p.(None):   
p.(None):  Specific lessons: 
p.(None):   
p.(None):  Research in foreign countries does not always need to be reviewed by a foreign IRB if none exists, or when such a review would not be appropriate 
p.(None):  or feasible under local conditions. The US institution's review is always primary and often sufficient. The review will ensure that at least equivalent 
p.(None):  protections apply to both subject populations. 
p.(None):   
p.(None):  The additional protections involved in the Common Rule's subparts are not automatically relevant to NSF-funded projects and should not serve to 
p.(None):  impede research when minimal risk of harm is involved. The IRB should follow the guidance of the federal agency supporting the research. 
p.(None):   
p.(None):  The general lesson: 
p.(None):   
p.(None):  The purpose of the regulations is to prevent or minimize harm, given informed consent, while ensuring the quality of research. The degree of 
p.(None):  oversight should be scaled to the level of risk. 
p.(None):   
p.(None):  Other guidelines may be applicable and provide guidance including ethical standards of professional associations as well as certain journals that 
p.(None):  require assurance that research has been conducted with ethical standards. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Are third parties human subjects in research? 
p.(None):   
p.(None):  The Common rule defines a human subject as: "...a living individual about whom an investigator (whether professional or student) conducting research 
p.(None):  obtains (1) data through intervention or interaction with the individual, or (2) identifiable private information. (§ 690.102(f)) 
p.(None):   
p.(None):  When respondents give information about other people who are not directly interviewed these others are known as "third parties". 
p.(None):   
p.(None):  The goals of the Common Rule apply to any person who has the potential to be harmed because of a research project, whether or not the person is 
p.(None):  directly interviewed or identified through an interview with someone else. 
p.(None):   
p.(None):  The research project should be assessed for the likelihood that third parties could be harmed. If the project is low risk then no special oversight is required. 
p.(None):   
p.(None):  If the data are stripped of identifiable private information (http://www.icpsr.umich.edu/), then no "human subjects" are involved. The IRB records should 
p.(None):  retain information about the process leading to this determination. 
p.(None):   
p.(None):  The project information should be kept confidential; the level of confidentiality (applicable to all identified persons, not just interviewed subjects in the 
p.(None):  research) should be commensurate with the level of risk. 
p.(None):   
p.(None):  Additional provisions may apply in the case of health information privacy and confidentiality (HIPAA). These provisions generally require securing patient 
p.(None):  records containing individually identifiable health information so that they are not readily available to those who do not need them. 
p.(None):   
p.(None):  The regulations do not automatically mandate informed consent from third parties. If the potential risk is serious and not ameliorated by 
p.(None):  confidentiality procedures, then consent is necessary. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Is secondary analysis of data human subjects research? 
p.(None):   
p.(None):  Much research in the social sciences deals with the re-analysis of data often available in a "public-use data file". This is known as "secondary analysis". 
p.(None):  The goals of the Common Rule apply to any person who has the potential to be harmed because of a research project, whether or not the person is 
p.(None):  directly interviewed or identified through data collected by another researcher for a different purpose. Public use data files are normally stripped of 
p.(None):  identifiable private information or "de-identified. In this case, the research is exempt since no identifiable human subjects are involved. (§ 690.102.f.2) 
p.(None):  When identifiers are included in the data, several issues should be considered: 
p.(None):   
p.(None):  The research project should be assessed for the likelihood that identified respondents could be harmed or easily identified. If the project is low risk 
p.(None):  then no special oversight is required. If the data is de-identified, then no "human subjects" are involved in the research. 
p.(None):   
p.(None):  The project information should be kept confidential; the level of confidentiality commensurate with the level of risk applicable to all identified 
p.(None):  persons. 
p.(None):   
p.(None):  The regulations do not mandate informed consent from identified persons in secondary data sets although it may be required. If the potential risk is 
p.(None):  serious and not ameliorated by confidentiality procedures, then consent is necessary. Medical records may be subject to additional regulations. 
p.(None):   
p.(None):  Back to the Top 
p.(None):  What about merging public data files or enhancing a public data file? 
p.(None):   
...
           
p.(None):   
p.(None):  A social scientist proposed a study in which subjects would be asked to discuss privately with their romantic partner a past disagreement. Because the 
p.(None):  questions are embarrassing, the researcher proposed that complete anonymity, including to the researcher, be preserved. This was aimed to encourage 
p.(None):  participation and protect the subjects. The IRB instead required the collection of signed informed consent forms, thereby eliminating the anonymity. 
p.(None):   
p.(None):  The lessons: 
p.(None):   
p.(None):  The risk in this project is the harm resulting from a breach of confidentiality. The regulations allow the IRB to waive documentation of informed 
p.(None):  consent ((§ 116 (d)), and ethical considerations mandate that they do so, in order to reduce the risk to the subjects. Here a misreading of the rules 
p.(None):  actually increased the risk to subjects. 
p.(None):  Documentation of informed consent is not an end in itself, but should be a tool to decrease risk of unexpected harm to participants. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Does research conducted as a classroom exercise count as human subjects research? 
p.(None):   
p.(None):  The Common Rule defines research as "a systematic investigation, including research development, testing and evaluation, designed to develop or 
p.(None):  contribute to generalizable knowledge" (§ 102.d) 
p.(None):  This includes activities, which are intended to lead to published results, or for example, findings presented at a professional meeting. Classroom 
p.(None):  exercises, involving interactions with human participants, which are part of an educational program, and are not designed to advance generalizable 
p.(None):  knowledge, are not covered by this regulation. Similarly, evaluations for quality improvement or assessment of instruction are not considered research so 
p.(None):  long as they are not designed to create generalizable knowledge. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  How can research conducted as a classroom exercise be reviewed to protect human participants? 
