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Material Transfer Agreements (and a little about Data Sharing Agreements)

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Material Transfer Agreements (and a little about Data Sharing Agreements) Some Basics USC Stevens Center for Innovation Judy Genovese, Sr. Transactions Officer – PowerPoint PPT presentation

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Title: Material Transfer Agreements (and a little about Data Sharing Agreements)


1
Material Transfer Agreements(and a little about
Data Sharing Agreements)
  • Some Basics
  • USC Stevens Center for Innovation
  • Judy Genovese, Sr. Transactions Officer
  • Sue Kim, Transactions Assistant

2
Agenda
  • What is an MTA?
  • Why is an MTA important?
  • Who are the Parties?
  • Some critical terms in an MTA
  • What is being transferred?
  • USCs process
  • Our Forms
  • Data Use Agreements
  • Questions

3
What is an MTA?
  • A Material Transfer Agreement (MTA) is a contract
    between the USC and a third party.
  • An MTA outlines the rights and responsibilities
    of the parties that arise due to the transfer and
    use of the materials.
  • Provider
    Recipient

4
What is an MTA? Contd
  • An MTA is used for the transfer of material that
    will be used for basic research purposes only
    normally no clinical uses are permitted
  • An MTA should not have a transfer of funds.

5
Why is the MTA important?
  • The MTA can affect ownership of the PIs research
    results and his/her ability to publish
  • MTAs can protect proprietary material.
  • Informs Recipient when Material being transferred
    may be infectious or hazardous.
  • Can resolves issues liability, academic credit,
    loss of control of the material, disagreements.

6
Why is the MTA important? Contd
  • Without an MTA, the recipient of the material has
    free rein over use and further distribution of
    the materials. The provider is giving away the
    materials if an MTA is not in place.
  • For transfer of human samples, an MTA is required
    to ensure compliance with law.

7
Who are the Parties?
  • University of Southern California
  • University policy dictates that research
    agreements must be signed by an authorized
    university representative
  • Researchers/faculty are not parties
  • Third Party-
  • Industry
  • Government or other Non-profit
  • Academic
  • Two USC Faculty

8
Types
  • University to University
  • Uniform Biological Material Transfer Agreement
    (UBMTA) can be used.
  • University to Industry
  • Industry to University
  • Non-Profit/Government to University
  • University to Non-Profit/Government
  • Intra-University

9
Some Critical Terms in MTAs
  • Definitions
  • Scope of research work
  • Research purposes only (non-commercial)
  • No in-vivo testing
  • Compliance with Federal rules and regulations
  • Confidentiality
  • Re-distribution of material
  • Disclaimers warranties

10
Some Critical Terms contd
  • No grant of license
  • Acknowledgment in publications, possible
    co-authorship
  • Ownership of Results
  • Results
  • Encompasses a fairly broad range of items
  • IP, discoveries, public disclosures, data

11
What is being transferred?
  • Biological materials
  • E.g. cell lines, mice, tissue samples, DNA, etc.
  • Note Generally, Material includes Progeny and
    Unmodified Derivatives, but does not include
    Modifications
  • Chemical materials
  • E.g. Salts, analogs, formulations, compounds,
    etc.
  • Prototypes
  • ???Software???

12
Inbound vs. Outbound
  • Inbound Material
  • Outbound Material
  • A USC PI is receiving material from another
    party.
  • Other party provides their MTA template for our
    review.
  • Our PI is restricted to the terms of the MTA in
    order to protect other partys interests.
  • PI must have applicable approvals in place before
    using material (IRB, IBC, IACUC)
  • A USC PI is providing material to another party.
  • We provide our MTA template for the other partys
    review.
  • We want to protect potentially proprietary and
    valuable IP.
  • We want to protect university and PI interests.
  • We must be sure we have the right to provide the
    material.
  • PI must have applicable approvals in place before
    sending material (IRB, IBC, IACUC, shipping
    training)

13
Example (inbound material)
  • Dr. Cardinal, A USC Principal Investigator (PI),
    is studying effects of alcohol on the liver.
  • He reads in a publication that Dr. Blue, his
    colleague at UCLA has created a unique mouse
    strain that could aid in his research.

14
Example, contd
  • Dr. Cardinal emails Dr. Blue and asks for a
    breeding pair of these new unique mice.
  • Dr. Blue, wanting to protect his new invention,
    responds, Why certainly! Please sign this MTA
    first.

15
Example, contd
  • Dr. Cardinal, knowing the drill on MTAs, forwards
    the agreement to us at USC Stevens Center for
    Innovation so we can review and sign the MTA on
    behalf of the USC.
  • We will notify the PI if there are non-standard
    terms in the MTA.

