New Disclosure Rules for Continuing Education

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ACCME updated its Standards for Integrity and Independence in Accredited Continuing Education in December 2020, leading to changes in ACLP's disclosure reporting rules. Key changes include reporting only financial relationships with "ineligible companies," extending the reporting period to 24 months, and sharing speaker relationships with attendees. Disclosure of financial relationships is now required, with specific criteria for reporting. Non-disclosure of spouse/partner relationships and emphasis on attendee awareness of all speaker CoI statuses are also important updates.


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  1. This is an information slide; delete it after you have finalized your disclosure statement YOUR DISCLOSURE STATEMENT ACCME updated its Standards for Integrity and Independence in Accredited Continuing Education in December 2020. Accordingly, ACLP's disclosure reporting rules have changed to comply. In very basic terms, the primary changes you need to know are: You are now required to only disclosure financial relationships with "ineligible companies" (as defined by ACCME, below) and no other. If you must report, you must disclose all financial relationships of any amount; there is no minimum. You are no longer required to disclose reporting of any kind for your spouse/partner. The reporting period now covers the 24-month period prior to you completing your declaration. ACLP is required to "mitigate" speaker relationships with ineligible companies and share this with attendees. ACLP must also disclose no-conflict reporting to attendees; that is, attendees must be informed of and have access to information on the CoI status of ALL speakers, not just those that have declared interests.

  2. This is an information slide; delete it after you have finalized your disclosure statement WHAT IS AN INELIGIBLE COMPANY? As defined by ACCME: Advertising, marketing, or communication firms whose clients are ineligible companies Bio-medical startups that have begun a governmental regulatory approval process Compounding pharmacies that manufacture proprietary compounds Device manufacturers or distributors Diagnostic labs that sell proprietary products Growers, distributors, manufacturers or sellers of medical foods and dietary supplements Manufacturers of health-related wearable products Pharmaceutical companies or distributors Pharmacy benefit managers Reagent manufacturers or sellers If you have a financial relationship of any kind and of any amount in respect of any of the above, you must provide three data points: 1. 2. 3. The name of the company in this relationship The nature of the company's business The nature of the financial relationship. Examples of financial relationships include employee, researcher, consultant, advisor, speaker, independent contractor (including contracted research), royalties or patent beneficiary, executive role, and ownership interest. Individual stocks and stock options should be disclosed; diversified mutual funds do not need to be disclosed. Research funding from ineligible companies should be disclosed by the principal or named investigator even if that individual's institution receives the research grant and manages the funds. You are not obliged to disclose the amount of compensation involved in your financial relationships. Example reporting: ABC Company, Inc; device manufacturer; patent beneficiary.

  3. This is an information slide; delete it after you have finalized your disclosure statement You are encouraged, but not required to use the Academy s official design template. Select ONE of the next two slides for your presentation. Delete the red-lined boxes once you have decided which slide to use. Disclosure of commercial support must never include the use of a trade name or a product-group message. Acknowledgment of commercial support may state the name, mission, and areas of clinical involvement but may not include corporate logos and slogans. ACLP will contact you to resolve any potential conflict of interest prior to the start of your presentation. Example reporting: ABC Company Inc; device manufacturer; patent beneficiary. Nature of your financial relationship Entity name Nature of business This is the extent of required disclosure

  4. Use this slide template if there is nothing to disclose CLP 2023 Disclosure: FName LName, MD With respect to the following presentation, in the 24 months prior to this declaration there has been no financial relationship of any kind between the party listed above and any ACCME-defined ineligible company which could be considered a conflict of interest.

  5. Use this slide template when financial disclosure is necessary CLP 2023 Disclosure: FName LName, MD In the 24-months prior to this presentation, I declare the following ineligible company financial relationships: 123 Corporation; pharmaceutical company; speaker honorarium Made-up Inc; diagnostic lab; stock-holder XYZ Press; marketing firm for AAAA, a dietary supplements manufacturer; consultant Fake Name LLC; reagent manufacturer/seller; research funding My presentation involves a study titled, Investigation into Diagnosis of Delirium and Encephalopathy Coding Trends, that was part funded by Psychiatrists for Changing the Coding LLC.

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