(1) This Policy establishes when it is acceptable and not acceptable for University Staff to accept Gifts, Benefits, or Entertainment from external bodies and individuals. (2) As a public entity, the University must ensure that high standards of integrity and accountability are maintained. (3) As an employer, and a public entity, the University must comply with relevant legislation. (4) Members of the University may on occasion be offered Gifts, Benefits or Entertainment from external bodies or individuals. (5) A key question when contemplating accepting a Gift, Benefit or Entertainment is whether a reasonable person would think that the Gift, Benefit or Entertainment is intended to, or could be seen to, influence the recipient to act in the interest of the giver or their organisation at the time of the offer or in the future (i.e. a Gift of Influence). (6) This Policy applies to all individuals who are: (7) In this Policy, these individuals are referred to as Staff. (8) University Staff must not solicit or accept any Gift, Benefit or Entertainment in connection with their official University functions or duties in circumstances where: (9) If a member of the University is offered a Gift, Benefit or Entertainment that could be reasonably perceived as a bribe or attempt to influence the way they work, they must adhere to the Gifts, Benefits and Entertainment Reporting Procedure. (10) Under section 11 of the Independent Commission Against Corruption Act 1988, the Vice-Chancellor as the head of the agency concerned must inform the Independent Commission Against Corruption (ICAC) about any matter that they suspect on reasonable grounds may concern corrupt conduct. (11) In accordance with accepted social and cultural practices, Staff may accept an occasional Gift, Benefit or Entertainment providing it has a value less than or equal to A$250 and does not fall within any of the categories listed in Part A – Prohibited Gifts, Benefits and Entertainment of this Policy. Examples of permitted Gifts, Benefits or Entertainment include: (12) Staff who receive or are offered a Gift, Benefit or Entertainment with an individual or aggregate value equal to or over $250 must report this, regardless of whether the Gift, Benefit or Entertainment is intended for the receiving member of the University or for distribution to other members. This applies whether the Gift, Benefit or Entertainment is accepted or declined (refer to Section 3 – Procedures). (13) In all cases, staff must complete the Registering Gifts, Benefits and Entertainment Form and provide it to their supervisor/manager and their relevant Executive Group member within ten (10) business days of receipt/decline of the Reportable Gift (refer to Section 3 – Procedures). (14) In accordance with the Privacy Act 1988, the Gift, Benefit or Entertainment giver must be advised by the recipient that their information will be included on the Gift, Benefits, and Entertainment Register and will be made available if requested under the Government Information (Public Access) Act 2009 if the value is equal to or over $250. (15) An Executive Group member who receives a Registering Gifts, Benefits and Entertainment Form from a Staff member must forward the completed form and any other relevant information to the Chief Procurement Officer (chiefprocurementofficer@mq.edu.au) as soon as practicable, but no later than one month from when the Gift, Benefit or Entertainment was received or offered. (16) An Executive Group member (other than the Vice-Chancellor) who completes the Registering Gifts, Benefits and Entertainment Form on their own behalf must forward the completed form to the Vice-Chancellor and provide a copy to the Chief Procurement Officer (chiefprocurementofficer@mq.edu.au) for inclusion on the University’s Gifts, Benefits and Entertainment Register. (17) When completing the Registering Gifts, Benefits and Entertainment Form on their own behalf, the Vice-Chancellor will send this to the Vice-President, Finance and Resources, with a copy provided to the Chief Procurement Officer for inclusion on the Register. (18) The Chief Procurement Officer is responsible for maintaining the University’s Gifts, Benefits and Entertainment Register. (19) If an offer of a Gift, Benefit or Entertainment could be reasonably perceived as a bribe or attempt to influence the way a Staff member works, this should be immediately reported. Initial concerns should be raised with a Staff member’s manager/supervisor. Any such concerns will be treated in confidence (subject to the requirements of procedural fairness) and investigated as appropriate. (20) If a Staff member does not consider it appropriate to raise this with their manager/supervisor, they can make a disclosure in accordance with the Public Interest Disclosure Policy. (21) Nil. (22) The following definitions apply for the purposes of this Policy:Gifts, Benefits, and Entertainment Policy
Section 1 - Purpose
Background
Scope
Section 2 - Policy
Part A - Prohibited Gifts, Benefits, and Entertainment
Part B - Permitted Gifts, Benefits or Entertainment
Reportable gifts, benefits, or entertainment
Privacy
Section 3 - Procedures
Reporting Suspected Wrongdoing
Section 4 - Section 4 - Guidelines
Section 5 - Section 5 - Definitions
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