(1) The University is committed to ensuring conflicts of interest and commitment are avoided wherever possible or declared and actively managed, so as not to affect the activities, decisions, and reputation of the University. (2) In an environment of collegiality, all members of the University community are obligated to act with honesty and integrity and to not allow personal or financial interests or duties to compromise their obligations, responsibilities and duties. (3) This procedure enacts the principles established by the Conflicts of Interest Policy and provides details on the nature of conflicts of interest, guidance on how to identify, declare and manage real, potential, and perceived conflicts of interest. (4) All staff of the University and other members of the University community including students, contractor and adjuncts must be aware of their obligations to recognise, declare and manage situations involving actual, potential or perceived conflicts of interest. (5) Conflicts of interest arise when there are competing interests, which are often, but not exclusively, interests of public duty versus private interests. (6) Conflicts be actual, potential or perceived: (7) Conflicts may arise when a person working for or with the University makes, participates in, or has the ability to influence, decisions affecting another person with whom they have a private relationship. (8) Private relationships include family relationships that exist between near relatives (such as a spouse/de facto/partner, child/parent) or close friends, business relationships or personal associates, as well as consensual personal relationships of a romantic or sexual nature. (9) In addition to positive relationships and attitudes, other emotional relationships may also be formed that contain antagonism or bias against an individual. (10) Conflicts may arise when a person working for or with the University engages in external employment, activities or private practice and there is some form of payment, recompense or other consideration from the organisation. This includes being a director of an external organisation. (11) Such conflicts may arise when a person working with or for the University: (12) Conflicts can and do exist in all aspects of University operations, including research, teaching, assessment, staffing, administration, and commercial activity. (13) Individuals are responsible for identifying actual, potential or perceived conflicts as soon as they become apparent. (14) Business units and supervisors are responsible for identifying and managing high-risk conflicts activities. For example: (15) If anyone has a reasonable belief that a conflict held by a person working for or with the University has not previously been disclosed, the relevant supervisor or manager must be alerted. (16) Researchers have additional responsibilities under the Australian Code for the Responsible Conduct of Research (the Code), the National Health and Medical Research Council (NHMRC), the Guidelines for NIH/PHS financial conflict of interest compliance. (17) If there is uncertainty as to whether an actual, potential or perceived conflict exists, advice should be sought from the University Secretary. (18) A person working for or with the University must discuss with their supervisor and complete the Conflicts Declaration Form as soon as actual, potential or perceived conflicts are identified. (19) A person working for or with the University who wants to engage in external employment, activities or private practice, must discuss with their supervisor and complete the External employment/activity/practice form. (20) When actual, potential or perceived conflicts arise at meetings, a declaration must be made verbally or in writing to the Chair (or other person presiding over the meeting) before the matter is discussed and minuted along with any ensuing action. (21) Supervisors can instruct staff involved in specified activities to complete a Conflicts Declaration Form where they identify there is an actual, potential or perceived conflict. (22) Supervisors must ensure all declared conflicts are treated as confidential, in accordance with the Privacy and Confidentiality Policy. (23) The act of declaring the actual, perceived or potential conflict may be sufficient to mitigate or manage the conflict, however, the development of a management plan is required to demonstrate that the person with the conflict and the University have carefully considered the situation, recognised the issues involved, and taken steps to prevent future problems. (24) Supervisors must respond to conflicts of identified by an individual or the specified activities of the business unit and develop a management plan, in consultation with the individual. (25) Depending on the circumstances, management strategies may include: (26) Supervisors must document and monitor the potential risks and agreed strategies, which are subject to re-negotiation if circumstances change. (27) Conflicts that pose a significant risk, are detrimental to the University’s best interests or contravenes the Staff Code of Conduct or the Responsible Conduct of Research Policy must be referred the matter to the University Secretary. (28) The University Secretary will maintain the University’s the Conflicts Register. (29) Completed Conflicts Declaration forms are electronically recorded in the University’s Conflicts Register. (30) Secretariat for meetings must ensure extracts of minuted meetings containing conflict declarations and actions are forwarded to governance@cdu.edu.au for recording in the University’s Conflicts Register. (31) Supervisors must forward conflicts management plans to governance@cdu.edu.au for recording in the University’s Conflicts Register. (32) Improper conduct can occur if a conflict is concealed, understated, mismanaged or abused. (33) The Independent Commissioner Against Corruption Act 2017 obligates a person working for or with the University to make a report to the Commissioner where there is a reasonable suspicion of improper conduct. (34) Protections are provided to whistleblowers who make disclosures in accordance with the ICAC Act and the University’s Whistleblowers Reporting (Improper Conduct) Procedures. (35) Non-compliance with Governance Documents is considered a breach of the Code of Conduct and is treated seriously by the University. Reports of concerns about non-compliance will be managed in accordance with the applicable disciplinary procedures. (36) All staff members have an individual responsibility to raise any suspicion, allegation or report of fraud or corruption in accordance with the Fraud and Corruption Control Governance Framework, Fraud and Corruption Control Policy and Whistleblower reporting (Improper Conduct) Procedures.Conflicts of Interest Procedure
Section 1 - Preamble
Section 2 - Purpose
Section 3 - Scope
Section 4 - Procedure
Types of Conflicts of Interest
Private Relationships
External Employment, Activities or Practice
Identifying Conflicts of Interest
Declaring Conflicts of Interest
Managing Conflicts of Interest
Registering Conflicts of Interest
Whistleblowing
Section 5 - Non-compliance
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