Difference between revisions of "EQIPD for Core Facilities"

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Line 117: Line 117:
 
|'''Comments'''
 
|'''Comments'''
 
|-
 
|-
| Unique study identifiers must be used and defined by the future owner of the raw data for each experiment.  Unless this is the CF, the owner of the raw data should communicate the unique study ID to the  CF. "Best practices should be communicated by the CF during training or by providing a reference to EQIPD Toolbox (e.g. date_User inititals_experiment).
+
|Unique study identifiers must be used and defined by the future owner of the raw data for each experiment.  Unless this is the CF, the owner of the raw data should communicate the unique study ID to the  CF.
|* CF and PI may generate separate study IDs but there must be a way established to communicate, to connect separate IDs and to enable traceability.
+
|* Best practices should be communicated by the CF during training or by providing a reference to EQIPD Toolbox (e.g. date_User inititals_experiment).
 +
* CF and PI may generate separate study IDs but there must be a way established to communicate, to connect separate IDs and to enable traceability.
 
* For EQIPD, it should be clear who is in charge of generating and storing the Unique Study Identifiers.
 
* For EQIPD, it should be clear who is in charge of generating and storing the Unique Study Identifiers.
 
* For complex studies that include more than one experiment, several experiments are typically part of one experimental record under one study ID.  
 
* For complex studies that include more than one experiment, several experiments are typically part of one experimental record under one study ID.  
 
* Unless known to CF, PI must communicate ethical approval to CF
 
* Unless known to CF, PI must communicate ethical approval to CF
 
* File naming: in order that each data is unique and retrievable we suggest that you adhere to the following file naming convention: [date YYMMDD]-[the first letter of your first name together with your last name]-[free text]. If your surname is long you may use only the first 6 letters of it. e.g. 201108-cpitzer-catwalk with mice zQ98
 
* File naming: in order that each data is unique and retrievable we suggest that you adhere to the following file naming convention: [date YYMMDD]-[the first letter of your first name together with your last name]-[free text]. If your surname is long you may use only the first 6 letters of it. e.g. 201108-cpitzer-catwalk with mice zQ98
 
+
|-
| Each experimental record should include, directly or by reference, the names of all scientists involved, objectives, ethical approval/number, procedures, methods, materials, equipment, dates, and any other details considered necessary for reproducibility and reconstruction.
+
|Each experimental record should include, directly or by reference, the names of all scientists involved, objectives, ethical approval/number, procedures, methods, materials, equipment, dates, and any other details considered necessary for reproducibility and reconstruction.
** CF can elaborate a form (excel sheet for instance) listing all the items that are required in an experimental record, and ask users to fill in this form. This could help the user to  keep tracking of his/her own detailed experimental record and is likely to increase the traceability of his/her data.
+
|* CF can elaborate a form (excel sheet for instance) listing all the items that are required in an experimental record, and ask users to fill in this form. This could help the user to  keep tracking of his/her own detailed experimental record and is likely to increase the traceability of his/her data.
 
* All raw and any processed data must be retrievable and traceable, directly or by reference. No raw data should be erased.
 
* All raw and any processed data must be retrievable and traceable, directly or by reference. No raw data should be erased.
 
+
|-
* An experimental record must describe any significant changes and deviations from the original study protocol.  
+
| An experimental record must describe any significant changes and deviations from the original study protocol.  
** User must report/document if study execution is not in accordance with study (experimental) plan and deviations such as changes to study hypothesis, design or analysis must be documented (including the rationale for the changes).
+
|* User must report/document if study execution is not in accordance with study (experimental) plan and deviations such as changes to study hypothesis, design or analysis must be documented (including the rationale for the changes).
** Examples of significant changes: Changes in the doses, experimental conditions and groups, sample size, methods of analysis, etc.
+
* Examples of significant changes: Changes in the doses, experimental conditions and groups, sample size, methods of analysis, etc.
** Any change or deviation from a protocol approved by animal welfare authority would be significant and requires documentation in the experimental record.
+
* Any change or deviation from a protocol approved by animal welfare authority would be significant and requires documentation in the experimental record.
** If uncertain about what constitutes a significant change or deviation, the user should consult with the core facility."
+
* If uncertain about what constitutes a significant change or deviation, the user should consult with the core facility."
 