p.(None):   
p.(None):  Since the Common Rule exempts classroom exercises (see FAQ Does research conducted as a classroom exercise count as human subjects 
p.(None):  research?), the IRB has no mandated role to play in reviewing such exercises. However, the IRB typically is the only institutional store of expertise about 
p.(None):  human subjects protections, and may in principle be involved in such research in an oversight function. The following suggestions are offered as guidance 
p.(None):  for institutions seeking to protect participants from harm in such situations without overburdening IRBs with needless review responsibilities. 
p.(None):   
p.(None):  The relevant department should set up a Human Research Committee to review classroom exercises for harm to participants. 
p.(None):   
p.(None):  The department should state, in writing, what sort of research is reviewed in the department (i.e., classroom exercises, non federally-funded 
p.(None):  research, etc. ) in contrast to research which must go to the IRB. 
p.(None):   
p.(None):  The department should state, in writing, the criteria used to evaluate proposals (i.e., voluntary participation, informed consent, lack of risk of harm, 
p.(None):  lack of deception, procedures for ensuring confidentiality of data), and the mechanism used to perform the evaluation (i.e., a standing committee, 
p.(None):  an ad hoc committee appropriate to specific proposals, etc. ) 
p.(None):   
p.(None):  The department should specify, in writing, the records it will keep. This may consist of the proposal itself, each reviewer's comments, correspondence with 
...
           
p.(None):   
p.(None):  Researchit's project in fact fits the criteria for exemption, because it uses interview procedures that involve no risk of harm.( § 690.101.b.2) 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  My university does not have an "exempt" category for research, only "expedited" and "full review" categories. What does this mean in terms of 
p.(None):  social science projects that the federal government has declared "exempt"? 
p.(None):  The regulations specify exempt research at § 101 (b) and expedited review at § 110. Your university requires that the IRB or some other non-involved 
p.(None):  person, and not simply the investigator, must confirm that the project is in the exempt category. In order for that determination to be made, the project 
p.(None):  must be examined by an independent authority. Exempt projects are usually free from continued oversight by the IRB unless the nature of the project 
p.(None):  changes. 
p.(None):   
p.(None):  On the other hand, your university may have simply collapsed the exempt and expedited categories of research together. In an expedited review, typically 
p.(None):  only one experienced member of the IRB committee, or the chair of the committee, will review the project and confirm that the project is indeed minimal 
p.(None):  risk, or a minor change to a previously approved protocol, and meets the criteria for expedited review. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Where can I get authoritative and expert interpretation of the regulations? 
p.(None):   
p.(None):  Many agencies support the Common Rule, meaning they follow the same regulations. Each agency has special expertise in the application of the 
p.(None):  regulations for relevant research. 
p.(None):   
p.(None):  For example, NSF funds research in the area of experimental economics. An IRB asking how to apply the regulations to experimental economics 
p.(None):  research could seek guidance from the funding agency supporting those research activities. 
p.(None):   
p.(None):  The most knowledgeable advice comes from the agency funding the research. 
p.(None):   
p.(None):  Although all agencies follow the same regulations, each agency has different expertise on the application of the regulations to specific cases. For NSF 
p.(None):  research, the first person to call is the Program Officer, who will answer questions directly or get authoritative advice from NSF's Human Subjects 
p.(None):  Research Protections Officer. 
p.(None):   
p.(None):  But my institution's assurance is from OHRP. Doesn't that mean that I must get that office's response to my question? 
p.(None):   
p.(None):  No, OHRP will direct inquiries from requestors to the appropriate officials at the funding department or agency. The response of the agency funding a 
p.(None):  specific research project is the most appropriate government interpretation of the regulations with respect to that project. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What flexibility does the IRB have in applying the Common Rule? 
p.(None):   
p.(None):  The purpose of the federal regulations is to obtain the benefits of research for society while minimizing the risks of harm to human research participants. 
p.(None):  To further this goal the regulations encourage IRBs to make independent informed judgments, using common sense and expertise to apply a standard set 
p.(None):  of rules to diverse research situations, and to document the procedure followed in arriving at its judgment. 
p.(None):   
p.(None):  For example, sections §116 (c), (d), and §117 (c) discuss flexible procedures that may be used to administer informed consent, depending on the specifics 
p.(None):  of the research project. Informed consent is the procedure by which the researcher respects the autonomy of research participants (as discussed in the 
p.(None):  The Belmont Report). Since written documentation of informed consent can create harm for research participants in some circumstances, it should not be 
p.(None):  routinely required in all cases. For example, research should not use signed forms when the focus is on illegal behavior, or on partisan political activity in 
p.(None):  violent areas, where signed forms may potentially increase risks to the participants. Here the respondent's signed form could expose him or her to harm 
...
           
p.(None):  §116)(See 45 CFR Part 46 §117 )(See FAQ Informed Consent in Social and Behavioral Science)(See FAQ When a Signed Consent Form can 
p.(None):  Harm a Participant 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What if the researcher and the IRB disagree about the risk and appropriate action to be taken in the project? 
p.(None):   
p.(None):  The regulations do not discuss procedures for resolving conflicts between IRBs and researchers. Each institution should develop a written set of 
p.(None):  procedures for resolving differences of opinion. For example, perhaps a conversation could be scheduled between the research office administrator, the 
p.(None):  IRB chair, the researcher, outside consultants if deemed appropriate, and the funding agency representative. The major principles to be respected in any 
p.(None):  mediation procedure should include: 
p.(None):   
p.(None):  Limitation of risk of harm to human subjects. 
p.(None):  Reasonable implementation of informed consent. 
p.(None):  Avoidance of conflicts of interest. 
p.(None):  Advancement of knowledge through research. 
p.(None):  Oversight commensurate with the level of risk. 
p.(None):  Adherence to the Common Rule. 
