Since 2019, the federal government has imposed a series of research security regulations. The details about what these regulations require continue to evolve. Cornell partners with researchers to ensure that all activities are conducted compliantly. Topics relevant to research security include foreign talent programs; export controls considerations; proper and timely disclosures of outside activities, in-kind and other support, and foreign travel; data and cybersecurity; and others.

Cornell's Commitment to International Collaboration

It's important to remember that foreign nationals who are part of the Cornell community as faculty, staff, students, and postdocs are not the target of any of these changing regulations. NSPM-33 guidance includes many "shoulds" but there is one important "must": 

"It is essential that the policies and consequences must be applied without discrimination in any way, including with respect to national origin or identity.”

Essentials at a Glance

Cornell faculty and staff should expect the following as part of our shared responsibilities to safeguard our work.


Continued Focus
DisclosuresComplete and accurate disclosures of all outside activities (paid and unpaid), in-kind and other support, and foreign travel are of the utmost importance.

Log into RASS to complete disclosures. 
Export ControlsAll international shipments and use of controlled technology must be pre-approved by the Export Control Office.
TrainingNumerous new federal mandates for training are covered in Cornell’s new Research Security and Responsible Conduct of Research Course.

Required for all researchers.

Recent Updates
Malign Foreign Talent ProgramsLargely prohibited. See details
Foreign Countries of ConcernAll engagements with individuals or entities in China, Russia, Iran, or North Korea must be reviewed by the Research Security office.

Expected Updates
CybersecurityNew federal requirements impacting the security of devices used on awards.
Foreign TravelNew federal requirements that some or all foreign travel be pre-approved.

 

Cornell is well positioned to address evolving requirements and is looking forwarding to partnering with researchers to ensure all obligations are met.


How does Cornell partner with researchers to address federal requirements?

  • Strives to be proactive—smooths the way for effective compliance.  
  • Actively monitors regulations. Consults with peers. Engages with professional associations.
  • Collaborates internally across offices and areas of expertise (OVPIA, OVPRI, OSP, CTL, ORIA…)
  • Improves Cornell policies as required and provides guidance on the Research Services website.
  • Collects information from researchers using central systems to reduce burden as much as possible. (Conflict of Interest; RASS; etc.)
  • Screens entities against restricted party lists.
  • Alerts from RASS for sponsored projects, for example if a project involves an entity located in a foreign country of concern.