+
|-
 
* An experimental record must provide an explanation and justification for exclusion of any data points from analysis.
 
* An experimental record must provide an explanation and justification for exclusion of any data points from analysis.
 
+
| -
* Experimental / data analysis record and study report (e.g. publication) should include sufficient detail to reconstruct any analysis performed and record all process steps and calculations used.
+
|-
 
+
|Experimental / data analysis record and study report (e.g. publication) should include sufficient detail to reconstruct any analysis performed and record all process steps and calculations used.
* Experimental records should be kept in an audit-trailed, version-controlled, safe storage environment such as an appropriate bound-paper laboratory notebook with permanent ink or an electronic laboratory notebook (ELN).
+
| -
** It is very important to define responsbility
+
|-
** CF should be in the position/have the possibility to check this or run occasional audits
+
|Experimental records should be kept in an audit-trailed, version-controlled, safe storage environment such as an appropriate bound-paper laboratory notebook with permanent ink or an electronic laboratory notebook (ELN).
 
+
|* It is very important to define responsbility
* For every study, there should be a study protocol prepared prior to the study being conducted.
+
* CF should be in the position/have the possibility to check this or run occasional audits
** Please see a definition of the study plan above.
+
|-
** Study protocols involving more than one experiment should include a dedicated section explaining the sequence and relationships between different experimental operations or procedures.
+
|For every study, there should be a study protocol prepared prior to the study being conducted.
 
+
|* Please see a definition of the study plan above.
* The study protocol must include:
+
* Study protocols involving more than one experiment should include a dedicated section explaining the sequence and relationships between different experimental operations or procedures.
** Title
+
|-
** Study hypothesis
+
|The study protocol must include:
** Ethical approval number and the name of approving body (for research involving animals)
+
* Title
** Statement / information about controls (with choice justification if necessary)
+
* Study hypothesis
** Description of sample size calculation
+
* Ethical approval number and the name of approving body (for research involving animals)
** Inclusion / exclusion criteria
+
* Statement / information about controls (with choice justification if necessary)
** Description of animal resources, reagents and materials (as applicable)
+
* Description of sample size calculation
** Study design overview for complex studies
+
* Inclusion / exclusion criteria
** Detailed description of experimental procedure(s) (or references to standalone descriptions if available)
+
* Description of animal resources, reagents and materials (as applicable)
* The plan should include:
+
* Study design overview for complex studies
** Statement whether study is exploratory or knowledge-claiming
+
* Detailed description of experimental procedure(s) (or references to standalone descriptions if available)
** Statement about choice of experimental methods
+
The plan should include:
** Detailed description of measures against risk of bias (randomization, blinding) (or references to standalone descriptions if available)
+
* Statement whether study is exploratory or knowledge-claiming
** Description of raw data analysis
+
* Statement about choice of experimental methods
** use versioning (or have a section for amendments)  
+
* Detailed description of measures against risk of bias (randomization, blinding) (or references to standalone descriptions if available)
* It is advisable to:
+
* Description of raw data analysis
** Include references to relevant literature
+
* use versioning (or have a section for amendments)  
** Conduct risk assessment
+
It is advisable to:
** Preregister the study protocol
+
* Include references to relevant literature
 
+
* Conduct risk assessment
* Apply randomization and blinding. If not done or if not maintained throughout the experiment (from subject/sample allocation to analysis), include the reasons in the study protocol, the study report and any publication.
+
* Preregister the study protocol
** The CF will advise the User how to randomize / blind.  
+
| link will be provided here for additional information
** The user should implement.
+
|-
** The CF will verify impementation.
+
| Apply randomization and blinding. If not done or if not maintained throughout the experiment (from subject/sample allocation to analysis), include the reasons in the study protocol, the study report and any publication.
 
