While Budget 2018 had announced $1.7 billion of new funding for science research, federal scientists were not quick to rejoice, as much of the money allotted was in direct responses to the findings of Canada’s Fundamental Science Review, which completely ignored government science and its pool of public science talents. Once again, the 2019-20 Budget is no different than the last one when comes to significant new funding for public science.  

Canadians who care about public science have had some good news to celebrate since the election of the Trudeau government. It started with protections for scientific integrity and the government’s agreement with PIPSC, the union representing its scientists, to enshrine those rights in collective agreements and government policies. It continued to engage in replenishing the ranks of federal scientists, engineers and researchers over the past three years by hiring 1,500 positions in an attempt to fill the science gap left by the previous government’s waves of cuts.

On broader science issues, PIPSC salutes that Budget 2019 is also moving in the right direction for science students. Students receiving federal research grants will now be able to benefit from parental leave under EI. Federal granting councils will also be able to expand parental leave coverage from 6 to 12 months for fellows and post-docs.

Actual spending on science - in particular R&D - is lower today than under Harper

But most Canadians would be disappointed to learn that actual spending on government research and development (R&D) is lower today than it was under the Harper government. While overall funding of science has increased from $10.4 billion in 2015-16 to $11.3 billion in 2018-19,[1] actual spending on federal government science was projected to be $112 million lower in 2018-19 than in 2014-15.[2] Spending on R&D by government scientists declined by $891 million compared to 2010-11 under the Harper government.[3]

The federal government’s actions in recent years imply that its role is less about participating in basic research and regulatory science, and more about channeling federal science money to the private sector and universities with the hope of stimulating innovation.

This strategy misses the mark.

Think about some of the most fundamental needs of Canadians and our economy. We rely on public scientists to ensure the safety of the air we breathe, the water we drink and the food we consume. As our communities grapple with the impact of climate change, the importance of public scientific capacity cannot be overstated. And yet, with a couple of small exceptions, basic research and government regulatory science are mostly absent from Budget 2019.

The Canadian Food Inspection Agency (CFIA), Health Canada and Transport Canada are getting a total of $219.1 million over five years pertaining to the consolidated regulatory roadmap, though the announcement remains vague. New processes involving the digitalization of CFIA regulation work and standards could impact the work of our food-safety scientists. They should be consulted on these changes so their important service to Canadians is not disrupted.

Another glimmer of hope is the establishment of a new Strategic Science Fund, scheduled for 2022-23 after lengthy consultation with third-party research and non-government science organizations. The commitment remains vulnerable to the results of the next election. Should the government push ahead with a strategic funding agenda in the coming years, public scientists should be at the centre of these consultations.

Whether it’s R&D or science-based regulation, PIPSC believes there is a need for Canadians to have increased access to public science. The dangerous trend of underfunding public science should be and can be turned around. The Chief Science Advisor must develop metrics to assess and report on the government’s scientific capacity.

As the union representing 15,000 public service scientists, PIPSC is ready to help.

Maxime Gingras,

Research Officer, PIPSC

-----------------------------------------------

Over 15,000 federal scientists are represented by the Professional Institute of the Public Service of Canada (PIPSC). These scientists are tasked with protecting, among other things, the health and safety of Canadian food, water, transportation systems, buildings and consumer products. They also protect the environment and promote the vitality of our economy through innovations in science and technology.

This article was originally published in the 2019 Canadian Science Policy Centre featured editorials section.
 

[1] Statistics Canada. Table 27-10-0026-01 Federal expenditures on science and technology, by major departments and agencies - Intentions (x 1,000,000).

 

[2] Statistics Canada. Table 27-10-0006-01 Federal expenditures on science and technology and its components, by type of science and performing sector - Intentions (x 1,000,000) – PIPSC Electronic File intramural expenditure by federal government overall and type of science.

 

[3] Statistics Canada. Table 27-10-0026-01 Federal expenditures on science and technology, by major departments and agencies - Intentions (x 1,000,000). Authors calculations. See PIPSC file Departmental Intramural Spending on RD and RSA 2010-2019.

The Chief Science Advisor of Canada, Dr. Mona Nemer, recently released her 2018 Annual Report, in which she highlights the close working relationship she enjoys with the Professional Institute.

Dr. Nemer is particularly proud of our joint work on the Model Policy on Scientific Integrity, which provides a framework for science-based decision-making in the federal government, and guidelines for the unmuzzled public discussion of the research our members are conducting.

As the Report elegantly summarizes: “Communication of science is vital to ensuring an informed citizenry and healthy and engaged society.  It underpins our democratic processes.  Yet moving science from the field or lab and into the public discourse requires considerable time, effort and resources. It is important that researchers understand their obligations to convey the results of their work and participate in public dissemination of their research”.

The Chief Science Advisor is also committed to supporting the federal science workforce on matters of critical importance to thousands of PIPSC members: “(…) significant effort will be required to chart workforce dynamics, bring disparate information sources together, and collect new qualitative and quantitative information for developing effective strategies for workforce renewal, ensuring equity, and supporting career and continuous skills development”.

PIPSC is honoured to work with Dr. Nemer and her staff.  We look forward to many more years of fruitful collaboration on issues of vital interest not only to our members, but to all Canadians.

PIPSC Celebrates National Engineering Month!

Every March, Provincial and Territorial engineering regulatory bodies throughout Canada celebrate the contributions of engineers in our day to day lives and spread awareness of the engineering profession to youth.

The Engineering Sector Council, which represents members from the Federal Public Service, Federal agencies and separate employers, invites you to celebrate National Engineering month (March 2019) with them and thousands of PIPSC members across Canada. 

Visit https://engineerscanada.ca to find out more about National Engineering Month and to find activities in your local area.

Engage in the conversation!

The Engineering Sector Council promotes engineering within and outside of PIPSC and is always planning activities to support PIPSC members who are in the engineering profession. Contact Jonathan Fitzpatrick (jfitzpat@pipsc.ca), Chair, Engineering Sector Council if you have any questions.

