Tag: open access mandate compliance

  • OMB Publication Cost Ban vs the Nelson Memo: What to Negotiate Before October 2026

    The OMB publication cost ban is a proposed revision to 2 CFR 200.461, published in the Federal Register on 29 May 2026, that would make article processing charges (APCs), page charges and colour-figure fees categorically unallowable on federal research awards unless a project specifically budgets and pre-approves them. It arrives while the Nelson Memo’s zero-embargo mandate still requires the same federally funded researchers to make their papers immediately, freely available — a collision research offices need to plan for now, not after the 1 October 2026 effective date.

    In plain terms, the OMB publication cost ban is a default-flip: where 2 CFR 200.461 today allows publication costs as “necessary for the performance of the Federal award,” OMB’s proposed rule presumes them unallowable unless a federal statute requires otherwise or the awarding agency approves them case by case.

    What does the proposed 2 CFR 200.461 rule actually change?

    The Office of Management and Budget’s Notice of Proposed Rulemaking, “Regulation for Federal Financial Assistance” (Federal Register, 29 May 2026, docket 2026-10817), rewrites large sections of the Uniform Guidance in 2 CFR Part 200, including a reversal of §200.461’s default treatment of publication costs.

    Today, publication and printing costs — including APCs at open-access journals and page or colour-figure charges at hybrid titles — are allowable when they report on federally supported work and are levied impartially. Under the proposed text, APCs and “similar fees such as open access fees for professional journal publications” become unallowable except where federal law compels payment or the agency grants case-by-case approval. Comments were due 13 July 2026, though the Council on Governmental Relations has requested an extension; the rule, if finalised as drafted, takes effect 1 October 2026.

    Two consequences follow directly. First, publication spending long absorbed informally into supplies budgets must become an explicit, pre-approved line item at award time. Second, the same NPRM proposes restricting §200.454, which today makes “subscriptions to business, professional, and technical periodicals” allowable; the revised text adds academic periodicals to the unallowable list, though Authors Alliance’s analysis of the NPRM notes it remains genuinely unclear whether OMB intends this to reach institutional library budgets or only project-specific subscriptions.

    How does the ban collide with the Nelson Memo’s zero-embargo mandate?

    The Nelson Memo is the August 2022 Office of Science and Technology Policy directive, “Ensuring Free, Immediate, and Equitable Access to Federally Funded Research,” which instructed every federal agency funding at least $100 million in research and development to eliminate the optional 12-month embargo on peer-reviewed manuscripts and data. Agency policies implementing that directive — including NIH’s revised Public Access Policy (NOT-OD-25-047) and NSF’s public access policy update (PRPD-25-001) — took effect largely across 2024 and 2025, and now require immediate deposit of the accepted manuscript with no embargo period.

    The Nelson Memo did not treat compliance as costless. It explicitly directed agencies to allow researchers to include reasonable publication costs as allowable expenses in research budgets — the same cost category §200.461 would now presume unallowable. Immediate open access is typically achieved one of three ways: paying an APC for gold open access, depositing the manuscript under green open access, or paying through an institutional transformative (read-and-publish) agreement. The proposed rule directly restricts the first route, is largely neutral toward the second, and creates real ambiguity for the third, since indirect-cost-funded transformative agreements do not fit naturally into case-by-case, award-level pre-approval.

    One provision is conspicuously untouched: the federal purpose licence at 2 CFR 200.315(b) — the legal mechanism agencies use to deposit grant-funded manuscripts in public-access repositories — remains in the proposed text as drafted. The legal basis for zero-embargo repository deposit survives even as the funding route for paid open access narrows. Institutions cannot assume the mandate will soften just because the money is harder to find.

    What happens to subscriptions, transformative deals and the international picture?

    Read-and-publish agreements sit awkwardly across both proposed changes. Universities that have negotiated these deals typically bundle subscription access and OA publishing rights into a single institutional payment, usually drawn from the indirect cost pool rather than itemised per article. If §200.454’s subscription restriction is read to include institutional library subscriptions, and §200.461’s APC restriction is read to include the OA-publishing component of transformative deals, the combined effect could touch both halves of a single contract — without either provision naming transformative agreements directly.