+
|* The CF will advise the User how to randomize / blind.  
* Justify sample size (e.g. using power analysis) and include the justification in the study protocol, the study report and any publication.
+
* The user should implement.
** User should perform samples size calculation and follow advice from CF staff.
+
* The CF will verify impementation.
 
+
|-
* Ensure inclusion / exclusion criteria and/or acceptance criteria are stated in the study protocol, the study report and any publication.
+
|Justify sample size (e.g. using power analysis) and include the justification in the study protocol, the study report and any publication.
 
+
|* User should perform samples size calculation and follow advice from CF staff.
* Report should always provide summaries of all related data, processes, and conclusions, and include justification for excluding any relevant experimental records or individual data points from the summary analyses.
+
|-
 
+
|Ensure inclusion / exclusion criteria and/or acceptance criteria are stated in the study protocol, the study report and any publication.
* Raw (primary) data must be stored in an un-editable read-only form as soon as it is generated and must be backed-up
+
| -
** the raw data should be backed-up
+
|-
** reliability of IT resources should be ensured
+
|Report should always provide summaries of all related data, processes, and conclusions, and include justification for excluding any relevant experimental records or individual data points from the summary analyses.
** the responsibility for saving and archiving the raw data must be clarified"
+
| -
 
+
|-
* Any external presentation/publication whether oral or in writing should give credit to the CF where the work was performed.
+
|Raw (primary) data must be stored in an un-editable read-only form as soon as it is generated and must be backed-up
** Identify all contributing researchers and reference unique identifiers for the experimental records
+
|* the raw data should be backed-up
** encourage the use of an unique identifier for reseachers (ORCID)
+
* reliability of IT resources should be ensured
** Unique IDs for facilities
+
* the responsibility for saving and archiving the raw data must be clarified"
 
+
|-
* Any external presentation/publication whether oral or in writing should  
+
|Any external presentation/publication whether oral or in writing should give credit to the CF where the work was performed.
 +
|* Identify all contributing researchers and reference unique identifiers for the experimental records
 +
* encourage the use of an unique identifier for reseachers (ORCID)
 +
* Unique IDs for facilities
 +
|-
 +
|Any external presentation/publication whether oral or in writing should  
 
include a statement of conflict of interest.
 