The firing last week of long-serving Québec government agronomist Louis Robert for making public claims of “private-sector interference in a public study of pesticide use” reminds us of the importance of defending public science and showing solidarity with both whistleblowers and the unions that represent them.

We therefore express our solidarity with M. Robert and the Syndicat de professionnelles et professionnelles du gouvernement du Québec (SPGQ) and encourage others to do the same.

Governments should never turn a blind eye to the concerns of professional government employees, especially ones brave enough to bring such issues to public attention.

Transparency shouldn’t come at the cost of one’s career.

Signed by the members of the Professional Union Network of Canada,

AMAPCEO - Ontario's Professional Employees
ACFO - AFAC
Professional Employees Association (PEA)
Professional Institute of the Public Service of Canada (PIPSC)

PIPSC and it’s 4,000 members across the B.C./Yukon region endorse the call last week by B.C.’s Professional Employees Association (PEA) to restore scientific integrity in the province by adopting new provisions in its next collective agreement.

As our own recent success has shown, the adoption of provisions that protect public science is in the interests of everyone – the public, unions and governments. On the other hand, the loss of 25% of B.C.’s science officers since 2001 is bound to have had detrimental impacts on public science in the province.

Restoring scientific integrity to B.C.’s public service is clearly in the public interest and deserves everyone’s support.

Better Together!

Debi Daviau
President

OTTAWA, September 28, 2018 – As the federal Finance Committee prepares for cross-country public hearings on next year’s Budget, the Professional Institute of the Public Service of Canada (PIPSC) has released a fact sheet showing 72% of Canadians agree “in the next federal budget, funding for federal government science programs should be restored to what it was in 2011.” The finding, by Environics Research, is significant since overall funding for federal government science is in fact lower today than it was under the Harper government, in particular for research and development (R&D).

While Statistics Canada figures show overall funding of government science has increased from $10.4 billion in 2015/16 to $11.3 billion in 2018/19, actual spending is projected to be $112 million lower in 2018/19 than in 2014/15.

Worse, spending on R&D by government scientists has declined by $891 million compared to 2010/11 under the Harper government.

While some science funding has shifted to the private sector to encourage innovation, R&D by federal scientists has declined steeply.

“The strength of Canada’s R&D network depends on a robust federal government presence,” says PIPSC President Debi Daviau. “We cannot rely increasingly on the private sector alone to provide needed innovations. Often the very innovations we most need – for example, better weather forecasting, more resilient crops, improved pollution monitoring – result from R&D in areas of direct federal government responsibility, which is why we’re calling for more funding in next year’s budget.”

The StatsCan numbers reinforce the findings of a 2017 survey of federal scientists, which discovered well over half (58%) believe their departments do not have sufficient resources to fulfill their mandates. The problem is particularly pronounced in the Canadian Space Agency (79%), Natural Resources Canada (64%) and even Environment and Climate Change Canada, where 60% do not feel their department has sufficient resources.

The public opinion survey by Environics Research (commissioned by PIPSC) was conducted by telephone among 1,000 Canadians between July 3 and 8, 2018. The results can be considered accurate + or – 3.2%, 19 times out of 20.

Invitations to participate in the online survey of federal scientists, also hosted by Environics Research, were sent to 16,377 scientists, engineers and researchers in over 40 federal departments and agencies. Of these 3,025 (18.5%) responded between May 29 and June 27, 2017. The survey is considered accurate + or – 1.8%, 19 times out of 20. 

The Professional Institute of the Public Service of Canada represents 55,000 public service professionals across Canada, including approximately 16,000 scientists, engineers and researchers, most of whom are employed by the federal government.

Follow us on Facebook and on Twitter (@pipsc_ipfpc).

For further information:

Johanne Fillion, 613-228-6310, ext. 4953 or 613-883-4900 (cell), jfillion@pipsc.ca

 

Canadians want federal science funding restored to 2011 levels.

According to 2016 Organisation for Economic Co-operation and Development figures (the most recent available), Canada ranks 21 out of 27 OECD countries in the amount it reports spending on science.

Under the former Harper government, many federal departments had their science funding slashed as a result of sweeping public service cuts. Between 2012 and 2014, a total of $223 million in intramural funding was eliminated.  

While overall funding for science and technology has increased since 2015 – especially for so-called Related Science Activities that include regulatory services such as food safety – government funding for public sector science generally has lagged the amounts spent encouraging innovation by universities and the private sector.

Restoring funding to federal science programs has strong public support. According to an Environics Research survey commissioned by PIPSC, most Canadians (72%) agree “in the next federal budget, funding for federal government science programs should be restored to what it was in 2011.”[1]
 

Most federal government scientists believe funding is insufficient to fulfill their departments’ mandates.

According to a 2017 survey of federal government scientists:

  • Well over half (58%) believe their department does not have sufficient resources to fulfill its mandate. (The problem is particularly pronounced in the Canadian Space Agency (79%), Natural Resources Canada (64%), and even Environment and Climate Change Canada, where 60% do not feel their department has sufficient resources to fulfill its mandate.)[2]
  • Only 41% believe that policies and decisions are always made with the best available scientific evidence and information.
  • Moreover, only half (51%) are satisfied with the use of scientific evidence in decision-making.[3]

Funding for federal government R&D is lower now than in 2011 under the Conservatives.