p.(None):   
p.(None):  Ultimately, however, authority to approve the research must rest with the IRB. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Advice to IRBs on Dealing with Researchers 
p.(None):   
p.(None):  The advance of scientific research is a vital interest of the United States of America. Your institution is by definition an important part of the US research 
p.(None):  effort. The institution should provide enough resources to enable the IRB to: 
p.(None):   
p.(None):  Act in a timely way on research protocols. Expedited reviews should take no longer than five working days. 
p.(None):  Incorporate sufficient expertise to review the research presented to you (§107 (a)). The institution should provide a roster of experts to the Office of 
p.(None):  Human Research Protections of HHS, without conflicts of interest with the research, willing to contribute to the IRB discussion of every proposal. 
p.(None):   
p.(None):  Seek ways to streamline the process. Proposals may be reviewed on-line to minimize paper clutter; departmental representatives could be included 
p.(None):  in the IRB to triage the reviews. 
p.(None):   
p.(None):  Give talks and workshops for departments (and especially for their graduate students) whose protocols are often problematic; make handouts or on- 
p.(None):  line materials that suggest useful procedures for handling human subjects issues that frequently arise. 
p.(None):   
p.(None):  Make sure that your institution's library carries books and articles that offer useful guidance on sensitive issues such as research on children, 
...
           
p.(None):  requirement means you can't do the research. If they cannot respond in a way that is helpful, consult with the following and provide written 
p.(None):  documentation of what you learned from them. 
p.(None):   
p.(None):  Refer to your scientific society's code of ethics or discuss the issue with representatives of your scientific society. Official representatives of your 
p.(None):  scientific society may be unwilling to give advice, but may refer you to members who are knowledgeable and who might advise you. 
p.(None):   
p.(None):  Consult with the agency (actually or potentially) funding your research. 
p.(None):   
p.(None):  Consult with researchers who have worked on this kind of sensitive research and learn how they and their IRB resolved the problem. 
p.(None):   
p.(None):  Consult the ethics/methodology literature on this issue. 
p.(None):   
p.(None):   Check the Federal Regulations to see what options they allow, but which your IRB may not wish to follow. Remember that your IRB has the option 
p.(None):  of being stricter than the Regulations, but it may be useful to remind them that you are operating within the Regulations. 
p.(None):   
p.(None):  Consult OHRP guidance at http://www.hhs.gov/ohrp/policy/index.html#irbs. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  How should IRBs deal with research in foreign countries? 
p.(None):   
p.(None):  The US institution administering the research has the primary responsibility, normally codified in an Assurance, to ensure that the project complies with 
p.(None):  US regulations. The Common Rule § 101 (h) discusses foreign human subjects regulations and procedures for substituting them for US regulations. When 
p.(None):  an appropriate foreign IRB exists the regulations foresee involving it in reviewing the research. The US institutions IRB chair determines that the 
p.(None):  procedures prescribed by the foreign IRB afford protections that are at least equivalent to those provided in the Common Rule. 
p.(None):   
p.(None):  This regulation is most germane to biomedical research, as few foreign countries apply human subjects regulations to social and behavioral science. In 
p.(None):  many foreign countries IRBs deal only with biomedical research and will refuse to extend their purview to cover social and behavioral science. In other 
p.(None):  foreign situations there will be no analogue to an IRB and the concept may be irrelevant. When this situation occurs, the US institution remains the 
p.(None):  responsible authority and the services of a foreign IRB might not be necessary. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Can research proceed at a foreign institution if no foreign IRB has reviewed the research? 
p.(None):  The Common Rule discusses cooperating research institutions at § 114, which envisions each institution reviewing the research through its IRB. When 
p.(None):  institutions are in foreign locations with no tradition of IRB review of the relevant research, the review of the US institution may be sufficient. If the IRB has 
p.(None):  concerns about the risk of harm to research participants, the IRB should make a serious effort to involve appropriate cultural expertise in its review by 
p.(None):  soliciting the cooperation of persons knowledgeable about the customs and language in the society where the research will occur. 
p.(None):   
p.(None):  There are options that can be considered in order to ensure that research proceeds even in the absence of a foreign IRB. Some foreign IRBs have FWAs, 
p.(None):  and can be used for the review of research to be conducted in that country. Alternatively, a foreign IRB or ethics board in the country where the research is 
p.(None):  to be conducted can review the research. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Compensation and Disguising Cessation of Participation (Vignette) 
p.(None):   
p.(None):  An investigator submitted a proposal to the Maven University IRB for an anonymous paper-and-pencil study of attitudes toward a hypothetical case of 
p.(None):  incest. Due to the sensitive nature of the topic, the IRB wished to ensure that subjects could discontinue their participation at any time. The survey was to 
p.(None):  be administered simultaneously to numerous subjects in a group setting. The IRB felt that individuals who began the survey, but then changed their 
...
           
p.(None):  subjects that an urn contains an unspecified number of red and blue balls, and inviting them to participate in an experiment by guessing the number, would 
p.(None):  not involve deception because the subjects "know what they don't know". Concealing the fact that there is a hidden camera would be deceptive. The 
p.(None):  distinction is whether subjects have the information to make an informed choice about whether to participate in the research. Secretly filming their 
p.(None):  behavior denies them the opportunity to consider whether or not they want to be filmed for research. Not telling them how many balls are in the urn is part 
p.(None):  of the accepted framework for a participant to guess the number. 
p.(None):   
p.(None):  It may be important in some research to withhold the specific theoretical purpose of the research from subjects, in order not to bias their opinions. If done 
p.(None):  in a neutral way, it would not be deceptive. If subjects are intentionally led to believe that the research is for a purpose different than the actual purpose, 
p.(None):  this would be deceptive. 