    The US retreat looks unusual against comparable funder policy elsewhere. UKRI and Horizon Europe’s cOAlition S signatories already fund publication costs directly through block grants or eligible-cost provisions, because their zero-embargo mandates presuppose a funding route. For a collaboration with a US subrecipient and non-US lead institution, that divergence determines which partner’s budget can legally absorb the APC.

    Funder / jurisdiction Zero-embargo OA requirement Publication cost funding stance
    US federal agencies (NIH, NSF, DOE, USDA) under the Nelson Memo Yes — immediate deposit, no embargo Proposed 2 CFR 200.461 would make APCs presumptively unallowable absent pre-approval
    UKRI (UK) Yes — immediate OA required for most outputs Block grants and in-scope grant costs explicitly fund APCs
    Horizon Europe / cOAlition S signatories Yes — Plan S zero-embargo principle APCs treated as eligible project costs where OA is mandated

    Offices administering joint US–UK or US–EU awards should treat this as a live compliance risk: the same paper may need immediate deposit under one funder’s rules while its lead US institution can no longer legally pay the APC that made deposit unnecessary.

    What should research offices negotiate before October 2026?

    Institutions have a narrow window before the effective date:

    • Budget publication costs explicitly. Awards dated after 1 October 2026 should carry a named, pre-approved publication line item rather than relying on discretionary reallocation later.
    • Clarify transformative agreement language. Confirm with publishers, in writing, whether institutional payments are classified as subscription or publication costs, since §200.461 reaches the substance of a payment, not its label.
    • Document green open access workflows. Since the federal purpose licence under 2 CFR 200.315(b) is unaffected, manuscript deposit to agency repositories remains the most audit-resistant compliance path.
    • Submit substantive comments. Comments citing the Nelson Memo, NOT-OD-25-047 and PRPD-25-001 by name, documenting the operational conflict directly, carry more weight than generic objections.
    • Map multi-funder awards. Offices running US–UK or US–EU collaborations should flag which funder’s rules govern publication costs before submission, not at closeout.

    Answer-first: quick questions on publication costs

    Who pays for publication fees?

    Publication fees are typically paid by the author’s research funder, their institution, or the author directly. Under current US federal rules, grant funds routinely cover APCs; the proposed 2 CFR 200.461 revision would shift that burden onto institutions unless a project specifically budgets for it in advance.

    How much does it cost to publish in open access?

    Article processing charges vary widely by publisher and journal tier, from no charge at diamond open-access titles to several thousand dollars at flagship journals. The figure depends on venue, not funder — which is why offices need a pre-approved, venue-agnostic publication budget line rather than a fixed assumption.

    Why are article processing charges so high?

    Article processing charges reflect editorial, peer-review and production costs plus, at prestigious titles, a reputation premium. Because funders rather than competitive pricing pressure have historically absorbed these charges, journals have had limited incentive to reduce them.

    Implications and outlook

    The contradiction between a rule that bans paying for open access and a mandate that requires it will not resolve itself quietly. Litigation, a revised final rule, or an OMB clarification narrowing “case-by-case” to budget-level rather than publication-level approval are all plausible before 1 October 2026. What is not plausible is that either policy simply disappears: the Nelson Memo’s zero-embargo requirement is embedded in agency policy notices already in force, and the OMB rewrite proceeds under Congress’s grant of authority at 31 U.S.C. 503.

    For research administration offices, the safest posture treats the coming months as a negotiation window, not a waiting period: secure pre-approved publication lines, harden green open-access workflows under the still-intact federal purpose licence, and map which funder’s cost rules govern each collaborative output. Institutions doing that work now will keep publishing compliantly under both regimes; those waiting for the contradiction to resolve will inherit the audit findings meanwhile.

