Institutions and individuals may work together cooperatively on a research project involving human subjects. Often under these cooperative arrangements, multiple institutions and individuals may be engaged in the research. It may be advantageous, or required, to obtain IRB review from only one IRB for some or all of the engaged institutions or individuals rather than seeking IRB review from all engaged parties. This arrangement is referred to by HSD as single IRB (sIRB) review.
2018 Common Rule requirement. Effective January 20, 2020, all of the domestic institutions that are engaged in a federally-supported, non-exempt, cooperative research project must rely upon approval by a single IRB. Health and Human Services (HHS) supported research does not have to comply with the requirement if at least one IRB has approved the research before January 20, 2020.
NIH multi-site policy. For most NIH grant applications submitted on or after January 25, 2018, NIH requires the use of a single IRB for all domestic sites participating in multi-site non-exempt human subjects research.
Other research. For research not subject to the 2018 Common Rule, the NIH policy, or another sponsor鈥檚 requirement to use a single IRB, it may be advantageous to the research to obtain IRB review from the same IRB for some or all of the engaged institutions or individuals rather than seeking IRB review from multiple IRBs.
Except under the terms of existing reliance agreements and in unique circumstances approved by HSD management, the UW IRB is not able to serve as the single IRB when:
These criteria are intended as a reference for researchers who are planning multi-institutional research and should be considered as general guidelines, not rules. Researchers are encouraged to consult with HSD at hsdrely@uw.edu to confirm any single IRB plans when preparing funding applications. HSD cannot guarantee UW IRB review for any multi-institutional research for which it has not been consulted. HSD will assess each multi-institutional study and work with the PI to determine the appropriate single IRB arrangement. The unique aspects of a study as well as the following factors may impact HSD’s decision:
| When is UW able to serve as the single IRB? | |
|---|---|
| UW is the prime (direct) awardee. Other institutions are receiving subawards from UW. and/or UW is the formally designated regulatory Coordinating Center. |
Almost always.
Exceptions:
If UW cannot serve as the single IRB, HSD will work with the PI to identify and pursue other options. |
| UW is one of multiple prime (direct) awardees with no clear lead or coordinating institution. (For example, NIH Multiple PI designation, NSF Co-PI designation) | Case-by-case basis.
Dependent on:
|
| Prime awardee is another institution without an IRB. UW is receiving funding via a subaward (e.g., SBIR, STTR) | Case-by-case basis. In many cases, HSD may consider the prime awardee responsible for contracting with an appropriate independent IRB.
Dependent on:
|
| Prime awardee is another institution with an IRB. UW is receiving funding via a subaward. | Almost never. HSD considers the prime awardee responsible for providing IRB review in most cases.
Exceptions:
|
| Other funding situations | Case-by-case basis. Dependent on:
|
Institutions with a Federalwide Assurance (FWA) that are located within the U.S. are eligible for reliance on the UW IRB. Due to the complexity of international regulations regarding human subjects research, the UW IRB does not review on behalf of institutions outside of the U.S.
Institutions must be engaged in the research. HSD will not generally allow reliance on the UW IRB when the non-UW institution cannot demonstrate that their activities constitute engagement in the research, or when IRB review is required by that institution solely in order to meet its unique institutional policies.
The UW IRB can review on behalf of these individuals when the activities of the institutions or individuals will be directly supervised by the UW PI (meaning that there is no other local PI at the other institution who will supervise the activities). In these cases, UW will extend its FWA to cover the activities of the individuals.
Federal regulations require that an institution or individual鈥檚 reliance on an IRB not operated by their own institution be documented along with the responsibilities that each entity will undertake to ensure compliance with the regulations. This is accomplished through reliance agreements.
When a non-UW institution or individual will rely on the UW IRB for research not subject to federal regulations, UW will execute a reliance agreement. Although a formal, written agreement is not required in these situations, HSD considers it best practice for documenting roles and responsibilities related to IRB review.
Reliance agreement options. To support flexibility and tailor the terms of reliance agreements to the circumstances of individual studies, UW makes use of and accepts a variety of reliance agreement templates and structures. These include UW鈥檚 own reliance agreement templates, the SMART IRB Master Reliance Agreement, standing agreements with regional institutions, and the agreement templates of other institutions.