p.(None):   
p.(None):  Deception potentially poses ethical problems and should be dealt with by weighing the benefits of the research against the harm (if any) from the 
p.(None):  deception. Aside from any potential harm to participants, deception can also harm the institution by building the perception among potential subjects that 
p.(None):  "researchers are liars." The IRB should follow the regulations in § 690.116.d. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What issues arise concerning compensation 
p.(None):   
p.(None):  The common rule does not address the compensation of subjects for participation in research. Good ethical practice suggests some guidelines: 
p.(None):   
p.(None):  Researchers should be careful about paying compensation to subjects who are placed at risk, so that the payment is not seen as coercive. A high 
p.(None):  payment may induce a needy participant to take a risk that they normally would clearly prefer not to take. That concern would not exist when the 
p.(None):  risk is minimal. 
p.(None):   
p.(None):  Advertising the amount of compensation, in order to give information to potential subjects, poses no risk or ethical problem. 
p.(None):   
p.(None):  Sometimes compensation can take the form of a lottery. Provided that subjects do not risk their own money, this is not gambling. Lotteries are often 
p.(None):  part of the research design, for example in studies of attitudes towards risk. In assessing whether lotteries involve appropriate levels of 
p.(None):  compensation, the expected value (the prize amount divided by the number of contenders) of the lottery should be assessed, not the size of the 
p.(None):  largest prize. 
p.(None):   
p.(None):  Compensation may depend on circumstances or performance, for example, when participants are paid on the basis of the choices they and other 
p.(None):  participants make. The common rule does not suggest that this is improper, and researchers have not reported ethical or practical problems arising 
p.(None):  from these circumstances. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Use of Lottery as Compensation (Vignette) 
p.(None):   
p.(None):  A study was proposed at Maven University to conduct a survey using a dietary questionnaire, a motion sickness history questionnaire, and a "disgust 
p.(None):  sensitivity" survey. To protect participants, and to preclude any bias, the researchers preferred that participation in the study be anonymous, even to them. 
p.(None):  To assure anonymity while paying compensation, a lottery for $500, with odds depending on number of entries, was proposed, together with a carefully 
p.(None):  developed scheme for preserving the anonymity of the winner. 
p.(None):  Prior to this, the Maven IRB had argued that that a lottery could not be used as compensation, first because it is gambling, and second because it is unfair 
p.(None):  that not all subjects are paid the same amount. However, they ultimately agreed that a lottery is an acceptable form of compensation. In response to this 
p.(None):  proposal, they ruled that the amount of the prize could not be advertised, because $500 is "coercive". 
p.(None):   
p.(None):  The researchers argued that a lottery is not gambling, because subjects do not risk their own money. They further argued that it is not unfair to pay 
p.(None):  subjects differentially, because all have an equal opportunity to win the prize and know that beforehand. 
p.(None):   
p.(None):  The use of a lottery to compensate subjects should require no special justification. 
p.(None):   
...
           
p.(None):   
p.(None):  What to do? 
p.(None):   
p.(None):  There are 2 issues here. First, to the extent that Dr. Goodbar is using students survey responses for his published scholarly articles, he is 
p.(None):  conducting research CFR 46.112 (d). In conducting research, he would have submitted an IRB proposal and obtained permission to survey the 
p.(None):  students. The second issue concerns confidentiality, and if Dr. Goodbar promised this within the IRB proposal and promised this to students on the 
p.(None):  consent form, then he is obligated to maintain that confidentiality. 
p.(None):   
p.(None):  To protect the student, the record should be erased immediately. 
p.(None):   
p.(None):  To respect the academic institution and tradition, the student should be counseled on the impropriety of plagiarism. 
p.(None):   
p.(None):  In general, in the case of a serious matter (a threat of violence, a criminal act, a serious breach of academic discipline, e.g., the theft of a test) the 
p.(None):  professor should inform institutional authorities provided that confidentiality was not promised. 
p.(None):   
p.(None):  The professor should routinely point out to students, before the research takes place, to consider before responding that their responses will be 
p.(None):  recorded. They should be told not to say anything they would not want others to see and hear on tape. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Doesn't the Common Rule demand confidentiality in research records? 
p.(None):   
p.(None):  The Common Rule addresses privacy of information about persons and confidentiality of data. A research project involving individual information about 
p.(None):  respondents can be exempt under two conditions: 
p.(None):   
p.(None):  if the information either is not linked to the respondents' identity (§ 101 (b) (2)), e.g., it is anonymous, or 
p.(None):  the information is linked to the respondents' identity, but the nature of the information is such that disclosure will not be reasonably expected to 
p.(None):  cause harm (§ 101 (b) (2)). Non-anonymous data recording can be exempt if any breach of confidentiality will not cause harm beyond that 
p.(None):  encountered in everyday life. Historical or other research where the respondent is fully aware that publication will involve names, or where the 
p.(None):  information is in public records, is not of concern here. 
p.(None):   
p.(None):  The Common Rule thus explicitly allows social and behavioral science research involving minimal risk to record the identity of respondents in the data. 
p.(None):  Whether or not the research is exempt, professional ethics and respect for persons mandate confidentiality unless the participant agrees to release the 
p.(None):  information. (§ 111 (a) (7)). 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What's the difference between privacy and confidentiality? 
p.(None):   
p.(None):  The Common rule defines "identifiable private information" as: 
p.(None):   
p.(None):  "information about behavior that occurs in a context in which an individual can reasonably expect that no observation or recording is taking place, and 
p.(None):  information which has been provided for specific purposes by an individual and which the individual can reasonably expect will not be made public (for 
p.(None):  example, a medical record)." (§690.102(f)) 
p.(None):   
p.(None):  PRIVACY refers to persons; and to their interest in controlling the access of others to themselves. 
p.(None):   
p.(None):  CONFIDENTIALITY refers to data; and to the agreements that are made about ways in which information is restricted to certain people. 
p.(None):  Identifiable information collected through research should be kept confidential as much as possible, as a matter of professional courtesy, no 
p.(None):  matter whether there is an identified harm or not in accordance with any promise made in the consent form (unless the research is such that 
p.(None):  respondents clearly understand that identities will be published, as in historical studies). 
p.(None):   
p.(None):  Successful confidentiality begins from the top, and implies a research culture which involves everyone, whether they normally have access to 
p.(None):  project files or not, being aware that identifiable private information must be kept confidential. 
p.(None):   
p.(None):  There are many techniques of insuring confidentiality and of de-identifying data, from simple to complex. (See FAQ: What are the major 
...