  • Why Publish Open Access? A Case for Researchers, Funders and Institutions

    Why publish open access? Because immediate, paywall-free publication increases a paper’s readership and citation potential, satisfies funder mandates from cOAlition S, UKRI and Wellcome, keeps outputs REF-eligible, and extends publicly funded research to readers who cannot access subscription journals — benefits that typically outweigh the cost of article processing charges.

    Open access is a publishing model in which the final, peer-reviewed version of a research output is made freely available online at the point of publication, without a subscription or paywall, under a licence that permits reuse. That single design choice — removing the paywall — is what drives every benefit and every trade-off discussed below.

    Why does open access matter for visibility and citation?

    Removing a paywall expands a paper’s potential readership beyond subscribing institutions to independent scholars, clinicians, policymakers and researchers in lower-income countries. Publisher-commissioned meta-analyses report open-access citation advantages in the region of 18–40%, a range corroborated by Taylor & Francis and Springer Nature author-services data. Independent bibliometricians caution that part of this gap reflects self-selection — authors tend to pay for open access on papers they already judge to be their strongest — so the advantage should be read as a correlation, not a guaranteed multiplier.

    Visibility gains are strongest for interdisciplinary and applied fields, where readers outside a paper’s home discipline or sector are less likely to hold a subscription. For research administrators tracking impact, unrestricted access also improves the reliability of usage metrics reported to funders and REF impact case studies, since download and view counts are not artificially depressed by paywall friction.

    Why do funders require open access?

    A growing share of research funding now carries a binding open-access condition, not a recommendation. Non-compliance can mean ineligible outputs, clawed-back grant funds, or exclusion from future funding rounds — which is why open access has shifted from an ethical preference to a compliance requirement for most UK and European researchers.

    • cOAlition S / Plan S — launched in 2018, this consortium of research funders requires immediate open access with no embargo, typically under a CC BY licence, for all funded research articles.
    • UKRI — UKRI’s open access policy has applied to journal articles and conference proceedings from grants awarded since 1 April 2022, and extended to monographs, book chapters and edited collections from 1 January 2024.
    • Wellcome — Wellcome’s open access policy requires immediate open access under a CC BY licence for all research articles arising from Wellcome funding, with no embargo permitted.
    Funder Embargo permitted Preferred licence Route accepted
    cOAlition S (Plan S) No CC BY Gold or green with no embargo
    UKRI No (journal articles) CC BY Gold or green via repository deposit
    Wellcome No CC BY Gold, with preprint posting expected

    These mandates are the practical reason many researchers no longer treat open access as optional: the funding itself is now conditioned on it.

    Why is open access so expensive?

    The commonest objection to open access is cost. Gold open access is usually funded through an article processing charge (APC) paid by the author, institution or funder rather than by the reader, and APCs at established hybrid and fully open-access journals frequently run into several thousand pounds per article. That cost has not disappeared — it has moved from the reader’s library subscription to the author’s grant budget, which is precisely why the objection persists even as access improves.

    Three developments are making that cost more visible and, in places, avoidable:

    • Price transparency requirements — cOAlition S’s Price and Service Transparency Framework requires participating publishers to disclose a cost breakdown behind their APCs, rather than setting a single opaque list price.
    • Transformative and Read-and-Publish agreements — many UK institutions now hold deals with major publishers that bundle subscription and publishing costs, so individual authors at those institutions pay no APC directly.
    • No-fee routes exist — green open access (self-archiving the accepted manuscript in a repository) and diamond open access (journals that charge neither reader nor author) both avoid APCs entirely; a substantial share of journals indexed in the Directory of Open Access Journals charge no APC at all.

    The honest answer to “why is open access so expensive” is that the cost of publishing has not fallen — it has been reallocated and, under frameworks such as Plan S’s transparency requirement, made auditable in a way subscription pricing never was.

    Is open access REF-ready — and who else benefits?

    For UK institutions, open access is also an assessment-eligibility issue. REF’s open-access policy, first applied in REF 2021 and carried forward into REF 2029 preparations, requires eligible journal articles and conference proceedings to be deposited in an institutional or subject repository within three months of acceptance to count towards the exercise. An output published open access but deposited late, or not deposited at all, can be ruled ineligible regardless of its quality — making the deposit step, not just the publishing decision, the compliance-critical action.

