FOUNDED IN 1859 BY QUEEN EMMA AND KING KAMEHAMEHA IV

Office of Research and Development

Office of Research and Development
The Queen’s Medical Center
1301 Punchbowl Street, UHT 508
Honolulu, Hawaii 96813

IRB Fees

Fees charged by Queen's IRB review of Protocols submitted solely to The Queen's Medical Center's IRB

Please note that in addition to IRB fees, your study will also occur business related fees. All fees are subject to change.

IRB Review Type Industries or Grant Funded
Initial - Full Board
$2,300
Initial - Expedited
$1,400
Annual Review - Full Board
$1,800
Annual Review - Expedited
$400
Modified w ICF Change - Full Board
$1,800
Modified w ICF Change - Expedited
$400
Modified w/o ICF Change - Full Board
$1,700
Modified w/o ICF Change - Expedited
$300
Study Closure
$300
Sponsor / FDA Audit
$300
Other Regulatory Service Fee
$500

Fees charged for Queen's IRB Administrative Review of Protocol reviewed by an external IRB

IRB Review Type Industries or Grant Funded
Initial Review by Queen's of IRB Submitted Protocols
$1,400
Annual Review - Externally Reviewed Protocols
$400
Amendment/Modified - Administrative Review
$400
Study Closure - Administrative Review
$300
Other Regulatory Service Fee
$500
Contact Information

For questions, please contact:

Rebecca Ohta
Manager
Research Regulatory Office
Phone: 808.691.4512
E-mail: rohta@queens.org

Investigator, Student or Research Resident study with no funding

Please contact the office. Rates are evaluated on a case by case basis.

Uniform Guidance

RE: DECLARATION OF PROCUREMENT STANDARDS

The Queen’s Medical Center (QMC) hereby elects to utilize the grace period established in the Office of Management & Budget Uniform Administrative Requirements, Cost Principles, and Audit Requirements for Federal Awards; final Rule – 2 CFR Chapter I, Chapter II, Part 200, et al. also known as the Uniform Guidance (UG) for July 1, 2015 (FY 16) and continue use of Circular A-110.

Excerpt from § 200.110 (a): “For the procurement standards in §§ 200.317 – 200.326, non-Federal entities may continue to comply with the procurement standards in previous OMB guidance (superseded by this part as described in § 200.104) for two additional fiscal years after this part goes into effect. If a non-Federal entity chooses to use the previous procurement standards for two additional fiscal years before adopting the procurement standards in this part, the non-Federal entity must document this decision in their internal procurement policies.”

In the meantime, QMC shall modify and develop procurement procedures to become consistent with the Uniform Guidance. QMC shall be in compliance with the UG effective July 1, 2018 (FY 19).