           
p.(None):  colleague objected to her obtaining a list of students admitted to the Ph.D. program. Her colleague claimed that Studyphud has no right to that list since 
p.(None):  the fact of students' admission to Ph.D. programs is a private event. The colleague said that the only way Studyphud could contact the students is by 
p.(None):  placing a more general solicitation in all doctoral students' mailboxes asking them to contact her if they qualified (as new students) and were interested in 
p.(None):  participating. Was Studyphud's colleague right? 
p.(None):   
p.(None):  Studyphud's colleague was wrong. A list of names of students admitted to a graduate program is not normally private. With students permission, 
p.(None):  departmental newsletters will list and briefly describe these students to welcome them to the program. Lists of their names and a few other identifying 
p.(None):  characteristics will be distributed to faculty, staff and existing doctoral students. 
p.(None):   
p.(None):  The distinction between public and private information can be ambiguous in some cases. Some information that becomes part of university records, such 
p.(None):  as students' financial status or that of their parents, would arguably be private and covered by the federal law called the Family Educational Rights and 
p.(None):  Privacy Act, also known as FERPA or the Buckley Amendment. And clearly if Studyphud were seeking volunteers who had smoked marijuana as 
p.(None):  undergraduates or who had certain medical conditions, she would be dealing with private information. 
p.(None):   
p.(None):  The Common Rule provides a general and satisfactory description of identifiable private information whose confidentiality should be discussed with the 
p.(None):  respondent, such as medical records (§ 102 (f) (2)). 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Is ethnography covered by the Common Rule? 
p.(None):   
p.(None):  Ethnography refers to a type of social science research where the researcher studies human behavior in a natural setting, rather than in a laboratory, for 
p.(None):  purposes of understanding the culture of that particular population. Research may involve observations and/or interviews with people in that setting. Since 
p.(None):  human participants are involved, the research is covered by the regulations. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Is ethnographic research exempt? 
p.(None):   
p.(None):  Depending on the specifics of the research project, ethnographic research may be exempt, qualify for expedited review, or require full IRB review. 
p.(None):  Although research involving public behavior is exempt under the Common Rule, projects focusing on sensitive information, where the disclosure of 
p.(None):  responses could harm the respondent, require full review. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  How should research involving "snowball samples" be handled from a human subjects perspective? 
p.(None):   
p.(None):  In a "snowball sample" each respondent is asked to suggest other persons for inclusion in the research. These persons are then contacted to see if they 
p.(None):  wish to serve as research participants. This is a valid procedure often used by investigators who seek to recruit from populations for which adequate 
p.(None):  sample frames are not available. For example, a researcher seeking to study patterns of informal leadership in a community may ask individuals to name 
p.(None):  others who are influential in a community. Similarly, studies of the diffusion of ideas and acceptance of new technologies can be traced through scientific 
p.(None):  and medical communities. 
p.(None):   
p.(None):  Snowball samples in and of themselves do not necessarily pose a risk for human subjects. IRBs should follow the normal procedure of examining the 
p.(None):  project for risks of harm commensurate with normal life. Each respondent is given the opportunity to participate or to decline participation. 
p.(None):   
p.(None):  For studies studying sensitive topics, study protocols should adhere to the recommendations for confidentiality. For example, studies of networks of drug 
...
           
p.(None):  world, for many people with a history of exploitation and unfair dealings with authorities and government, a request to sign a form is fraught with danger. 
p.(None):  Respondents may not be fully literate, may not have familiarity or experience with social science research, and may have learned to expect the worst from 
p.(None):  strangers through experience or popular belief. 
p.(None):   
p.(None):  The roles of women and minors are not necessarily the same in other societies as in the US. In many cultures women and children are forbidden from 
p.(None):  making any agreement without their husband's or father's permission, which may not be appropriate in all situations. Written informed consent in such 
p.(None):  cases would be impossible to obtain, or if obtained would generate concern in respondents. 
p.(None):  Researchers should be sensitive to such cultural differences within the US as well as in cultures outside the US. A vital aspect of protecting and respecting 
p.(None):  human subjects is to "do your homework" of learning about the cultural norms of those you wish to study. Expertise regarding the locale is essential and 
p.(None):  may be provided by the investigator or a consultant. In these circumstances the Common Rule authorizes a waiver of written documentation. § 117 (c) (1) 
p.(None):  discusses situations where the only record linking the subject and the research would be the consent document, and the principal risk would be potential 
p.(None):  harm resulting from a breach of confidentiality. 
p.(None):   
p.(None):  § 117 (c) (2) deals with waiving written documentation of informed consent in situations where "the research presents no more than minimal risk of harm 
p.(None):  to subjects and involves no procedures for which written consent is normally required outside of the research context." This covers a large portion of 
p.(None):  ethnographic research on non-sensitive topics. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  How should IRBs proceed in reviewing ethnographic research? 
p.(None):   
p.(None):  As with any project, the IRB administrator should assess the research to determine if there is any risk of harm to participants (beyond that which might be 
p.(None):  experienced in daily life), to determine whether the research is exempt or qualifies for expedited or full review. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What is "group consent" and how is it relevant to informed consent? 
p.(None):   
...