  • While overall funding of science has increased from $10.4 billion in 2015/16 to $11.3 billion in 2018/19,[4] actual spending on federal government science is projected to be $112 million lower in 2018/19 than in 2014/15.[5] 
  • Worse, spending on research and development (R&D) by government scientists has declined by $891 million compared to 2010/11 under the Harper government.[6]

Federal government R&D work is in danger. R&D spending in seven out of 18 departments is lower in 2018/19 than it was in 2010/11, including at:

  • Canadian Space Agency (- $12 million)
  • Environment and Climate Change Canada (- $107 million)
  • Health Canada (- $20 million)
  • Innovation, Science and Economic Development Canada (formerly Industry Canada) (- $19 million)
  • National Defence (- $100 million)
  • Natural Resources Canada (- $54 million)
  • Statistics Canada (- $62 million)

[1] The public opinion survey by Environics Research was conducted by telephone among 1,000 Canadians between July 3 and 8, 2018. The results can be considered accurate + or – 3.2%, 19 times out of 20

[2]PIPSC Science Members Survey, 2017.  Invitations to participate in the online survey, hosted by Environics Research, were sent to 16,377 federal scientists, engineers and researchers engaged in scientific work in over 40 federal departments and agencies. Of these 3,025 (18.5%) responded between May 29 and June 27, 2017. The survey is considered accurate + or – 1.8%, 19 times out of 20. 

[3] PIPSC Science Members Survey, 2017.

[4] Statistics Canada. Table 27-10-0026-01 Federal expenditures on science and technology, by major departments and agencies - Intentions (x 1,000,000).

[6] Statistics Canada. Table 27-10-0026-01 Federal expenditures on science and technology, by major departments and agencies - Intentions (x 1,000,000). Authors calculations. See PIPSC file Departmental Intramural Spending on RD and RSA 2010-2019.

 

The Professional Institute of the Public Service of Canada (PIPSC) is delighted with the announcement that the federal government accepts the model Scientific Integrity policy originally proposed by our members and amended through subsequent consultation.  This process has been a successful example of collaboration between the office of the Chief Science Advisor, the Treasury Board Secretariat and PIPSC.

Chief Science Advisor, Dr Mona Nemer, and PIPSC President, Debi DaviauThis announcement represents the culmination of over three years’ work by federal scientists (our members) in promoting scientific research and evidence-based policy within government.

By adopting the provisions of the model Scientific Integrity policy, federal departments and agencies that employ 10 or more scientists can soon look forward to more specific policies that ensure:

  • all federal scientific activities meet applicable standards of scientific excellence
  • all scientific research, products and their communication are free from political, commercial and stakeholder interference
  • research and information is released in a timely manner
  • the contributions of scientists are accurately represented and acknowledged
  • any conflicts of interest are avoided or, at least, reported
  • differing interpretations of research and scientific evidence are made explicit and accurately represented
  • meaningful contributions by researchers and scientists to government programs, policies, regulations, and decision-making are acknowledged, and
  • any breaches of these scientific integrity principles are reported to management.

By adopting the model policy, federal scientists and their departments recognize that scientific integrity is an integral part of their work and that ensuring it is the responsibility of all employees and vital to the decision-making process of the public administration.

Together with the right of federal scientists to speak freely about science and their research, recently negotiated as part of collective agreements with the federal government, adoption of the model Scientific Integrity policy represents an enormous step forward for science in the public interest and the federal scientists who undertake it.

You can read the entire policy here.

Debi Daviau
President

1. Effective date

1.1.   This policy takes effect on TBD

2. Context

2.1   This policy is issued pursuant to the May 15, 2017 and June 1, 2017 Memoranda of Agreement between the Treasury Board and the Professional Institute of the Public Service of Canada (PIPSC) in Respect of Scientific Integrity.

3. Authorities

3.1.   This policy should be read in consultation with the Values and Ethics Code for the Public Sector[1] as adopted April 2, 2012, the Directive on the Management of Communications[2],  and the Policy on Conflict of Interest and Post-Employment.[3].

3.2.   Where there is conflict or incompatibility between this Policy and legislation and/or a provision of any relevant collective agreement, the provisions of the legislation or relevant collective agreement take precedence.

3.3.   Where there is conflict or incompatibility between this Policy and a mandatory Policy instrument of the Treasury Board (i.e. policy, directive or standard), the provisions of the Treasury Board mandatory Policy instrument take precedence.

3.4.   Where there is conflict or incompatibility between this Policy and a voluntary Policy instrument of the Treasury Board (i.e. guidelines or tools), the provisions of this Policy take precedence.

3.5.  DDAA will maintain a record of all instances of conflict or incompatibility between this Policy and legislation, collective agreements, or Treasury Board policy instruments and/or DDAA policy instruments, and submit this record as part of the performance evaluation as per s. 7.9 of this Policy.

3.6.   In consultation with representatives of PIPSC, the Deputy Head has authority to support science integrity by establishing relevant and applicable standards for the design, conduct, management, review and communication of research and science within DDAA,

4. Objectives and expected results

The objectives of this Policy are to:

4.1.   Foster a culture that supports and promotes scientific integrity in the design, conduct, management, review and communication of research, science, and related activities.

4.2.   Increase public, employee and stakeholder trust in the credibility and reliability of DDAA research and scientific activities.

4.3.   Set out expectations regarding the design, conduct, management, review and communication of research, science, and related activities.

4.4   Enhance employee understanding of the contributions of research and science to evidence-informed decision-making, as well as the role of managers, communication specialists, researchers and scientists in the development of government policy and advice.

The expected results of this Policy are that:

4.5.   Employees involved in the design, conduct, management, review, use or communication of research, science, or related activities understand and conduct themselves in manner consistent with the principles of scientific integrity.

4.6.   DDAA is recognized by employees, stakeholders, and the public as a reliable and credible source of research and scientific information.

4.7.   As appropriate and to the extent possible, allegations of breach of the principles of scientific integrity as defined in s. 6 are addressed through a fair, impartial, efficient, confidential and respectful process.

4.8.   Employees understand and seek to enhance the contributions of research and science to science advice, government policy and evidence-informed decision-making.

5.  Application

5.1.   This Policy applies to DDAA employees who design, conduct, communicate, manage, review or make use of DDAA research, science or related activities.

5.2.   Nothing in this policy supersedes any relevant collective agreements. Neither does the policy extend provisions of relevant collective agreements to employees not subject to those agreements.

6.  Scientific integrity principles

DDAA recognizes that stakeholder trust in the research and scientific information provided by governments depends upon the integrity of the process by which such information is produced, managed and communicated.  So too does trust in the decision-making process that makes use of such information. 