include a statement of conflict of interest.
* Reported research outcomes should be complete, accurate and findable
+
|
** the location of the data must be identifiable for all data records, e.g. reference with the permanent identifier.  
+
|-
** Reporting must include for each analysis the exact number of biological units for each condition
+
|Reported research outcomes should be complete, accurate and findable
** Processed (secondary) data must be clearly labeled as such and should contain a reference to raw data
+
|* the location of the data must be identifiable for all data records, e.g. reference with the permanent identifier.  
** Experimental records should be reviewed by a CF for completeness and accuracy and it is advised to document this review
+
* Reporting must include for each analysis the exact number of biological units for each condition
** Users should give CF staff the possibility to review data for analysis and reporting
+
* Processed (secondary) data must be clearly labeled as such and should contain a reference to raw data
** If the data analysis is done by the users themselves, they should subsequently share this data with the core facility even if they will not be published to allow for quality control of the data analysis and of the procedures in the core facility.
+
* Experimental records should be reviewed by a CF for completeness and accuracy and it is advised to document this review
** Critical incidents (any unexpected or unplanned events) and errors must be recorded and made part of the experimental record."
+
* Users should give CF staff the possibility to review data for analysis and reporting
* Users must be trained by CF members in order to be eligble to use CF
+
* If the data analysis is done by the users themselves, they should subsequently share this data with the core facility even if they will not be published to allow for quality control of the data analysis and of the procedures in the core facility.
** Users should seek support from CF to design experiments in due time and with with optimal rigor." " - Users should seek contact with the core facility ahead of time to ensure proper preparation/consulting/animal license approval and ultimately data quality.
+
* Critical incidents (any unexpected or unplanned events) and errors must be recorded and made part of the experimental record."
** Core facilities should play an educational role in proper planning of projects.
+
|-
** CF member together with the PI and the user should perform risk assessment
+
|Users must be trained by CF members in order to be eligble to use CF
** the users should be instructed to record any erros and report them to CFH; the CFH should debrief it; the debrief record should be circulated to all other users in order to minimize the chances for recurrance
+
|* Users should seek support from CF to design experiments in due time and with with optimal rigor." " - Users should seek contact with the core facility ahead of time to ensure proper preparation/consulting/animal license approval and ultimately data quality.
** Users must take responsibility for the appropiate use of reagents, research subjects and equipment they bring into the CF
+
* Core facilities should play an educational role in proper planning of projects.
** It is up to CF to define which form training should take (including frequency and documentation)
+
* CF member together with the PI and the user should perform risk assessment
 +
* the users should be instructed to record any erros and report them to CFH; the CFH should debrief it; the debrief record should be circulated to all other users in order to minimize the chances for recurrance
 +
* Users must take responsibility for the appropiate use of reagents, research subjects and equipment they bring into the CF
 +
* It is up to CF to define which form training should take (including frequency and documentation)
 
| -
 
| -
 
|}
 
|}

Revision as of 16:12, 9 March 2021

Introduction

to be added


Definitions

EQIPD SERVICE

  1. Core Facility implements those aspects of EQIPD recommendations that do not depend on the users and that enable support of EQIPD-compliant research (items with "CF" in Column B below).
  2. Core facility provides the users with the information about research practices recommended by EQIPD (items with "yes" in Column C below) and offers to support in conducting EQIPD-compliant research.
  3. If the user accepts the offer (and, as necessary, provides required resources), Core Facility:
    1. together with the user (""PI""), identifies the best solution to implement specific recommendations (items marked with ""shared"" in Column B below). Shared responsibility over implementation means ""joint decision, knowledge and transparency"" and may still require certain recommendations fully implemented at the Core Facility while others - fully implemented on the user's side.
    2. assumes responsibility over spot checks (requires acceptance by the PI if certain recommendations are implemented on the user's side)
    3. confirms to the user that the study was conducted as ""EQIPD compliant"" or not (e.g. to be stated in the report or in a publication)"
  4. If the user does not accept the offer, no changes in the routine practice and the studies remain to be not compliant with EQIPD recommendations.


TRAINING SERVICE

  1. Core Facility provides information about research practices (items with "yes" in Column C below) to the users.
  2. It is up to the Core Facility to decide how this information is shared with the users (e.g., made part of a training program, shared as a written summary in paper or electronic form).
  3. Unless requested by the users or otherwise enabled by the locally applicable rules and regulations, Core Facility does not assume any further role in supporting or monitoring the implementation of recommended practices.