    Beyond assessment mechanics, open access serves the public-benefit case that funders increasingly require research to articulate: publicly funded findings reaching the clinicians, teachers, small businesses, patient groups and policymakers who funded them through taxation but who never held a university library card. This is the same accountability logic behind open metadata and contributor-transparency standards more broadly. CASRAI originated the CRediT contributor role taxonomy in 2014 as one such standard; it is now stewarded by NISO as ANSI/NISO Z39.104-2022, and, like open access itself, exists to make the research record more usable to people beyond the original authorship team.

    Common questions about publishing open access

    Should you publish open access?

    In most cases, yes — and increasingly it is not discretionary. If your funder is part of cOAlition S, or is UKRI or Wellcome, open access is a condition of the grant. Even without a mandate, the visibility, compliance and public-benefit case generally outweighs the APC cost, particularly where a transformative agreement or green route removes that cost entirely.

    What are the benefits of open access publishing?

    The core benefits are wider readership, a documented (if contested) citation advantage, compliance with funder mandates, REF eligibility when deposited correctly, and public access for readers outside subscribing institutions. Authors publishing gold open access also typically retain copyright under a CC BY licence rather than assigning it to the publisher.

    Do authors pay for open access?

    Often, but not always. Gold open access is usually funded via an APC paid by the author’s institution or funder. Green open access (repository self-archiving) and diamond open access (no-fee journals) both let authors publish openly without paying an APC at all.

    What are the disadvantages of open access publishing?

    The main drawbacks are APC cost where no waiver or agreement applies, uneven journal-quality perceptions in some fields, and the administrative burden of tracking funder-specific licensing and deposit requirements. Predatory journals exploiting the APC model are a further, separate risk that authors should screen for via journal vetting tools.

    What this means for authors going forward

    The direction of travel is unambiguous: funder mandates are expanding, not retreating, and REF-style assessment exercises are tightening deposit compliance rather than relaxing it. Researchers, institutions and publishers who treat open access as a compliance and visibility strategy — choosing the route (gold, green or diamond) that matches their funder’s requirement and their budget — are better positioned than those who treat each publication decision in isolation. The cost objection remains real, but transparency frameworks and no-fee routes mean it is no longer the unanswerable objection it once was.

  • Open Access Mandate Compliance: What Seven Years of Plan S Data Show

    Seven years after cOAlition S launched Plan S in September 2018, the question is no longer whether funder mandates can move the needle on open access mandate compliance — it is what, specifically, moved, and what stayed stuck. cOAlition S’s own monitoring reports, rather than advocacy claims on either side, now give a reasonably clear evidence base for answering that.

    What Plan S Set Out to Achieve

    Plan S was convened through Science Europe with backing from the European Commission and the European Research Council. Its ten principles required that, from an implementation date eventually set at 1 January 2021 (pushed back a year from the original 2020 target), research funded by signatory organisations be published immediately open access, under an open licence, with no embargo.

    The coalition grew to more than two dozen public and philanthropic funders, including UKRI, Wellcome, and — aligned in principle if not formal membership — the Bill & Melinda Gates Foundation. Crucially, Plan S explicitly disfavoured hybrid subscription journals unless covered by a time-limited “transformative arrangement.”

    The Compliance Data: What Changed Since 2018

    Two mechanisms did most of the practical work. The Rights Retention Strategy, introduced in 2021, lets authors attach a CC BY licence to their accepted manuscript at submission — enabling compliant Green open access regardless of a publisher’s stated embargo. The Journal Checker Tool, launched the same year jointly with Wellcome and UKRI, lets authors verify funder-compliant routes journal by journal before submitting.

    According to cOAlition S’s own 2023 Annual Review, around 80% of research outputs from coalition-funded grants were published open access — above the roughly 60% global baseline for research generally. That gap is the strongest single piece of evidence that mandate-plus-tooling outperforms voluntary policy alone.