Furthermore, DDAA recognizes that scientists and researchers must uphold and conform to standards of excellence accepted by the wider research and scientific community. 

To this end, in designing, conducting, managing, reviewing, using or communicating research, science and related activities, DDAA employees shall:

6.1.   Ensure that all such activities are carried out in a manner that is consistent with all relevant and applicable standards of scientific excellence, research ethics, and responsible research conduct.

6.2.   Ensure that the conduct of DDAA research and science and any research or scientific products, as well as any associated communications, are free from political, commercial, client and stakeholder interference.

6.3.   In the absence of clear and compelling reasons for limiting disclosure, ensure that research and scientific information produced by DDAA is made available to the public in a timely manner and in keeping with the Government of Canada’s Directive on Open Government.

6.4.  Accurately represent and appropriately acknowledge the contributions of both themselves and others to their research or scientific work.

6.5.  Avoid conflicts of interest, and ensure that any real, potential or apparent conflict of interest is explicitly recognized, reported and appropriately managed.

6.6.  Encourage discussion based on differing interpretations of research and scientific evidence as a legitimate and necessary part of the research and scientific processes and, where appropriate, ensure that these differences are made explicit and accurately represented. 

6.7.   Ensure that the significant and meaningful contribution of researchers and scientists to government programs, policies, regulations, and decision-making is acknowledged in official publications or communications, including the names and roles of those who made significant contributions to these products and activities.

6.8. Report any breach of these principles (i.e. a breach of scientific integrity) to their supervisor, manager or designated official.

7.  Requirements

7.1.   Implementation

7.1.1.   This Policy will be communicated to all employees by the Deputy Head, with special attention to its implications to DDAA communications policies.

7.1.2.   DDAA will continue to develop and implement the additional procedures, policies, guidelines, tools, training and professional development opportunities necessary to support this Policy.

7.1.3.   DDAA will ensure that contractors and/or collaborators involved in, or providing services in support of, research, science or related activities are informed of this policy and encouraged to comply with its provisions and intent. 

 

7.2.   Fostering a culture of science integrity

DDAA recognizes two complementary approaches to fostering a culture of scientific integrity.  One focuses on instilling the virtues that underlie responsible conduct in research, science and related activities (s. 7.2.1).  A second focuses on the procedure for bringing allegations of breaches forward, the investigation of these allegations, and the consequences of a finding that a breach has occurred (s. 7.2.2)

7.2.1.   Science virtues

In accordance with relevant collective agreements and the TBS Policy on Learning, Training and Development[4]:

7.2.1.1.   DDAA recognizes the importance of research networking with national and international peers and active participation in the business and organization of relevant scientific and professional societies, which form an important part of ensuring scientists and researchers understand and are held to the standards of their communities.

7.2.1.2.   DDAA recognizes the importance of the virtues underlying scientific excellence, including intellectual curiosity and honesty, constructive skepticism, meticulousness, avoidance of bias, humility in the discovery and use of science evidence, and the limitations of scientific inquiry. To this end, it will ensure that learning policies support training, education and professional development opportunities that allow employees to further their understanding of, and appreciation for, these virtues.

7.2.1.3.   DDAA will ensure its learning policies support training, education, and professional development opportunities to inform and educate employees about responsible conduct in research, research ethics, and the annotation, management and archiving of research and scientific data.

7.2.1.4.   DDAA will encourage the development and implementation of a science integrity mentorship program for researchers and scientists, whereby mentors exhibiting exemplary science virtues in their conduct and work are paired with more junior employees. 

 

7.2.2.   Breaches of scientific integrity

7.2.2.1.   In cases of alleged breaches of scientific integrity, employees at all levels shall seek to resolve the issue in a fair and respectful manner and consider informal processes such as dialogue or mediation.  In such cases, employees are encouraged to discuss and resolve these matters with their immediate supervisor. They can also seek advice and support from other appropriate sources within DDAA.

7.2.2.2. The Deputy Head will appoint a DDAA Science Integrity Lead to address allegations of breaches of this Policy.

7.2.2.3.   The Science Integrity Lead will ensure that alleged breaches of this Policy shall be promptly and thoroughly reviewed and investigated by the DDAA.

7.2.2.4.   DDAA will endeavor to protect personal information and otherwise provide safeguards to ensure that employees may bring forward, in good faith, allegations of breach of scientific integrity or participate in an investigation procedure without prejudice or fear of reprisal.

7.2.2.5. When public servants have information that could indicate a serious breach of the Values and Ethics Code for the Public Sector they can avail themselves of the procedures laid out in the Public Servants Disclosure Protection Act[5].

 

7.3.   Openness, transparency and timeliness

DDAA recognizes and understands the importance of openness and transparency about all elements of the research and scientific process as well as the timely release of scientific and research information.  It nonetheless also recognizes that there may be legitimate and compelling reasons that may limit the disclosure or availability of research or scientific information to employees, stakeholders or the public.

7.3.1.   This policy, as well as any associated policies, directives or guidelines, may be posted on the DDAA’s public website in permission-less downloadable form.

7.3.2.   As the current policy and any associated policies, guidelines or tools are amended and revised, DDAA will maintain an annotated electronic archive of all such changes, with all archive elements available in permission-less downloadable form.

7.3.3.   No DDAA employee shall suppress, alter or otherwise impede the timely release of research or scientific information in the absence of clear and compelling reasons for doing so.

7.3.4.   DDAA employees shall ensure that research and scientific information (including that produced by contractors, grantees, or other partners who participate in, or assist with, the design, conduct, use or management of research, science or related activities) is produced and disseminated in a timely and transparent manner, in the absence of clear and compelling reasons for not doing so.

 

7.4.   Public communication of research and scientific information

DDAA recognizes the right to freedom of expression by researchers and scientists on matters of research or science.  It also recognizes the important role of researchers and scientists in communicating research and scientific information to the public.