Proposed statements

  • Unique study identifiers must be used and defined by the future owner of the raw data for each experiment. Unless this is the CF, the owner of the raw data should communicate the unique study ID to the CF. "Best practices should be communicated by the CF during training or by providing a reference to EQIPD Toolbox (e.g. date_User inititals_experiment).
    • CF and PI may generate separate study IDs but there must be a way established to communicate, to connect separate IDs and to enable traceability.
    • For EQIPD, it should be clear who is in charge of generating and storing the Unique Study Identifiers.
    • For complex studies that include more than one experiment, several experiments are typically part of one experimental record under one study ID.
    • Unless known to CF, PI must communicate ethical approval to CF
    • File naming: in order that each data is unique and retrievable we suggest that you adhere to the following file naming convention: [date YYMMDD]-[the first letter of your first name together with your last name]-[free text]. If your surname is long you may use only the first 6 letters of it. e.g. 201108-cpitzer-catwalk with mice zQ98
  • Each experimental record should include, directly or by reference, the names of all scientists involved, objectives, ethical approval/number, procedures, methods, materials, equipment, dates, and any other details considered necessary for reproducibility and reconstruction.
    • CF can elaborate a form (excel sheet for instance) listing all the items that are required in an experimental record, and ask users to fill in this form. This could help the user to keep tracking of his/her own detailed experimental record and is likely to increase the traceability of his/her data.
  • All raw and any processed data must be retrievable and traceable, directly or by reference. No raw data should be erased.
  • An experimental record must describe any significant changes and deviations from the original study protocol.
    • User must report/document if study execution is not in accordance with study (experimental) plan and deviations such as changes to study hypothesis, design or analysis must be documented (including the rationale for the changes).
    • Examples of significant changes: Changes in the doses, experimental conditions and groups, sample size, methods of analysis, etc.
    • Any change or deviation from a protocol approved by animal welfare authority would be significant and requires documentation in the experimental record.
    • If uncertain about what constitutes a significant change or deviation, the user should consult with the core facility."
  • An experimental record must provide an explanation and justification for exclusion of any data points from analysis.
  • Experimental / data analysis record and study report (e.g. publication) should include sufficient detail to reconstruct any analysis performed and record all process steps and calculations used.
  • Experimental records should be kept in an audit-trailed, version-controlled, safe storage environment such as an appropriate bound-paper laboratory notebook with permanent ink or an electronic laboratory notebook (ELN).
    • It is very important to define responsbility
    • CF should be in the position/have the possibility to check this or run occasional audits
  • For every study, there should be a study protocol prepared prior to the study being conducted.
    • Please see a definition of the study plan above.
    • Study protocols involving more than one experiment should include a dedicated section explaining the sequence and relationships between different experimental operations or procedures.
  • The study protocol must include:
    • Title
    • Study hypothesis
    • Ethical approval number and the name of approving body (for research involving animals)
    • Statement / information about controls (with choice justification if necessary)
    • Description of sample size calculation
    • Inclusion / exclusion criteria
    • Description of animal resources, reagents and materials (as applicable)
    • Study design overview for complex studies
    • Detailed description of experimental procedure(s) (or references to standalone descriptions if available)
  • The plan should include:
    • Statement whether study is exploratory or knowledge-claiming
    • Statement about choice of experimental methods
    • Detailed description of measures against risk of bias (randomization, blinding) (or references to standalone descriptions if available)
    • Description of raw data analysis
    • use versioning (or have a section for amendments)
  • It is advisable to:
    • Include references to relevant literature
    • Conduct risk assessment
    • Preregister the study protocol
  • Apply randomization and blinding. If not done or if not maintained throughout the experiment (from subject/sample allocation to analysis), include the reasons in the study protocol, the study report and any publication.
    • The CF will advise the User how to randomize / blind.
    • The user should implement.
    • The CF will verify impementation.
  • Justify sample size (e.g. using power analysis) and include the justification in the study protocol, the study report and any publication.
    • User should perform samples size calculation and follow advice from CF staff.
  • Ensure inclusion / exclusion criteria and/or acceptance criteria are stated in the study protocol, the study report and any publication.
  • Report should always provide summaries of all related data, processes, and conclusions, and include justification for excluding any relevant experimental records or individual data points from the summary analyses.
  • Raw (primary) data must be stored in an un-editable read-only form as soon as it is generated and must be backed-up
    • the raw data should be backed-up
    • reliability of IT resources should be ensured
    • the responsibility for saving and archiving the raw data must be clarified"
  • Any external presentation/publication whether oral or in writing should give credit to the CF where the work was performed.
    • Identify all contributing researchers and reference unique identifiers for the experimental records
    • encourage the use of an unique identifier for reseachers (ORCID)
    • Unique IDs for facilities
  • Any external presentation/publication whether oral or in writing should

include a statement of conflict of interest.