Orphaned Trigger Words
p.(None):  directly interviewed or identified through data collected by another researcher for a different purpose. Public use data files are normally stripped of 
p.(None):  identifiable private information or "de-identified. In this case, the research is exempt since no identifiable human subjects are involved. (§ 690.102.f.2) 
p.(None):  When identifiers are included in the data, several issues should be considered: 
p.(None):   
p.(None):  The research project should be assessed for the likelihood that identified respondents could be harmed or easily identified. If the project is low risk 
p.(None):  then no special oversight is required. If the data is de-identified, then no "human subjects" are involved in the research. 
p.(None):   
p.(None):  The project information should be kept confidential; the level of confidentiality commensurate with the level of risk applicable to all identified 
p.(None):  persons. 
p.(None):   
p.(None):  The regulations do not mandate informed consent from identified persons in secondary data sets although it may be required. If the potential risk is 
p.(None):  serious and not ameliorated by confidentiality procedures, then consent is necessary. Medical records may be subject to additional regulations. 
p.(None):   
p.(None):  Back to the Top 
p.(None):  What about merging public data files or enhancing a public data file? 
p.(None):   
p.(None):  This activity requires IRB review to verify that the risk of identifiability has not occurred or increased. It also requires that an adequate data protection plan 
p.(None):  for confidentiality is in place. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What if the project intends to link data from a new survey to existing individual-level data from public data sources? 
p.(None):   
p.(None):  Whenever appropriate, the subjects will be provided with additional pertinent information about the use of their data. The researcher should inform the 
p.(None):  research participants of efforts to link their data to public data sources in the process of obtaining consent. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What if the project decides to link data from a new survey to existing individual-level data from public data sources after the survey has been 
p.(None):  completed? 
p.(None):   
p.(None):  If the level of confidentiality in the new data set created by the linkage is less than that in either of the pre-existing sets, then the change in research 
p.(None):  design must be examined by either the IRB official or fully convened IRB depending upon whether the initial review was exempt. Following that review, 
p.(None):  after evaluating the level of risk involved, a waiver of informed consent may be recommended if risk of harm is low and adequate confidentiality 
p.(None):  procedures are in effect. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What sorts of harm can arise from social and behavioral science research? 
p.(None):   
p.(None):  Here are some typical examples: 
p.(None):   
p.(None):  Harms commensurate with daily life, requiring no special protection: 
p.(None):   
p.(None):  Mere inconvenience when a survey or other research interaction is administered at an inconvenient time or place or simply takes a long time to 
p.(None):  administer. 
p.(None):   
p.(None):  Harms that have the potential for serious effects, which IRBs should examine: 
p.(None):   
p.(None):  Emotional or psychological harm, for example when a research interaction causes upset, or worry about breach of confidentiality. 
...
p.(None):  to think about what they have been told and to ask any questions. IRBs and researchers should not defeat the purpose of informed consent by substituting 
p.(None):  a legalistic consent form for an effective communication process. If signed forms are appropriate, signing the form should not be perfunctory, unreflecting 
p.(None):  and automatic. When written informed consent would be the only identifiable link to research participants, it may increase risk and in some circumstances 
p.(None):  should be avoided. 
p.(None):   
p.(None):  When there is likely to be some risk of harm or inconvenience to certain subjects, they should receive enough information to judge whether the risk 
p.(None):  is at a level they can accept. If more than minimal risk is involved the consent form should state the subject's rights and the researcher's 
p.(None):  responsibilities. 
p.(None):   
p.(None):  Research participation in most social-behavioral research involves time and possibly some inconvenience and discomfort. An adequate informed consent 
p.(None):  process can sort out those who would gladly participate from those who wish to opt out. Persons may agree to undertake some risks or inconveniences, 
p.(None):  which they would reject if unilaterally imposed upon them. 
p.(None):   
p.(None):  Researchers and IRBs should distinguish between the process of informed consent, the documentation of informed consent, and written 
p.(None):  documentation of informed consent. 
p.(None):   
p.(None):  Informed consent should endure throughout the interaction between investigators and participants, rather than only at the beginning. The initial agreement 
p.(None):  to participate can be documented in various ways. When appropriate, usually where risks of harm are substantial, individually signed forms are the "gold 
p.(None):  standard" of informed consent. 
p.(None):   
p.(None):  When the research procedure is long and complex, the researcher should take extra precaution to make clear that the subject is free to ask 
p.(None):  questions at any time. 
p.(None):   
p.(None):  Informed consent as a conversation needs to be available throughout the research, as subjects may develop questions or concerns when they are well 
p.(None):  into the research experience. For example, a discussion of confidentiality may not be really understood until they are asked very personal questions in the 
p.(None):  research experience. Subjects should feel free to raise questions at any point in the research. The elements of informed consent include: 
p.(None):   
p.(None):  A statement that the study involves research and an explanation of its purpose. 
p.(None):   
p.(None):  A description of any reasonably foreseeable risks to the subject. 
p.(None):   
p.(None):  A description of any benefits to the subject. 
p.(None):   
p.(None):  A disclosure of appropriate alternative procedures of courses of treatment. 
p.(None):   
p.(None):  A statement describing the extent to which confidentiality of identifying records will be maintained. 
p.(None):   
p.(None):  An explanation as to compensation or treatment available if injury occurs, when the research involves more than minimal risk. 
p.(None):   
p.(None):  An explanation of whom to contact for answers to pertinent questions about the research and subjects rights. 
p.(None):   
p.(None):  A statement that participation is voluntary and that the subject may withdraw their participation at any time for any reason. 
