General Information

The University often conducts research where there is a requirement to obtain participation and/or collect information/responses from human subjects. These human subjects may include any individual necessary for the research being conducted (i.e. external individuals, 网红头条 employees, students, retirees, nonresident aliens, etc.).

Researchers frequently find it necessary to offer remuneration in order to obtain sufficient participation. These incentives may be in the form of cash, gift cards, checks, non-monetary items or Visa Debit Cards and all are subject to Internal Revenue tax laws. The University is required by IRS regulations to submit 1099 forms for all participants paid $600 or more per calendar year and must also adhere to the uniform administrative requirements set forth in OMB Uniform Guidance.

The optional module titled 鈥淐onsent and Subject Recruitment Challenges: Remuneration鈥 offered within the Social/Behavioral Research Course - Basic Course CITI Training should be completed with a passing score prior to including human participant incentives as part of the IRB application.

  • Once an investigator decides to pay a subject for participation in research, a number of points need to be considered. First and foremost, subject payment raises ethical issues around voluntary participation and the individual's need to make informed choices about research that are based on the real risks and benefits of participation, not on financial incentives. Federal regulations and commentaries offer guidance about such remuneration, but set no strict limits, leaving the KSU Institutional Review Board to decide how much payment is too much or not enough based on what the 鈥減ayment鈥 is (e.g., money, gift cards, extra credit, etc.) and the nature of the task (simple survey, manipulation with deception, etc.) that the participant is asked to perform. Your application form submitted to the IRB should indicate and justify proposed levels and purposes of remuneration, which also should be clearly stated in the accompanying consent forms.

    The Food and Drug Administration cautions against payments that "...represent undue influence." The National Institutes of Health similarly warns IRBs about payments that cause "undue inducement." Following these general cautions and based on its own experience, the KSU IRB will provide the final determination about subject payment.

    When subjects are reimbursed for actual costs resulting from their participation in research that is generally not considered remuneration. Subjects' reimbursement for actual out-of-pocket expenses associated with research participation such as meals, parking, travel, and lodging is common and typically receipts are requested. It is sometimes difficult to determine whether the payment is a remuneration or reimbursement. Therefore, the consent form must clearly outline and define the process.

Compensation for Research Subjects

In order to meet the increasing needs of the research community, minimize the administrative burden and comply with federal reporting requirements, the following definitions and guidelines for choosing and processing a method of payment, as well as record keeping requirements are provided below.

  • Human Subject 鈥 defined as individuals who participate in research, and include but are not limited to individuals from the community or local schools; KSU employees, students, or retirees; and non-resident aliens.

    Human Subjects (Research Participant) Payment 鈥 Any form of direct or indirect inducement offered or received in exchange for enrolling individuals in human subjects research that is paid as reimbursement in excess of the reasonable cost of utilizing human subjects.

    Coercion 鈥 the use of real or perceived threats of harm to compel people to participate simply to avoid the harm.

    • Using the term coercion in relation to remuneration plans would imply the remuneration itself somehow represents a threat of real or perceived harm, which would compel a person to participate in the research as a means of avoiding the harm.
    • For example, an investigator might tell a prospective subject that he or she will lose access to needed health services if he or she does not participate in the research.

    Undue Influence 鈥 often occurs through an offer of an excessive or inappropriate reward or other overture in order to obtain compliance.

    • Offering money, goods, or services as an incentive for research participation may unduly influence and compromise a subject's ability to make choices regarding risk and benefit; but it would be rare to consider incentives as coercive.
    • For example, an investigator might promise psychology students extra credit if they participate in the research. If that is the only way a student can earn extra credit, then the investigator is unduly influencing potential subjects. If, however, she offers comparable non-research alternatives for earning extra credit, the possibility of undue influence is minimized.

    Remuneration 鈥 typically takes the familiar form of cash, checks, gift cards, or other cash equivalent payments directly to subjects in return for the subject's time and inconvenience to complete research activities.

    IRS 鈥 Internal Revenue Service

    IRB 鈥 Institutional Review Board

    OHRP 鈥 Office for Human Protections in Research

    OMB 鈥 Office of Management and Budget

    1099-MISC 鈥 Miscellaneous Income Tax Form

  • The researcher has the following payment options available for remuneration:

    1. Gift Card (purchased with cash; email requests to compliance@kennesaw.edu with supporting documentation)  
    2. Non-monetary items (T-shirts, books, etc.)

    Depending on the amount and method of payment, the following conditions and requirements apply on all options listed above:

    1. Participant receiving remuneration of $100 or less:

      No collection of the participant鈥檚 social security number is required unless the researcher anticipates that the participant will receive incentive payments, from all sources, totaling $600 or more during the calendar year.

      NOTE: If you are making payments to KSU students, please advise the Financial Aid Office as it may affect their financial aid assistance.

    2. Participant receiving remuneration over $100:

      The participant is required to provide his/her social security number except when participating in a study where the IRB has approved a waiver of a signed consent according to 45 CFR 46.117(c)(1) (i.e. that the consent form is the only record linking the subject to the research and the principal risk would be potential harm resulting from a breach of confidentiality). Refer to the OHRP website for additional information

    Non-resident alien participants will be subject to 30% tax withholding except when participating in a study where the IRB has approved a waiver of a signed consent as noted above.

    NOTE: If you are making payments to KSU students, please advise the  as it may affect their financial aid assistance.

    3. Remuneration being paid from externally funded projects should be detailed in the sponsor approved budget. Contact the pre-award staff in Sponsored Programs Administration in the Office of Research for assistance. 

    Please refer to  on the preferred method and notes on payment processing.

    There should be a dated, chronological record of the subjects being paid by cash, gift card, non- monetary item, or Visa Debit Card. If the study involves Anonymous/Confidential subjects, an assigned number can be provided on the log by the PI instead of their name.

    The funds should be accounted for by submitting a Summary Research Subject Participation List which will be used to reconcile a cash advance or petty cash expense as follows:

    1. Attach a list showing research subject reference (i.e. full name or number/alternate name if Anonymous/Confidential subject), date of payment and amount paid. At the top of the summary list, the following certification must be included:

      1. "I certify that the (total number) research subject payments referenced on the list below were payments made for participation in (study name and number) and that each received the amount indicated."
      2. Signature of PI or Co-PI
      3. Signature of witness to payments 
  • If your incentive plan involves the use of a lottery/raffle/drawing (interchangeable terms), please follow the following guidance to ensure compliance with Georgia鈥檚 lottery laws.  

    Download Guidance on Drawings for Research Participation.
  • There are no hard and fast rules about how much subjects should or should not be paid. Subjects should be paid enough to make up for their time and trouble, but not so much that their decision to volunteer or continue in a study is influenced by the amount being offered. Subjects should not see research participation as a way to make a living or regularly supplement their income. Large payments can suggest this possibility and can cause undue influence to participate.
  • Just as the size of payment can put inappropriate pressure on subjects, so can the schedule of payment. Holding payment until the subject has completed every procedure in a long, multi-week, multi-visit study is inappropriate. For studies with more than two or three visits, payment should be prorated, that is, based on the amount of time subjects have spent participating so far.

    The majority of complaints received are from subjects who are upset about not having received the study payment in a timely manner. Subjects should be told in the consent form how they will be paid and when they should expect payment.

  • Please email the Institutional Review Board at irb@kennesaw.edu