West Virginia
University at Parkersburg Board of Governors
POLICY B-17
ETHICS
Section
-1. General.
1.1. Scope. -- This rule implements
guidelines in accordance with the West Virginia Governmental Ethics Act for all
employees.
1.2. Authority. -- W. Va. Code §18B-1-6,
§29A-3A-4,
§6B-2-5
1.3. Effective Date. – September 5, 2003
(Transferred from WVU Board of Governors on July 1, 2008)
1.4. Preamble. -- In 1989, the West Virginia
Legislature enacted the West Virginia Governmental Ethics Act, set out in
Chapter 6B of the West Virginia State Code, declaring unlawful certain
activities by public employees. Section
5(a), Article 2, of the Act prohibits a public employee from using his or her
office or the prestige of that office, for private gain. Section 5(c), Article 2 prohibits
solicitation of gifts that may confer pecuniary benefits upon the
employee. Section 5(d), Article 2,
prohibits an interest in the profits or benefits of a public contract which an
employee has direct authority to enter into or over which he or she may have
control.
The original
version of the Ethics Act subjected all public employees, including higher
education employees, to fines, sanction, and criminal prosecution for violation
of the Ethics Act unless they obtained prior approval for the proposed activity
from the West Virginia Ethics Commission.
Many of the teaching, research, consulting and publication activities of
higher education faculty and staff necessarily result in known and appropriate
private benefits or gain which are customary and normal in higher education,
but which were identified as potential violations of these provisions of the
Ethics Act after its enactment.
In 1990, the
Ethics Act was amended at Section 5(l), Article 2, to allow higher education
employees who derive private benefits from teaching, research, consulting, or
publication activities the option of seeking exemption from the above
prohibitions from their employing institution instead of through the Ethics
Commission.
Therefore,
this rule is adopted to set forth an expeditious procedure for granting such
approval of exemptions at the institutional level to faculty and staff members
who seek to be relieved of certain statutorily imposed prohibitions of the West
Virginia Governmental Ethics Act. Nothing in this rule shall be interpreted as
restricting or prohibiting the otherwise lawful institutional or outside
activities of faculty or staff consistent with their institutional duties and
responsibilities or employment contracts, or as requiring the prior approval of
such activities by the institution. Nor shall this rule be interpreted as
restricting academic freedom, as defined by this Board in Policy B-2, or the
constitutional rights of employees to free speech and association. However, this
rule shall not be interpreted to require or grant institutional approval or
sanction of faculty or staff activities that violate or conflict with their
institutional duties or responsibilities, employment contract, federal or state
law, the rules of this Board, or the ethical standards imposed by the West
Virginia Governmental Ethics Act.
Section -2. Approval of Activity.
2.1. Institutional approval of any activity
pursuant to this rule shall be deemed to be a part of the employee's employment
contract with the Board.
2.2. Any institutional approval granted
pursuant to this rule may be revoked upon reasonable notice to the employee.
2.3. Approval for any activity under this
rule may only be given by the institution's president or the president's designee
or designees. Such delegation of
authority by the president shall be in accordance with the needs of the
institution but in no case shall such delegation be at an authority level lower
than a departmental chair, director or other similar department supervisor.
2.4. Approval for any activity may be granted
on a case-by-case basis or, when such activities are common within an
institution, a department of other category or grouping of employees, to all of
an institution's employees or any subgrouping thereof.
2.5. The institution shall establish
appropriate procedures for the review and approval of those employee activities
covered by this rule.
2.6. Disclosures required by this rule are
personal in nature and shall be kept confidential, as permitted by law.
Section 3. Solicitation
of Gifts.
3.1. Unless otherwise restricted by one's
supervisor, employees shall be permitted to solicit gifts which directly
benefit the Board or West Virginia University at Parkersburg. Solicitations on
behalf of a particular department, on behalf of the institution's supporting
foundation, or on behalf of an affiliated corporation, or center shall, for the
purposes of this rule, be deemed to be a solicitation on behalf of or for the
benefit of West Virginia University at Parkersburg.
3.2. Permissible solicitations shall include
but not be limited to the following, even though the soliciting employee may
work in a position which will be directly or indirectly supported thereby:
3.2.1.
Grants from governmental agencies,
foundations, corporations, or individuals to an institution to support
teaching, research, publication or service activities of the institution;
3.2.2.
Contracts with governmental agencies,
foundations, corporations, or individuals to an institution to support
teaching, research, publication or service activities of the institution;
3.2.3.
Donations from foundations,
corporations, or individuals to an institution to support teaching, research,
publication or service activities of the institution.
3.3. Support for teaching, research,
publication and service activities shall include but not be limited to such
normal and regular institutional needs as support for salaries; scholarships;
capital improvements or repairs; and classroom, laboratory, athletic, medical,
scientific and other similar equipment supplies.