Moreover, DDAA recognizes that as public servants, scientists, researchers and indeed all employees are subject to the Values and Ethics Code for the Public Sector as adopted April 2, 2012.  It further recognizes the need for caution and prudence in the public communication of classified or sensitive scientific or research information, as well as existing legal constraints on information disclosure.  Finally, DDAA recognizes that effective public communication requires certain skills, and that researchers and scientists may have different degrees of comfort with public fora.

7.4.1.   Researchers and scientists[6] shall have the right, and are encouraged, to speak about or otherwise express themselves on science and their research without approval or pre-approval and without being designated as an official spokesperson.  In doing so, they must respect the information disclosure provisions of the Access to Information Act[7], and the Values and Ethics Code for the Public Sector as adopted April 2, 2012.

7.4.2.   In any public communications, employees must be familiar with and respect any legal restrictions on information disclosure such as privacy rights, matters before the courts, and cabinet confidences.  They must also respect the Values and Ethics Code for the Public Sector as adopted April 2, 2012, and the Access to Information Act.  Unless explicit approval to do so has been given by supervisors or managers, classified or sensitive research or scientific information shall not be discussed in any public communication.

7.4.3.   In the case of planned formal public communication events with sufficiently long lead times (e.g. public talks or lectures), employees should notify their supervisor/manager of the upcoming event and provide a copy of their communication material for information purposes only and without prejudice.

7.4.4.   In the case of formal public communication events with short lead times (e.g. media interviews) that effectively preclude prior notification, employees should notify their supervisor/manager as soon as possible after the event for information purposes only and without prejudice.

7.4.5.   Pursuant to s. 7.4.2 and 7.4.3, DDAA will ensure that employees are provided with guidelines consistent with relevant collective agreements and the Directive on the Management of Communications, to assist them in determining the types of public communications for which supervisor/manager notification is desirable or required, and the appropriate timing and form of any such notifications.

7.4.6.   Researchers and scientists are under no obligation to act as public DDAA subject matter experts or appear in public fora, and may decline any such invitation or request without prejudice, unless explicitly given this task by management.

7.4.7.   Any public communication which describes work conducted by researchers or scientists must be reviewed and approved by them or their designates before publication or dissemination, and must acknowledge their contribution(s). In cases where a researcher or scientist does not wish authorship and/or their contribution to be acknowledged, they should be consulted as to whether, in their view, the work is accurately described and findings interpreted appropriately.

7.4.8.   Researchers and scientists are encouraged to participate in media training provided by the DDAA, but this is not a requirement for them to express themselves about science or their research.

7.4.9.   Where a researcher or scientist is speaking in the role of an official spokesperson, they must identify themselves by name and position and speak on the record for public attribution.

 

7.5.   Dissemination of research and scientific findings

DDAA recognizes that communication among researchers and scientists is critical to the development of scientific and scholarly knowledge.  Moreover DDAA recognizes that its researchers and scientists are part of a global community of scientific and scholarly expertise, their contribution to which is critical to maintaining and enhancing the credibility and reputation of DDAA experts, the reputation and credibility of DDAA, and the contribution of DDAA to the knowledge economy.

As with public communications, researchers or scientists disseminating or communicating information through research or scientific media are subject to, and bound by, the Access to Information Act, the Values and Ethics Code for the Public Sector as adopted April 2, 2012 and must abide by Treasury Board of Canada’s Directive on the Management of Communication where it does not conflict with the relevant collective agreements.  To this end, DDAA must have publication approval processes that are compatible with the relevant collective agreements.  Approval to publish will not be unreasonably withheld.

DDAA publication policies shall be examined to ensure that they are consistent with the following principles and procedures:

7.5.1.   Drafts of publications authored by DDAA researchers or scientists should be forwarded to their manager or supervisory and discussed in a timely fashion.  An electronic copy of the final version should be provided to the supervisor after acceptance and prior to publication by a publisher or other third party acceptance of the product.                                                                                                                     

7.5.2.   Notwithstanding article 7.5.1, DDAA research or scientific communications that do not contain explicit comments or recommendations on, or explicit discussions about, federal statutory, regulatory or policy matters do not require approval of managers, supervisors or other relevant personnel before being submitted for publication or otherwise communicated or disseminated to relevant audiences.

7.5.3.   Any communication that includes explicit comments or recommendations on, or explicit discussions about, federal statutory, regulatory or policy matters does require the approval of managers, supervisors or other relevant personnel before submission for publication or being otherwise communicated or disseminated. 

7.5.4.   For communications that do require approval, managers, supervisors or other relevant personnel may require revisions or editorial changes.  In the event that approval is contingent upon incorporation of such revisions or changes, and the author(s) are not in agreement with the suggested changes, the work will not be attributed to the employee if the employee so requests.  In the event that approval is withheld, the author(s) shall be so informed in writing of the reasons.

7.5.5.   In support of Articles 7.5.2 -7.5.4 and in consultation with PIPSC representatives,  DDAA will provide guidelines to assist researchers, scientists, managers and supervisors in identifying and distinguishing communications that do/do not require manager or supervisor approval.

7.5.6.   The responsible author(s) of any research or scientific communication must ensure that:

    • Approval of all listed authors and contributors is obtained;
    • The work in question is not a republication of original work except when the republication involves translation or dissemination to diverse audiences and is consistent with existing standards on republication;
    • All contributions to the work are appropriately acknowledged in a manner conforming to accepted standards of the relevant discipline(s) and publication(s);
    • DDAA authors’ federal affiliations are listed;
    • The communication has been subjected to appropriate independent peer review and that technical and/or editorial changes that may result from this review have been addressed;
    • Matters related to acknowledgements and official languages have been appropriately managed and administered;
    • The possibility of publishing in Open Access journals for scientific and technical papers has been explored;
    • They have exercised due diligence in ensuring that all issues related to intellectual property and related matters have been resolved;
    • They understand relevant terms and conditions for publication, including copyright and level of authority required for approvals.

Moreover, researchers and scientists should seek credible and reputable outlets for academic publication that conform to established practices and standards of academic publishing, including particularly rigorous peer review practices.

