What’s the JIT of Other Support?

Who has the responsibility for verifying and ensuring “other support disclosures” in applications to the sponsor is accurate?  If you answered-the institution applying for and receiving the funds, you are correct. 

“Other support” is not to be confused with the “research support” section within the bio-sketch.  Refer to this link https://grants.nih.gov/grants/forms/othersupport.htm for guidance as to what info the PI is required to provide in an Other Support as well as samples.  Administrators should work in tandem with the PI to ensure all of the active and pending funding sources are accurately referenced as Sponsors use the “Other Support” to make sure there is no budgetary, scientific or commitment overlap.  Note there can be serious ramifications for inaccurately reporting other support information, especially when the sponsor is federal, since it involves the use of U.S. taxpayer funds.   The severity and length of time for noncompliance determines the type of sanctions received, such as termination of the award.  The link for the NIH Extramural Nexus has been included for further reading on the subject (https://nexus.od.nih.gov/all/2019/07/11/clarifying-long-standing-nih-policies-on-disclosing-other-support/)

Cleared Export Control… Leaving on a Jet Plane

Your principal investigator has answered yes on the export control compliance section in Cayuse.  Did you remember to add Export Control to the Approving Units page?  This is an important section that will protect the university and the researcher from severe criminal and or civil penalties, because of unintentional noncompliance to federal regulations.  Export Control is not a topic that is widely discussed or thought about when a principal investigator begins writing a proposal and the administrator starts assembling the application package.

The word “export” will cause many to believe you’re talking about sending items outside the United States, but this is not the case and it may also include consulting, training, and speaking at conferences.  The code of federal regulations under the Export Administration Regulations (EAR) defines export as, “an actual shipment or transmission of items out of the United States”, which also includes releasing or transferring.  Most don’t consider that something can be exported via auditory, visual, verbal or electronic means.  This is the reason that our Export Control office exists in order to prevent the innocent violation of any federal regulations.  If you want to learn more about export compliance click on the link https://research.wayne.edu/integrity/export-control and take note there is an CITI Export Control Module offered by WSU.