Section 4. Use
of Public Office for Private Gain.
4.1. No solicitation or other activity
permitted by this rule shall be deemed to be the inappropriate use of an
employee's public office (position) or the prestige of that office for one's
own private gain or that of another person.
4.2. When an employee in an institution
governed by the West Virginia University at Parkersburg Board of Governors uses
his or her knowledge and personal prestige for private gain without the use of
the employee's public office, or the prestige of the employee's public office,
then there is no requirement to obtain an exemption under this ethics rule.
4.3. W. Va. Code §6B-2-5(l) gives
institutions of public higher education limited authority to grant exemptions
to their employees from the prohibitions in the State Ethics Act relating to
the use of public office or the prestige of public office for private gain when
the employee is using his or her field of expertise as an author, speaker,
consultant or through other approved activities such as service as a board
member for outside agencies or businesses. Therefore, when an employee in an
institution governed by the West Virginia University Board of Governors seeks
to use his or her public office or the prestige of his or her public office for
the employee's private gain or for the private gain of another person, the
employee may seek from the appropriate institutional authority an exemption (as
limited by the Ethics Act) from the prohibition against the use of public
office or the prestige of public office for private gain.
4.4. The appropriate institutional authority
may grant the employee an exemption to permit the employee to use the
employee's public office, or the prestige of the employee's public office, to
derive private benefit from the employee's field of expertise as an author,
speaker, consultant, or through other approved activities such as service on
the board of an outside agency or business.
4.5. In granting permission for an employee
to engage in such outside activities which may be directly or indirectly
associated with the employee's position with the institution, consideration
should be given to the following:
4.5.1.
Whether the employee brings to
his/her position his/her own unique personal prestige which is based upon
his/her own intelligence, education, experience, skills and abilities, or other
personal gifts or traits;
4.5.2.
Whether such activity is customary
and usual within the field;
4.5.3.
Whether the institution derives any
benefit through prestige or otherwise from the activity;
4.5.4.
Whether the institution expects or
anticipates that the employee will gain financially from the activities which
are not a part of the employee's required employment activities;
4.5.5.
Whether the employee's activity will
increase his/her personal or professional development or will lend service or
benefit to the nation, state or community;
4.5.6.
Whether the outside activity will
create an overriding conflict with the employee's responsibility to the
institution or will interfere with the satisfactory performance of the
employee's institutional duties.
4.6. The disclosure by an employee of an
employee's position, title, and work history with an institution under the West
Virginia University at Parkersburg Board of Governor in the promotion of an
employee's private activities shall be exempt from the prohibition against the
use of prestige of public office for a private gain. However, in these cases
the employee has the responsibility to make clear the fact that he or she is
not representing the institution but is speaking as a private citizen.
4.7. An employee who obtains an exemption
from the Ethics Act prohibitions under the procedure authorized in this rule
shall not be deemed an agent of the institution when the employee is acting
outside the scope of his or her other employment for his or her private
benefit.
4.8. No exemption granted under this ethics
rule shall be deemed to constitute a waiver by the institution of any lawful
contractual provision in the employment contract of a full or part-time
employee of the West Virginia University at Parkersburg Board of Governors.
Section 5. Interests
in Public Contracts.
5.1. Each employee shall be required to
disclose any interest the employee or any member of the employee's immediate
family may have in the profits or benefits of a contract which the employee may
have direct authority to enter into or over which the employee may have control
unless such interest is limited within the meaning of W. Va. Code
§6B-2-5(d)(2).
5.2. An institution may review any interest an employee or any
member of the employee's family may have and determine what, if any,
restrictions or limitation should be placed on the employee's activities.
5.3. Without limitation, the following
represent examples of interests in public contracts which may be permitted:
5.3.1.
The employee is the author and
copyright owner of a leading textbook in the employee's teaching field and may
wish to require the use of the textbook by his/her students;
5.3.2.
The employee is the inventor and
patent owner of a scientific tool necessary for research in the employee's
field;
5.3.3.
The employee is an expert in the
region in a particular field and such consulting expertise is being sought by
the institution or another governmental agency and the providing of such
consulting services is not a part of the employee's duties to the institution.
Section 6. Additional
Permissible Activity.
6.1. Unless otherwise prohibited by the West
Virginia University at Parkersburg Board of Governors, no activity permitted
under the West Virginia Ethics Act shall be deemed to be a violation of this
rule.
6.2. Unless otherwise prohibited or restricted
by the West Virginia University at Parkersburg Board of Governors, no activity
approved, permitted or exempted by the West Virginia Ethics Commission shall be
deemed to be a violation of this rule.
Section 7. President.
7.1. The Chairman of the West Virginia
University at Parkersburg Board of Governors shall have the authority to review
and grant approval of those activities of the institutional president which may
involve a conflict of interest pursuant to this rule.