p.(None):   
p.(None):  Detailed recitation of irrelevant information demeans the communication and is slightly insulting. People are capable of deciding whether to participate in 
p.(None):  surveys and ethnographic research. Assurances that there are no risks and descriptions of measures taken to assure confidentiality can be irrelevant, 
p.(None):  irritating, misleading, and may not decrease the risk of harm. 
p.(None):   
p.(None):  When subjects are peers or superiors of the researcher, extremely detailed verbal informed consent is often unnecessary, and written consent may 
p.(None):  not be appropriate, unless the research is concerned with sensitive personal information. 
p.(None):   
p.(None):  Normal interaction among peers or with persons of higher status than the researcher is not respected by "reading subjects their rights" or by formal or 
p.(None):  written consent procedures. Common sense, courtesy and standard social norms should dictate what is communicated when asking such persons to 
p.(None):  participate in research. 
p.(None):   
p.(None):  The cultural norms and life-styles of subjects should be considered in deciding how to approach informed consent. Issues such as whether to 
...
p.(None):  persons who proffer documents or require signatures, or from non-industrialized cultures should be approached in the style that is most comfortable to 
p.(None):  them. Protocols for research on such populations should show evidence that the researcher is informed about the culture of the intended research 
p.(None):  population and has arranged the informed consent and other research procedures accordingly. 
p.(None):   
p.(None):  IRBs should be flexible in considering a wide range of media as possibly appropriate for administering informed consent given varying degrees of 
p.(None):  risk. Video tapes, brochures, group discussions, web sites, and so on can be more appropriate ways of communicating with potential subjects than 
p.(None):  the kinds of legalistic formal consent forms that have often been used. 
p.(None):   
p.(None):  The emphasis should be on effective communication with appropriate opportunity for exploration, asking questions, achieving clarity and understanding, 
p.(None):  reflecting and making reasoned decisions. (§ 116, §117) 
p.(None):   
p.(None):  The IRB may approve a consent form that does not include, or alters some or all elements of informed consent, or waive the requirement to obtain 
p.(None):  informed consent. 
p.(None):   
p.(None):  There are different circumstances, which might be reasonable for the IRB to consider. For example, if the research involves no more than minimal risk the 
p.(None):  IRB may waive requirements to obtain informed consent. 
p.(None):   
p.(None):  An IRB may waive the requirement for the researcher to obtain a signed consent form for all subjects. 
p.(None):   
p.(None):  When documentation by written consent forms is required (§ 117 (a)) then the regulations discuss two forms: a long and a summary, short form (§ 117 (b) 
p.(None):  (1) & (2)) 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  When a Signed Consent Form can Harm a Participant (Vignette) 
p.(None):   
p.(None):  A social scientist proposed a study in which subjects would be asked to discuss privately with their romantic partner a past disagreement. Because the 
p.(None):  questions are embarrassing, the researcher proposed that complete anonymity, including to the researcher, be preserved. This was aimed to encourage 
p.(None):  participation and protect the subjects. The IRB instead required the collection of signed informed consent forms, thereby eliminating the anonymity. 
p.(None):   
p.(None):  The lessons: 
p.(None):   
p.(None):  The risk in this project is the harm resulting from a breach of confidentiality. The regulations allow the IRB to waive documentation of informed 
p.(None):  consent ((§ 116 (d)), and ethical considerations mandate that they do so, in order to reduce the risk to the subjects. Here a misreading of the rules 
p.(None):  actually increased the risk to subjects. 
...
p.(None):  and can be used for the review of research to be conducted in that country. Alternatively, a foreign IRB or ethics board in the country where the research is 
p.(None):  to be conducted can review the research. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Compensation and Disguising Cessation of Participation (Vignette) 
p.(None):   
p.(None):  An investigator submitted a proposal to the Maven University IRB for an anonymous paper-and-pencil study of attitudes toward a hypothetical case of 
p.(None):  incest. Due to the sensitive nature of the topic, the IRB wished to ensure that subjects could discontinue their participation at any time. The survey was to 
p.(None):  be administered simultaneously to numerous subjects in a group setting. The IRB felt that individuals who began the survey, but then changed their 
p.(None):  minds, would experience undue pressure to continue participating, since leaving early would call attention to the individual's withdrawal from the study. 
p.(None):  The IRB therefore instructed the investigator to attach a paper-and-pencil puzzle to the survey packet, along with instructions indicating that, if subjects 
p.(None):  wished to discontinue their participation at any time, they could work on the puzzle if they so chose. 
p.(None):   
p.(None):  This created a dilemma for the researchers: they felt no obligation to pay compensation to subjects who choose not to participate. Such payments would 
p.(None):  be costly in research funds, and raise the problem that subjects might chose to participate solely to be compensated for doing puzzles. On the other hand, 
p.(None):  inspecting the survey forms to pay compensation to only those who completed the survey would defeat the goal of disguising withdrawal. 
p.(None):   
p.(None):  The researchers argued that there was no harm to subjects who choose not to participate and left the location early, and no need to provide an alternative 
p.(None):  activity. The notion that there would be undue pressure to continue participating invented a risk where none existed. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  Deception 
p.(None):   
p.(None):  Deception in research involves lying to or intentionally misleading subjects. Withholding information may or may not be deception. For example, telling 
p.(None):  subjects that an urn contains an unspecified number of red and blue balls, and inviting them to participate in an experiment by guessing the number, would 
p.(None):  not involve deception because the subjects "know what they don't know". Concealing the fact that there is a hidden camera would be deceptive. The 
p.(None):  distinction is whether subjects have the information to make an informed choice about whether to participate in the research. Secretly filming their 
p.(None):  behavior denies them the opportunity to consider whether or not they want to be filmed for research. Not telling them how many balls are in the urn is part 
p.(None):  of the accepted framework for a participant to guess the number. 