  • Reported research outcomes should be complete, accurate and findable
    • the location of the data must be identifiable for all data records, e.g. reference with the permanent identifier.
    • Reporting must include for each analysis the exact number of biological units for each condition
    • Processed (secondary) data must be clearly labeled as such and should contain a reference to raw data
    • Experimental records should be reviewed by a CF for completeness and accuracy and it is advised to document this review
    • Users should give CF staff the possibility to review data for analysis and reporting
    • If the data analysis is done by the users themselves, they should subsequently share this data with the core facility even if they will not be published to allow for quality control of the data analysis and of the procedures in the core facility.
    • Critical incidents (any unexpected or unplanned events) and errors must be recorded and made part of the experimental record."
  • Users must be trained by CF members in order to be eligble to use CF
    • Users should seek support from CF to design experiments in due time and with with optimal rigor." " - Users should seek contact with the core facility ahead of time to ensure proper preparation/consulting/animal license approval and ultimately data quality.
    • Core facilities should play an educational role in proper planning of projects.
    • CF member together with the PI and the user should perform risk assessment
    • the users should be instructed to record any erros and report them to CFH; the CFH should debrief it; the debrief record should be circulated to all other users in order to minimize the chances for recurrance
    • Users must take responsibility for the appropiate use of reagents, research subjects and equipment they bring into the CF
    • It is up to CF to define which form training should take (including frequency and documentation)


  • An experimental record must provide an explanation and justification for exclusion of any data points from analysis.
Statement​​​ Comments
Unique study identifiers must be used and defined by the future owner of the raw data for each experiment. Unless this is the CF, the owner of the raw data should communicate the unique study ID to the CF. * Best practices should be communicated by the CF during training or by providing a reference to EQIPD Toolbox (e.g. date_User inititals_experiment).
  • CF and PI may generate separate study IDs but there must be a way established to communicate, to connect separate IDs and to enable traceability.
  • For EQIPD, it should be clear who is in charge of generating and storing the Unique Study Identifiers.
  • For complex studies that include more than one experiment, several experiments are typically part of one experimental record under one study ID.
  • Unless known to CF, PI must communicate ethical approval to CF
  • File naming: in order that each data is unique and retrievable we suggest that you adhere to the following file naming convention: [date YYMMDD]-[the first letter of your first name together with your last name]-[free text]. If your surname is long you may use only the first 6 letters of it. e.g. 201108-cpitzer-catwalk with mice zQ98
Each experimental record should include, directly or by reference, the names of all scientists involved, objectives, ethical approval/number, procedures, methods, materials, equipment, dates, and any other details considered necessary for reproducibility and reconstruction. * CF can elaborate a form (excel sheet for instance) listing all the items that are required in an experimental record, and ask users to fill in this form. This could help the user to keep tracking of his/her own detailed experimental record and is likely to increase the traceability of his/her data.
  • All raw and any processed data must be retrievable and traceable, directly or by reference. No raw data should be erased.
An experimental record must describe any significant changes and deviations from the original study protocol. * User must report/document if study execution is not in accordance with study (experimental) plan and deviations such as changes to study hypothesis, design or analysis must be documented (including the rationale for the changes).
  • Examples of significant changes: Changes in the doses, experimental conditions and groups, sample size, methods of analysis, etc.
  • Any change or deviation from a protocol approved by animal welfare authority would be significant and requires documentation in the experimental record.
  • If uncertain about what constitutes a significant change or deviation, the user should consult with the core facility."
-
Experimental / data analysis record and study report (e.g. publication) should include sufficient detail to reconstruct any analysis performed and record all process steps and calculations used. -
Experimental records should be kept in an audit-trailed, version-controlled, safe storage environment such as an appropriate bound-paper laboratory notebook with permanent ink or an electronic laboratory notebook (ELN). * It is very important to define responsbility
  • CF should be in the position/have the possibility to check this or run occasional audits
For every study, there should be a study protocol prepared prior to the study being conducted. * Please see a definition of the study plan above.
  • Study protocols involving more than one experiment should include a dedicated section explaining the sequence and relationships between different experimental operations or procedures.
The study protocol must include:
  • Title
  • Study hypothesis
  • Ethical approval number and the name of approving body (for research involving animals)
  • Statement / information about controls (with choice justification if necessary)
  • Description of sample size calculation
  • Inclusion / exclusion criteria
  • Description of animal resources, reagents and materials (as applicable)
  • Study design overview for complex studies
  • Detailed description of experimental procedure(s) (or references to standalone descriptions if available)

