WHAT ACTIVITIES ARE SPECIFICALLY REQUIRED TO HAVE AN IACUC-APPROVED PROTOCOL?

IACUC (Institutional Animal Care and Use Committee) approved protocols are required if the animals to be used are:

  1. Regulated species and used in research, teaching, or testing in registered research facilities as defined by the AWAR (Animal Welfare Act Regulations).
  2. Used in research, research training, and biological and testing activities conducted or supported by any PHS Agency (PHS Policy 11).

An IACUC-approved protocol is also needed when projects supported by other public or private agencies have a requirement for IACUC approval. Alternately, the institution may require IACUC approval of all animal protocols. The terms "biomedical, behavioral, research, teaching, and testing" are not defined in the regulations. For example, a breeding colony of vertebrate animals (mice) may not be part of any biomedical research, teaching, or testing project and, therefore, not required by any of the above regulations to have an IACUC approval. Yet, the institution may require an IACUC review of this animal project.

WHAT ROLE DOES AN INSTITUTION'S ADMINISTRATION HAVE IN THE OVERALL CONCEPT OF ANIMAL MISTREATMENT OR PROTOCOL NONCOMPLIANCE?

Under the PHS (U.S. Public Health Service) Policy, the IO (Institutional Officer) by signing an Animal Welfare Assurance with NIH/OPRR (Office for Protection from Research Risks) of the NIH (National Institutes of Health), commits the institution to compliance with the PHS Policy. Noncompliance (such as animal mistreatment or protocol noncompliance) is ultimately the responsibility of the IO who represents the institution's administration (PHS Policy III, G; IV,A).

The IACUC is a regulatory committee that is an agent of the institution (PHS Policy IV,B; AWAR [Animal Welfare Act Regulations] 2.3l,c). The institution must make it known that the IACUC not only helps to assure animal welfare, but it is an indispensable link in helping protect the researcher against unwarranted accusations and assuring the integrity of the institution. Because regulatory committee are often disparaged by investigators, it must be understood that and IACUC cannot property function without general institutional ethical and administrative support. The institutional by actions and words, must stand behind the IACUC. The IO can be a powerful ally and should have a clear understanding of his or her responsibilities and authority under the AWAR and PHS Policy, and communicate this support to the IACUC and investigators.

(per October 2000 Training Handout)

NMSU Policies on Animal Use

 

Contact Information 
 Environmental Health& Safety: MSC-3578, P.O. Box 30001, Academic Research Bldg. C, Rm. 109
    Street delivery address: NMSU, 1620 Standley Dr., Academic Research Bldg. C, Las Cruces, NM 88003
    Training Office: Academic Research Unit C, rm110 (see map ), 
    Telephone: 575-646-3327; FAX: 575-646-7898. Website - http://www.nmsu.edu/safety
    Send email to David Shearer, EH&S (click here) with questions or comments about this web site. 
    This page was last updated on 08/22/2008