7.5.7.   In cases where DDAA scientists or researchers have provided data or information to be used in a government document (e.g. a report, briefing note, etc.), management and those responsible for preparing the documents should consult with the scientist or researcher concerned to ensure that the data/information is used and interpreted appropriately.

 

7.6.   Contributions to the scientific community

DDAA recognizes that the participation of DDAA researchers and scientists in the global scholarly community depends upon domestic and international collaboration and partnerships.  Such collaborations and partnerships provide important opportunities for DDAA researchers and scientists to leverage their expertise, knowledge and infrastructure in developing research and scientific knowledge to the benefit of Canadians.

To this end, DDAA will:

7.6.1.   Encourage and facilitate domestic and international research or scientific collaborations and partnerships between DDAA researchers and scientists and the external research and development communities in universities and colleges; provincial, territorial or indigenous governments; industry and business; and civil society.

7.6.2.   Make a reasonable effort to appropriately resource participation in relevant scientific and professional societies, working committees, conferences, workshops and symposia identified by both researchers and scientists as well as management.

7.6.3.   Make a reasonable effort to ensure appropriate engagement or participation of researchers and scientists in international science and research-based fora of which Canada is a formal member.

Furthermore:

7.6.4.   DDAA encourages activities related to collaboration with the extramural research and development communities, including the appointment of DDAA researchers and scientists to adjunct professorships.

 

7.7.   Role of employees in science advice and evidence-informed decision-making

DDAA recognizes that researchers and scientists have important roles to play in providing advice that informs federal programs, policy, regulations and law.  Research and scientific findings are an important source of evidence that must be appropriately considered in evidence-informed decision-making. 

Moreover, researchers and scientists have an important role to play in providing advice not only on the research required to resolve today’s issues, but also to identify emerging scientific and technical issues, research directions and opportunities. 

To this end and in consultation with PIPSC representatives, DDAA will develop and deploy transparent and systematic mechanisms and procedures for:

7.7.1.   Gathering, evaluating and incorporating scientific advice into the DDAA policy and   regulatory decision-making process. 

7.7.2.   Engaging employees in the design, development, and evaluation of robust and resilient research programs that will be able to meet the research needs of the future.

7.7.3.   Identifying and prioritizing areas of federal authority for which the current federal science or research capacity is inadequate or where federal investment in research and development is likely to provide substantial benefits to Canadians.

In addition, DDAA will:

7.7.4.   Support the development of training and professional development opportunities devoted to the roles of science and research in developing evidence to support evidence-informed decision-making.  Such opportunities may be made available to all employees who engage in, supervise, manage, support, review, use or report on research and scientific activities; analyze, curate or communicate data or information generated by these activities; and/or seek to use information derived from these activities in decision-making.

 

7.8.   Responsible conduct of research

DDAA is committed to ensuring that DDAA research and science conforms to the highest standards of responsible research conduct and shall strive to follow the relevant and applicable research practices honestly, accountably, openly and fairly in the development and dissemination of research and scientific knowledge. 

7.8.1.   Scientific integrity involves the application of concepts of transparency, openness, high quality work, avoidance of conflict of interest and ensuring high standards of impartiality and research ethics.  Employees involved in science or research shall conform to the standards of responsible research. Such standards include, but are not limited to ensuring that:

  1. All research and scientific activities (including study design and implementation; recording, analyzing, and interpreting data; and in reporting and publishing data and findings) are conducted with the highest scientific rigour;
  2. Complete and accurate records of data, methodologies and findings, including graphs and images, are maintained in a manner consistent with best practices.  This curation is essential to the verification and/or or replication of the work by others;
  3. Referencing and, where applicable, obtaining permission for use of all published and unpublished work, including data, source material, methodologies, findings, and images as appropriate;
  4. Authorship consent is obtained, and that all those and only those who have made a substantial (conceptual and/or material) contribution to, and who accept responsibility for, the contents of the publication or document;
  5. Individuals, organizations or institutions who have sponsored and/or funded the research are appropriately described and acknowledged;
  6. All and only those individuals who have participated in the research are appropriately recognized and acknowledged;
  7. The contribution of those and only those who have contributed to research, including funders and sponsors, is appropriately described and acknowledged;
  8. Any real, perceived or potential conflict of interest is reported and appropriately managed;
  9. Information included in grant or award applications is accurate and complete, including information on partners, collaborators, co-applicants, and that their permission to be listed has been obtained.
  10. Research involving humans or animals conforms with the Tri-council principles and procedures as specified in the Tri-Council Policy Statement: Ethical Conduct for Research Involving Humans[8] and the Canadian Council on Animal Care Guide to the Care and Use of Experimental Animals[9] respectively.

7.8.2.   Employees involved in science or research shall avoid breaches of responsible research conduct.  Such breaches include, but are not limited to:

  1. Fabrication: Making up data, source material, methodologies or findings, including graphs and images;
  2. Falsification: Manipulating, changing, or omitting data, source material, methodologies or findings, including graphs and images, without acknowledgement and which results in inaccurate findings or conclusions;
  3. Destruction of research records: The destruction of one’s own or another’s research data or records to specifically avoid the detection of wrongdoing or in contravention of this or any other applicable policies and/or laws, regulations and professional or disciplinary standards;
  4. Plagiarism: Presenting and using another’s published or unpublished work, including theories, concepts, data, source material, methodologies or findings, including graphs and images, as one’s own, without appropriate referencing and without permission where required;
  5. Redundant publication or self-plagiarism: The re-publication of one’s own previously published work or part thereof, including data, in any language, without adequate acknowledgment of the source, or adequate justification;
  6. Invalid authorship or contributions: Inaccurate attribution of authorship, including attribution of authorship to persons other than those who have made a substantial contribution to, and who accept responsibility for, the contents of a publication or document.  Invalid authorship also includes the failure to acknowledge those who have made substantial contributions to the work in question;
  7. Mismanagement of conflict of interest: Failure to appropriately identify and address any real, potential or apparent conflict of interest;
  8. Inaccurate grant and awards application: Providing incomplete, inaccurate or false information in a grant or award application or related document, such as a letter of support or a progress report;
  9. Inaccurate statement of collaborations. Listing of co-applicants, collaborators or partners without their agreement.

