16 May 2008
Manager, Risk Management and Insurance
Gallaudet University expects its employees to perform their duties in accordance with applicable laws and regulations, University policy and procedures and high ethical standards. The University is committed to compliance with all applicable laws and regulations and to promulgate and administer University policies and procedures that faithfully apply such laws and regulations. Policy compliance strengthens and promotes ethical practices and respectful treatment of all members of the University community and those who conduct business with the University.
The purpose of this policy is to encourage and enable good-faith reports by University employees and others of observed or suspected misconduct or noncompliance with law or with University policies and procedures. This policy is intended to encourage and enable employees and others who have good-faith serious concerns about misconduct, including violations of law, regulations or University policies and procedures or other conduct (misconduct) to raise them with the University before seeking external resolution. This policy is not intended to supplant, but rather to complement and supplement, existing University policies. It does not affect any rights, responsibilities or procedures set forth in other University policies addressing misconduct. For example, complaints or grievances such as those regarding discrimination or harassment, other personnel and employment matters, academic and disciplinary matters, academic freedom, research misconduct and other matters as to which there are specific University policies, should ordinarily be made and addressed in accordance with the University policies applicable to such matters and applicable law.
Gallaudet University Board of Trustees
Each member of the University community shares responsibility for stewardship of University resources and compliance with laws and policies. Therefore, members of the University community are encouraged to report, in accordance with this policy, any misconduct by University employees, or actions of other parties that may result in financial loss or other harm to Gallaudet University, of which they may become aware. For purposes of this policy, a reporting person is any individual who makes a report under this policy.
An employee who has a question about the propriety of any practice under University policies or procedures should ordinarily seek guidance from his or her supervisor or a University official with compliance oversight responsibility for the particular policy or procedure. An employee also may seek policy guidance from the Office of Vice President for Administration and Finance.
A reporting person may request that a report made under this policy be handled as confidentially as possible under the circumstances. Although the University will endeavor to handle all such reports with discretion and due regard for privacy, other obligations and considerations may preclude the University from maintaining confidentiality in all circumstances.
A reporting person may make an anonymous report. However, it should be understood that any investigation may be hampered or be impracticable if the reporting person cannot be identified and questioned about the allegations and related facts.
A reporting person ordinarily should make the report to his or her immediate supervisor. If the reporting person believes it inappropriate to report to an immediate supervisor, the reporting person should raise the issue with another person with supervisory authority, such as his or her manager, department chair, dean, director, or the University office or official responsible for overseeing compliance with the policy or procedure at issue. If a reporting person believes further reporting is appropriate, a report under this policy may be made to the offices listed below as well as to EthicsPoint, Inc. at (888) 258-2820. The Office of the Ombuds does not serve as an agent of notice, but a reporting person may wish to consult with the Ombuds to discuss any concerns about reporting, which will be kept confidential and off-the-record. The Office of the Ombuds is located at Ely Center 113, (202) 250-2073 VP, firstname.lastname@example.org.
Reports about a staff member may be filed with: Director, Office of Equal Opportunity Programs, College Hall, Room 312, (202) 651-5462, email@example.com; or Director, Office of Risk Management and Insurance, College Hall, Room 310; (202) 651-5695.
Reports about a faculty member may be filed with: Provost, Office of the Provost, Hall Memorial Building, Room S400, (202) 651-5085.
Reports about a student may be filed with: Executive Director, Office of Student Affairs, Ely Center, Room 102, (202) 651-5064.
Reports involving the President, Provost, a Vice President or a Trustee of the University, or any report concerning accounting practices, finances, internal controls, inappropriately managed conflicts of interest, and/or auditing may be submitted to the Chair of the Audit Committee of the Gallaudet University Board of Trustees, by submitting the report, in a sealed envelope addressed to the Chair of the Audit Committee, to the office of the Special Assistant to the President for Board and External Relations, College Hall, Room 214, (202) 651-5609. Reports submitted in this manner will be delivered to the Chair of the Audit Committee for evaluation. The Audit Committee of the Board of Trustees shall address all reported concerns or complaints. The Audit Committee will exercise discretion in determining whether to conduct further review, initiate an investigation or refer the matter to a University office the Committee deems appropriate.
No individual who in good faith reports a violation or suspected violation shall thereby suffer harassment, retaliation or adverse employment and/or academic or educational consequence. An employee who retaliates against someone who has made a report in good faith under this policy is subject to disciplinary action, up to and including dismissal from the University. Individuals who believe they have suffered retaliation may report it to one of the reporting venues identified above.
Reports made in bad faith or with knowledge of their falsity may subject individuals to disciplinary or other appropriate action. Making a report under this policy shall not insulate an individual from personnel or other actions that are warranted based on performance or other factors and are not caused by the making of a complaint under this policy.
The Office of Risk Management and Insurance will document the processing and, as appropriate, resolution of reports made under this policy, and shall retain such documents in a secure location.
The Office of Risk Management and Insurance is responsible for implementing this policy.
Note: This document is based on the whistleblower policy of American University. It is reprinted here with the permission of American University.