p.(None):   
p.(None):  It may be important in some research to withhold the specific theoretical purpose of the research from subjects, in order not to bias their opinions. If done 
p.(None):  in a neutral way, it would not be deceptive. If subjects are intentionally led to believe that the research is for a purpose different than the actual purpose, 
p.(None):  this would be deceptive. 
p.(None):   
p.(None):  Deception potentially poses ethical problems and should be dealt with by weighing the benefits of the research against the harm (if any) from the 
p.(None):  deception. Aside from any potential harm to participants, deception can also harm the institution by building the perception among potential subjects that 
...
p.(None):  discusses situations where the only record linking the subject and the research would be the consent document, and the principal risk would be potential 
p.(None):  harm resulting from a breach of confidentiality. 
p.(None):   
p.(None):  § 117 (c) (2) deals with waiving written documentation of informed consent in situations where "the research presents no more than minimal risk of harm 
p.(None):  to subjects and involves no procedures for which written consent is normally required outside of the research context." This covers a large portion of 
p.(None):  ethnographic research on non-sensitive topics. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  How should IRBs proceed in reviewing ethnographic research? 
p.(None):   
p.(None):  As with any project, the IRB administrator should assess the research to determine if there is any risk of harm to participants (beyond that which might be 
p.(None):  experienced in daily life), to determine whether the research is exempt or qualifies for expedited or full review. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):  What is "group consent" and how is it relevant to informed consent? 
p.(None):   
p.(None):  The concept of informed consent derives moral force as a mark of respect for persons. The request for informed consent envisions each human being as 
p.(None):  autonomous and capable of making informed judgments about appropriate personal activities. 
p.(None):   
p.(None):  Many traditional societies rely on an elder or group of leaders to express decisions with respect to the group. An individual community member who acted 
p.(None):  independently, without the knowledge and consent of the group, might be seen as suspicious, perhaps acting counter to the best interests of everyone. 
p.(None):  The appropriate way for a foreigner to get permission to do research in a setting like this would be to present the project in an open meeting, allowing 
p.(None):  questions to be raised and answered publicly. After formal group approval, any individual member of society would be free to cooperate or not with the 
p.(None):  research project. 
p.(None):   
p.(None):  In all societies, when research is planned in sharply defined communities, consultation with community representatives may be necessary in order to 
p.(None):  avoid negative gossip and refusals to participate. Such community consultation and public relations is part of a good research design and not a substitute 
p.(None):  for individual informed consent. 
p.(None):   
p.(None):  Back to the Top 
p.(None):   
p.(None):   
p.(None):   
p.(None):   
p.(None):  Feedback  
p.(None):   
p.(None):   
p.(None):   
p.(None):   
p.(None):  See all NSF social media  
p.(None):  Website Policies                                                              Budget and Performance 
p.(None):   
p.(None):  Inspector General                                                             Privacy 
p.(None):   
p.(None):  FOIA                                                                          No FEAR Act 
p.(None):   
p.(None):  USA.gov                                                                       Accessibility 
...
Appendix
Indicator List
| Indicator | Vulnerability | 
|---|
| 45XcfrX46 | common rule | 
| HIV | HIV/AIDS | 
| abuse | Victim of Abuse | 
| access | Access to Social Goods | 
| authority | Relationship to Authority | 
| autonomy | Impaired Autonomy | 
| belief | Religion | 
| belmont | belmont | 
| child | Child | 
| children | Child | 
| cognitive | Cognitive Impairment | 
| common rule | common rule | 
| criminal | criminal | 
| diminished | Diminished Autonomy | 
| disabled | Mentally Disabled | 
| drug | Drug Usage | 
| education | education | 
| educational | education | 
| family | Motherhood/Family | 
| fetuses | Fetus/Neonate | 
| illegal | Illegal Activity | 
| illiterate | Literacy | 
| institutionalized | Institutionalized | 
| job | Occupation | 
| language | Linguistic Proficiency | 
| literate | Literacy | 
| manipulated | Manipulable | 
| mentally | Mentally Disabled | 
| minor | Youth/Minors | 
| neonates | Fetus/Neonate | 
| officer | Police Officer | 
| opinion | philosophical differences/differences of opinion | 
| parents | parents | 
| partisan | political affiliation | 
| political | political affiliation | 
| poor | Economic/Poverty | 
| pregnant | Pregnant | 
| prisoners | Criminal Convictions | 
| restricted | Incarcerated | 
| stigma | Threat of Stigma | 
| stigmatized | Threat of Stigma | 
| student | Student | 
| threat | Threat of Stigma | 
| undue influence | Undue Influence | 
| violence | Threat of Violence | 
| volunteers | Healthy People | 
| vulnerable | vulnerable | 
| women | Women | 
Indicator Peers (Indicators in Same Vulnerability)
| Indicator | Peers | 
|---|
| 45XcfrX46 | ['commonXrule'] | 
| child | ['children'] | 
| children | ['child'] | 
| common rule | ['45XcfrX46'] | 
| disabled | ['mentally'] | 
| education | ['educational'] | 
| educational | ['education'] | 
| fetuses | ['neonates'] | 
| illiterate | ['literate'] | 
| literate | ['illiterate'] | 
| mentally | ['disabled'] | 
| neonates | ['fetuses'] | 
| partisan | ['political'] | 
| political | ['partisan'] | 
| stigma | ['threat', 'stigmatized'] | 
| stigmatized | ['stigma', 'threat'] | 
| threat | ['stigma', 'stigmatized'] | 
Trigger Words
coercion
consent
cultural
ethics
exploit
harm
justice
protect
protection
risk
sensitive
volunteer
welfare
Applicable Type / Vulnerability / Indicator Overlay for this Input