 

7.9.   Monitoring and performance evaluation

DDAA should review this and associated policies, guidelines or tools to ensure they remain relevant and seek employee and applicable bargaining agent input and feedback on the implementation of this Policy and provide performance indicators as practical.

7.9.1.   In consultation with the Office of the Chief Science Advisor (OCSA) and PIPSC representatives, the DDAA will design, develop and implement a monitoring plan for this Policy that will provide information on (a) the extent to which the policy has achieved its objectives (that is, policy performance); and (b) future policy and associated instrument (e.g. guidelines, directives, etc.) adjustments, modifications or changes likely to improve policy performance.  Any such plan must have regard for other government initiatives or circumstances that may affect estimated performance independent of, or in concert with, the Policy.

7.9.2.   Any plan developed under article 7.9.1 must explicitly identify (a) the performance indicators that will be monitored; (b) how the data on these indicators will be collected, annotated and curated; (c) how performance baselines will be characterized; and (d) how changes from baseline will be estimated and evaluated.

7.9.3.   A copy of all data and information collected as part of the monitoring plan will be forwarded annually to the Office of the Chief Science Advisor (OCSA), the appropriate National Union-Management Consultation Committee and the Governance Committee for  Implementation of Government-Wide Scientific Integrity Policy comprised of the Secretary of the Treasury Board, the Chief Science Advisor and the President of the Professional  Institute of the Public Service of Canada.

8. Responsibilities

Deputy Head

The Deputy Head and its delegates are responsible for fostering an environment that encourages excellence and integrity in research, science and related activities, and for promoting a culture of open communication where employees may disclose, in good faith, information concerning breaches of scientific integrity.  The DH is also responsible for:

  • ensuring that this Policy is communicated to all employees;
  • monitoring compliance with this Policy within DDAA and taking corrective action as needed;
  • performance evaluation of this Policy;
  • providing an annual confirmation of the compliance and reporting with this Policy as requested by the Governance Committee for  Implementation of Government-Wide Scientific Integrity Policy.

Directors, managers and supervisors

Directors, managers and supervisors are responsible for implementation of this Policy.  Such responsibilities include:

  • informing employees about this Policy and ensuring that they are aware of their rights and responsibilities and obligations under the Policy;
  • ensuring compliance with this Policy, providing to employees information about the processes available to them if they wish to make an allegation under this Policy, and addressing all allegations of breach of scientific integrity that are brought to their attention or of which they are aware;
  • ensuring that employees are aware of professional development and training opportunities that may be available in support of this Policy.

Specific responsibilities will be articulated in procedures and guidelines that will be developed to support this Policy.

DDAA employees who conduct research, science or related activities

All DDAA employees involved in the design, conduct, management, review, use or communication of research, science or related activities, and all persons conducting research, science or related activities under the auspices of DDAA will have primary responsibility for:

  • ensuring their behaviour and conduct conforms to the principles of scientific integrity;
  • ensuring that they design, conduct, manage, review, use or communicate research or science in a manner fully consistent with this Policy;
  • reporting a suspected breach of scientific integrity as soon as possible; and
  • participating in good faith in any inquiry or investigation conducted pursuant to this Policy. 

9.  Definitions

Alteration (of a scientific or research work): any change in the form or content of a research or scientific work that may affect the interpretation of the work and/or its implications.

Breach (of scientific integrity): failure to abide by any of the provisions described in s. 6 or s. 7 of this Policy.

Classified or sensitive research or scientific information: research or scientific information which would be normally be considered to be exempt from disclosure under the Access to Information Act.

Clear and compelling reasons (for withholding publication of scientific or research information):  legitimate reasons include, but are not limited to: (a) disclosure of such information is exempt under the Access to Information Act[10] or the Security of Information Act; (b) technical or technological constraints limit or prevent making the information available.

Client: any person, institution or organization, whether internal or external to government, who is the recipient and/or user of research or scientific data, products, services or information, and who is involved with establishing the question or topic of the research or scientific work in question.

Collaborator: any person, organization or institution with whom/which a DDAA employee undertakes the design, conduct, management, review or communication of research, science, or related activities and who/which does not receive direct or indirect remuneration.

Communication (of science): science communication involves any exchange of scientific or research information (including research results and interpretations thereof, methods, protocols, data, and products) in any form, between or among researchers or scientists (science and research producers) and the consumers or users of this information, including the public, other scientists or researchers, other government employees, and clients.

Compelling evidence:  evidence of sufficient strength to convince the decision-maker that it is likely that the claim for which the evidence is adduced is true.

Deputy Head: as defined in section 11(1) of the Financial Administration Act.

Employee:  this is in most cases to be interpreted broadly to cover all employees within a department or agency, all of whom have a greater or lesser role to play in the scientific integrity procedures described in this Policy.

Interference: any action that alters or suppresses the work or the impartiality of a scientist or researcher, as understood within the Values and Ethics Code for the Public Sector, including the expectation that they provide decision makers with all the information, analysis and advice they need, while striving to be open, candid and impartial. Interference also includes alteration or inappropriate suppression of research methodology and results or dissuasion of reporting of results by any party, including clients.

Related activity: any activity that (a) supports science or research (e.g. laboratory operations and management; infrastructure (including information and communication infrastructure); (b) uses research or scientific information as an input (e.g. solicitation or preparation of science advice; evaluation of research or scientific evidence); (c) involves the curation, communication or archiving of scientific or research data or information.

Research: any undertaking intended to extend knowledge through a disciplined inquiry or systematic investigation[11].