16
USCs Process
  • The completed MTA form and any questions can be
    sent to mta_at_stevens.usc.edu

17
Data Sharing Agreements
  • A Data Sharing Agreement (DA) handled by USC
    Stevens Center is a contract covering the
    transfer of non-public or restricted data to or
    from a nonprofit, government or private industry
    for research use.
  • Data Agreements often have other names,
    including Data Use Agreements, Letters or
    Memoranda of Understanding, Data Consortium
    Agreements, etc.

18
Data Sharing Agreements
  • For researchers at USC the same process is
    followed for DAs as MTAs
  • Exception when information subject to HIPAA or
    privacy laws is involved.
  • Review by USCs Office of Compliance in addition
    to the other MTA steps.
  • USC Stevens handles obtaining Compliance review

19
Data Sharing Agreements
  • Identifiable Health Information
    questions/categories are listed in the MTA Intake
    forms (See Appendix, 24 on incoming form and 19
    on outgoing form)
  • USC Stevens Center is working with compliance to
    expand the list to be sure it includes all
    Identifiable Health Information and non-health
    privacy related information
  • NOTE Identifiable Health Information can
    sometimes be provided (intentionally or not) with
    material transferred under an MTA. Care and
    attention should be used to identify and deal
    with any such information as in any other
    circumstance.

20
The Limited Data Set from the HIPAA Privacy
Rule
  • Not to be confused with Data Agreements as
    negotiated by USC Stevens Center /Compliance
    Office
  • Covered entities may use or disclose health
    information that is de-identified without
    restriction under the Privacy Rule. Covered
    entities seeking to release this health
    information must determine that the information
    has been de-identified using either statistical
    verification of de-identification or by removing
    certain pieces of information from each record as
    specified in the Rule.

21
The Limited Data Set from the HIPAA Privacy
Rule
  • A covered entity may de-identify data by removing
    all 18 elements that could be used to identify
    the individual or the individual's relatives,
    employers, or household members these elements
    are enumerated in the Privacy Rule.
  • The covered entity also must have no actual
    knowledge that the remaining information could be
    used alone or in combination with other
    information to identify the individual who is the
    subject of the information.

22
The Limited Data Set from the HIPAA Privacy
Rule
  • Under the de-identification method, the
    identifiers that must be removed are the
    following
  • Names.
  • All geographic subdivisions smaller than a state,
    including street address, city, county, precinct,
    ZIP Code, and their equivalent geographical
    codes, except for the initial three digits of a
    ZIP Code if, according to the current publicly
    available data from the Bureau of the Census
  • The geographic unit formed by combining all ZIP
    Codes with the same three initial digits contains
    more than 20,000 people.
  • The initial three digits of a ZIP Code for all
    such geographic units containing 20,000 or fewer
    people are changed to 000.
  • All elements of dates (except year) for dates
    directly related to an individual, including
    birth date, admission date, discharge date, date
    of death and all ages over 89 and all elements
    of dates (including year) indicative of such age,
    except that such ages and elements may be
    aggregated into a single category of age 90 or
    older.

23
The Limited Data Set from the HIPAA Privacy
Rule
  • Telephone numbers.
  • Facsimile numbers.
  • Electronic mail addresses.
  • Social security numbers.
  • Medical record numbers.
  • Health plan beneficiary numbers.
  • Account numbers.
  • Certificate/license numbers.
  • Vehicle identifiers and serial numbers, including
    license plate numbers.
  • Device identifiers and serial numbers.
  • Web universal resource locators (URLs).

24
The Limited Data Set from the HIPAA Privacy
Rule
  • Internet protocol (IP) address numbers.
  • Biometric identifiers, including fingerprints and
    voiceprints.
  • Full-face photographic images and any comparable
    images.
  • Any other unique identifying number,
    characteristic, or code, unless otherwise
    permitted by the Privacy Rule for
    re-identification.

25
(No Transcript)
26
Questions?
  • Judy Genovese
  • jgenoves_at_stevens.usc.edu
  • Sue Kim
  • suekkim_at_stevens.usc.edu
  • MTA email address
  • mta_at_stevens.usc.edu
  • MTA website
  • http//stevens.usc.edu/mta.php

27
Appendix
28
Appendix contd
29
Appendix contd
  • UBMTA
  • http//www.autm.net/AM/Template.cfm?SectionTechno
    logy_Transfer_ResourcesTemplate/CM/ContentDispla
    y.cfmContentID2810
  • UBMTA Signatories
  • http//www.autm.net/AM/Template.cfm?SectionTechno
    logy_Transfer_ResourcesTemplate/CM/ContentDispla
    y.cfmContentID8374
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