Who makes the decision. HSD is the only office authorized to execute reliance agreements on behalf of UW.
Documenting the reliance decision and arrangement. All decisions about reliances are recorded in the associated study workspace in the聽Zipline system.
For new initial applications submitted on or after July 1st, 2026, HSD charges fees when the UW IRB reviews on behalf of non-UW organizations for non-exempt research. HSD will聽苍辞迟听charge a fee for the review of the overall study protocol and the involvement of UW in the research, including modifications, continuing review, and reports of new information for the overall study protocol.
In line with the expectations of federal funding agencies, HSD will charge the same fee regardless of funding (e.g., federal, industry, foundation).
Exceptions
Rationale
UW鈥檚 negotiated indirect rates and other sources of funding do not cover the additional UW IRB review effort for non-UW relying sites. In acknowledgement of this, funding agencies, such as NIH, typically allow these costs to be charged as direct costs to an award. Many peer institutions already charge for single IRB review services. HSD is now implementing a similar fee and fee structure.
The fees
For the review of each non-UW relying institution, HSD鈥檚 fees beginning July 1, 2026 are:
| Fee type | Amount | Services included |
|---|---|---|
| Initial Review Charged at the time the non-UW site is first reviewed by HSD |
$1902.40 |
|
| Annual Maintenance Charged at each yearly anniversary |
$748.05 |
|
The fee is evaluated annually with any increases applied at the start of each fiscal year (i.e., July 1st). HSD anticipates an approximately 3% increase each year to accommodate annual salary increases. Researchers should include this increase when budgeting for these fees.
Fee Estimates and Letter of Support Process
To assist with budget preparation prior to submission of proposals to sponsors, HSD will provide an estimate of fees as part of its聽letter of support process. HSD strongly suggests that research teams seek HSD鈥檚 letter of support early in the proposal preparation process.
When submitting an application for each multi-site study study, researchers must provide the Worktag they wish the fee to be charged to. This may be any Worktag the unit chooses. HSD may begin work on the application without a Worktag, however it will not initiate its process for review of the non-UW institutions until a Worktag has been provided.
After the initial non-UW sites have been reviewed, HSD will work with the Office of Research to charge the initial review fee to the Worktag in Workday. The Office of Research does not send paper or electronic invoices.
HSD will assess the study annually for how many sites are still active in Zipline and will charge the annual fee at that time.
It is important for UW researchers to plan for the additional staffing resources to successfully coordinate sIRB review. HSD’s Zipline application system is only accessible to individuals with UW NetIDs. Because of this, the UW study team will need to prepare and submit all materials on behalf of the non-UW institutions, as well as communicate information from the UW IRB to those institutions. This may require additional resources such as the Single IRB Liaison role.
The GUIDANCE Key Information about the UW as a Single IRB is a quick reference to essential information about the UW IRB. This document answers many questions that relying institutions typically have when considering relying on the UW IRB.
Find more information about the application process at Steps in the Single IRB Review Process for Initial Applications.
GLOSSARY Engagement
GUIDANCE Key Information About the UW as a Single IRB
WEBPAGE Identify the Correct IRB
WEBPAGE Industry Sponsored Research
WEBPAGE Responsibilities of the Lead Study Team
WEBPAGE Steps in the Single IRB Process for Initial Applications
Open the accordion below for version changes to this guidance.
| Version Number | Posted Date | Implementation Date | Change Notes |
|---|---|---|---|
| 2.4 | 05.29.2026 | 05.29.2026 | Added information about fees associated with UW as single IRB |
| 2.3 | 12.23.2024 | 12.23.2024 | Add reference to new Diversity in Clinical Trials policy |
| 2.2 | 12.05.2022 | 12.05.2022 | Minor revisions for readability |
| 2.1 | 08.25.2022 | 08.25.2022 | Revised “cooperative” to “reliance” |
| 2.0 | 06.30.2022 | 06.30.2022 | Relocate content from retiring SOP Internal Reliance Agreements |
| 1.1 | 08.26.2021 | 08.26.2021 | Added statement that UW will not serve as a single IRB when UW determines the study is exempt |
| 1.0 | 01.28.2020 | 01.28.2020 | Newly posted webpage |
Keywords: Internal reliance; Multi-site; Single IRB