Researcher: employees primarily involved in the application of comprehensive scientific and professional knowledge to the planning, conduct, evaluation and management of fundamental or applied research, knowledge enhancement, technology development and innovation relevant to defence science, historical research and archival science, mathematics and the natural sciences.  (N.B.   These definitions follow the RE occupational group definition for the public service[12].)

Science: the pursuit and application of knowledge and understanding of the natural world through application of one or more elements of the scientific method.  In the context of the current policy, it is understood to include both fundamental and applied natural, physical, biomedical and social science, as well as engineering and mathematics[13].

Scientific integrity: the condition resulting from adherence to concepts of transparency, openness, high quality work, avoidance of conflict of interest and ensuring high standards of impartiality and research ethics.

Scientist: employees primarily involved in the application of comprehensive scientific and professional knowledge to one of the applied science programs involving actuarial science, agriculture, biology, chemistry, forestry, meteorology or physical sciences, which include physics, planetary and earth sciences, scientific regulation and patents.  (N.B.  These definitions follow the SP occupational group definition for the public service[14].)

Suppression (of a scientific or research work): the deliberate withholding of a scientific or research work, or any portion thereof, from publication or dissemination, in the absence of clear and compelling reasons for doing so.   

Timely manner: within a time frame that is consistent with usual review and approval processes, and consistent with logistical and resource constraints.  The DDAA or external collaborators may impose reasonable embargo periods to respect the right of a principal investigator to first publication.

10. Enquiries

For further information on this policy, contact XXXX.



[1] Values and Ethics Code for the Public Sector: https://www.tbs-sct.gc.ca/pol/doc-eng.aspx?id=25049

[2] Directive on the Management of Communications: https://www.tbs-sct.gc.ca/pol/doc-eng.aspx?id=30682

[3] Policy on Conflict of Interest and Post-Employment: https://www.tbs-sct.gc.ca/pol/doc-eng.aspx?id=25178

[4] Policy on Learning, Training and Development: https://www.tbs-sct.gc.ca/pol/doc-eng.aspx?id=12405

[5] Public Servants Disclosure Protection Act: http://laws-lois.justice.gc.ca/eng/acts/P-31.9/

[6] For the purposes of Article 7.4, the term “researcher(s)” and “scientist(s)” are understood to mean researchers (RE) and applied scientists (SP) as specified in the occupation group definitions for the public service – see s. 9 of the Policy. This definition may expand as additional bargaining units sign on to similar scientific integrity agreements.

[8] Tri-Council Policy Statement: Ethical Conduct for Research Involving Humans

[9] Canadian Council on Animal Care  Guide to the Care and Use of Experimental Animals, Vol. 1 (2nd edition): https://www.ccac.ca/Documents/Standards/Guidelines/Experimental_Animals_Vol1.pdf

[11] Adopted from the 2008 Tri-Council definition of research, available at: http://www.pre.ethics.gc.ca/policy-politique/initiatives/docs/Definition_of_Research_-_January_2008_-_EN.pdf

Across Canada and around the world today, people are marching for science. Under U.S. president Donald Trump’s administration, the dismissal and defunding of science – especially, but not limited to, climate and environmental science – has given new urgency to efforts to protect and promote science in the public interest. Growing restrictions on U.S. immigration are also leading many talented scientists to look elsewhere for opportunities, including in Canada.

It’s easy and comforting perhaps to think that similar problems encountered under the former Harper government in Canada have been resolved since the election of the Trudeau government in 2015. But while the Trudeau government has proven much more supportive of science than the former Harper government, serious systemic problems remain that endanger both the integrity and future of public science in Canada. They cannot wait to be resolved by a later generation or government.

According to a recent Environics survey of federal scientists commissioned by the Professional Institute of the Public Service of Canada, over half (53%) of respondents continue to say they cannot speak freely about science and their research. While that’s a marked improvement over the 90% who said the same thing in 2013, it’s hardly reassuring to think that fewer than half of federal scientists are free to tell Canadians what they do for a living – or what they know. The chill of the previous government lingers. Many blame the management culture created by nearly a decade of Harper government policies.

In a groundbreaking win for the public interest last year, our union collectively bargained the right of federal scientists to speak about science and their research. But rights are only as good as the efforts to promote and enforce them. The problem of too few scientists feeling able to speak out can only be solved by more aggressive efforts to educate both scientists and managers in their respective rights and obligations.

Then there is the issue of women and science. For a government that prides itself on its feminism, including appointing highly-accomplished women to the key roles of Minister of Science and Chief Science Advisor, it should come as a wake-up call that nearly half (42%) of women scientists in the federal government see gender bias as a barrier to their professional advancement. The problem, according to the same Environics survey, is particularly pronounced among women scientists under 30, who are twice as likely as older scientists to perceive favouritism towards men in the hiring process.

In addition, a separate, wider survey of federal public servants, undertaken in 2017 by the Joint Union-Management Task Force on Diversity and Inclusion in the Public Service, found 74% of respondents identified bias as a top barrier to diversity and inclusion in the workplace.

Science should be free of any perceived bias, and so should the hiring of scientists.

Not least among the issues that continue to threaten the integrity and future of Canadian science are the actual budgetary resources available to the scientists Canada employs. While this year’s federal budget included important reinvestments in the National Research Council and new money to spur innovation (mostly targeted at the private sector and universities), the legacy of the former Harper government’s cuts has meant departmental funding is not fully restored.  In fact, the same survey of federal government scientists found that 58% of respondents disagreed that their respective departments had sufficient resources to fulfill their mandates.  

Of all the concerns identified by federal scientists surveyed in 2013 and 2017, however, protection for whistleblowers remains the highest. In 2013, 88% of federal scientists surveyed said stronger laws protecting whistleblowers would better serve the public. In 2017, 89% said the same.

Transparency shouldn’t come at the cost of one’s career. In a country and a world where science is indispensable to overcoming ignorance and ideology, whistleblowing matters more than ever.

That’s as good a reason as any to march for science.

Debi Daviau is President of the Professional Institute of the Public Service of Canada (PIPSC), which represents over 55,000 scientists and other professionals, most of them employed by the federal government.