    • Gold OA (immediate, via publisher) became the most-used compliant route.
    • Green OA via the Rights Retention Strategy grew as a no-cost alternative.
    • Compliance has been consistently stronger in STEM fields than in humanities and social sciences, where funding structures differ.

    Publisher Pricing and Journal Behaviour

    Publisher behaviour shifted more than pricing transparency did. Transformative agreements — contracts bundling subscription access with open-access publishing rights — proliferated rapidly after 2018, particularly across Europe and North America; by 2024 they were supporting open-access status for well over 300,000 publications, accounting for a substantial share of global gold OA output.

    That growth came with a cost concern cOAlition S itself flagged: article processing charges concentrated financial risk on authors and institutions rather than reducing it. In response, cOAlition S announced it would stop funding “transformative journals” specifically after the end of 2024, and co-published an Action Plan for Diamond Open Access with Science Europe and OPERAS to seed no-fee, community-run alternatives.

    Route Author cost Plan S compliance status
    Gold (fully OA journal) Article processing charge, often funder-paid Compliant
    Green (Rights Retention Strategy) None Compliant, no embargo
    Hybrid via transformative agreement Bundled into institutional deal Compliant, time-limited
    Diamond/community-led None Compliant, prioritised post-2024

    The unresolved piece is longform outputs. A recent British Academy report found Book Processing Charges from larger publishers typically run £10,000–£20,000 per title, against a UKRI block-grant cap of £10,000 — and that only 18% of book records in UK institutional repositories actually hold the full text. The UK’s own REF 2029 exercise will not mandate open access for monographs this cycle; Research England confirmed in December 2024 it will apply from the following assessment period, from January 2029.

    Common Questions on Open Access Mandates

    What is an example of an open access initiative?

    Plan S is the clearest example: a funder-driven mandate launched by cOAlition S in 2018 requiring immediately open, freely reusable publication of any research these funders finance. Members include UKRI, Wellcome, the European Commission, and national research councils across more than a dozen countries.

    Do authors have to pay for open access?

    Not necessarily. Plan S’s Rights Retention Strategy lets authors deposit a CC BY-licensed accepted manuscript in a repository at no cost, satisfying compliance without an article processing charge. Gold open access typically requires a publication fee, which is why cost remains the mandate’s most contested feature.

    What are the disadvantages of open access?

    Critics point to article processing charges shifting costs from readers to authors, disadvantaging researchers at under-resourced institutions and in the Global South. Smaller and society publishers have struggled to compete for transformative agreements, and humanities disciplines have seen slower, patchier compliance than STEM fields.

    What exactly does open access mean?

    Open access mandate compliance means meeting a funder’s specific publishing requirements — typically an approved licence (usually CC BY), a maximum embargo period, and deposit in a recognised repository or journal. cOAlition S tracks this through annual monitoring reports rather than self-certification alone.

    What This Means for Institutions and Researchers

    For research administration teams, the practical upshot is that compliance now runs on tooling, not trust: the Journal Checker Tool and Rights Retention Strategy shifted the burden of proof from post-hoc audits to pre-submission checks. That has measurably raised article-level compliance rates without waiting for every journal to convert to full open access.

    It has not, however, solved cost equity. Institutions negotiating transformative agreements have effectively subsidised large commercial publishers’ transition, while smaller and society publishers, and now book publishers, face a structurally different cost problem that article-level mechanisms don’t reach. Consulting a shared reference point such as CASRAI’s open research dictionary can help teams keep licensing and embargo terminology consistent across funder policies.

    Where Plan S Goes Next

    cOAlition S’s 2023 “Towards Responsible Publishing” proposal signalled a pivot away from journal-brand mandates toward funder-supported repositories and article-level open access, still under consultation. Combined with the Diamond Open Access Action Plan and the UK’s REF 2029 timeline for monographs, the next phase of Plan S looks less like a single global rule and more like a set of interoperating, funder-specific mechanisms — a shift that will make monitoring data, not policy text, the real measure of what “compliance” ends up meaning.