The plan should include:

  • Statement whether study is exploratory or knowledge-claiming
  • Statement about choice of experimental methods
  • Detailed description of measures against risk of bias (randomization, blinding) (or references to standalone descriptions if available)
  • Description of raw data analysis
  • use versioning (or have a section for amendments)

It is advisable to:

  • Include references to relevant literature
  • Conduct risk assessment
  • Preregister the study protocol
link will be provided here for additional information
Apply randomization and blinding. If not done or if not maintained throughout the experiment (from subject/sample allocation to analysis), include the reasons in the study protocol, the study report and any publication. * The CF will advise the User how to randomize / blind.
  • The user should implement.
  • The CF will verify impementation.
Justify sample size (e.g. using power analysis) and include the justification in the study protocol, the study report and any publication. * User should perform samples size calculation and follow advice from CF staff.
Ensure inclusion / exclusion criteria and/or acceptance criteria are stated in the study protocol, the study report and any publication. -
Report should always provide summaries of all related data, processes, and conclusions, and include justification for excluding any relevant experimental records or individual data points from the summary analyses. -
Raw (primary) data must be stored in an un-editable read-only form as soon as it is generated and must be backed-up * the raw data should be backed-up
  • reliability of IT resources should be ensured
  • the responsibility for saving and archiving the raw data must be clarified"
Any external presentation/publication whether oral or in writing should give credit to the CF where the work was performed. * Identify all contributing researchers and reference unique identifiers for the experimental records
  • encourage the use of an unique identifier for reseachers (ORCID)
  • Unique IDs for facilities
Any external presentation/publication whether oral or in writing should

include a statement of conflict of interest.

Reported research outcomes should be complete, accurate and findable * the location of the data must be identifiable for all data records, e.g. reference with the permanent identifier.
  • Reporting must include for each analysis the exact number of biological units for each condition
  • Processed (secondary) data must be clearly labeled as such and should contain a reference to raw data
  • Experimental records should be reviewed by a CF for completeness and accuracy and it is advised to document this review
  • Users should give CF staff the possibility to review data for analysis and reporting
  • If the data analysis is done by the users themselves, they should subsequently share this data with the core facility even if they will not be published to allow for quality control of the data analysis and of the procedures in the core facility.
  • Critical incidents (any unexpected or unplanned events) and errors must be recorded and made part of the experimental record."
Users must be trained by CF members in order to be eligble to use CF * Users should seek support from CF to design experiments in due time and with with optimal rigor." " - Users should seek contact with the core facility ahead of time to ensure proper preparation/consulting/animal license approval and ultimately data quality.
  • Core facilities should play an educational role in proper planning of projects.
  • CF member together with the PI and the user should perform risk assessment
  • the users should be instructed to record any erros and report them to CFH; the CFH should debrief it; the debrief record should be circulated to all other users in order to minimize the chances for recurrance
  • Users must take responsibility for the appropiate use of reagents, research subjects and equipment they bring into the CF
  • It is up to CF to define which form training should take (including frequency and documentation)
-