1) WGBH Respectful Workplace Policy which can be found at the following url: https://wiki.wgbh.org/x/9Nn-BQ ALREADY ON THE EXTERNAL WIKI
2) WGBH Drug-Free Awareness Program - ALREADY ON THE EXTERNAL WIKI (checking online policy first - if the same, replace with a link)
Purpose and Goal
Our drug-free workplace program consists of:
A drug-free workplace policy that prohibits drug use in the workplace, including during working hours, while on GBH property, while conducting business on behalf of GBH, or while acting as a representative of GBH
Drug-Free Policy
As required by federal law, the unlawful manufacture, distribution, dispensation, possession, or use of a controlled substance is prohibited while on GBH premises and/or while conducting GBH business. If you participate in any of these activities, you are subject to disciplinary action by GBH up to and including termination of employment. Any employee who is convicted of a criminal drug violation in the workplace must notify the Foundation within five calendar days after such conviction. The Foundation is required to report such information to the applicable federal government agency within ten days of receiving such notification. The Foundation is also required, within 30 calendar days of receiving notice, to take appropriate personnel action against the employee, up to an including termination, or requiring the employee to participate satisfactorily in an appropriate drug abuse assistance or rehabilitation program.
Employee Education
To make sure that employees understand the danger of substance abuse and its impact, GBH has or will take several steps to educate employees about substance abuse:
Prevention
Prevention is critical to ensuring employee safety and a drug-free workplace. To prevent drugs in the workplace and minimize substance abuse, GBH provides employees several tools:
Manager Training
Managers can play a key role in helping prevent substance abuse by watching for signs that an employee may need help. GBH is committed to providing training to managers to help them recognize behavior that may indicate substance abuse or that an employee is at risk and know how to help.
Employee Assistance, Treatment and Support
GBH recognizes that alcohol and drug abuse and addiction are treatable illnesses. We also realize that early intervention and support improve the success of rehabilitation. To support our employees, we:
Shared Responsibility
A safe and productive drug-free workplace is achieved through cooperation and shared responsibility. Both employees and management have important roles to play. As noted above, all employees are prohibited from reporting to work while their ability to perform job duties is impaired due to on- or off-duty use of alcohol or other drugs. In addition, employees are encouraged to:
It is the supervisor's responsibility to:
For More Information
GBH’s Human Resources, oversees our Drug-Free Workplace Program. If you have questions or would like help finding resources or understanding various benefits that help with substance abuse issues, please contact Human Resources at (617) 300-2000.
3) Whistleblower Policy NEED TO CHECK WITH HR IF OK TO POST
In order to create a safe, secure and ethical workplace, GBH has established a relationship with a hotline/helpline firm, EthicsPoint. EthicsPoint provides Staff and other stakeholders additional methods to raise concerns about possible safety or security issues or unethical or inappropriate behavior within our community. Issues may be filed by phone or through the EthicsPoint website, and, if preferred, may be made anonymously. To submit a potential allegation or question using EthicsPoint, please log on to www.ethicspoint.com and click on “File a Report” where you can search for GBH’s specific reporting page. If you prefer to communicate by phone, please call 888-359-6297. If you have questions, please contact GBH’s Compliance Department or Human Resources (617) 300-2000 (the “Whistleblower Contacts”).
4) WGBH Travel and Expense Reimbursement Policy - ALREADY ON THE EXTERNAL WIKI (checking online policy first - if the same, replace with a link)
INTRODUCTION
This document sets forth the policies of GBH with respect to certain business and travel expenses of independent contractors working on GBH projects. This policy outlines what qualifies as an accountable reimbursement plan under US Treasury Regulation §1.62-2(c).
Please direct any questions regarding this policy to your GBH Project contact or the Compliance Department at (617) 300-2000.
GBH appreciates the efforts of those who travel on GBH-related business. It is necessary to keep travel costs within reasonable limits and to follow consistent procedures. Independent contractors working on GBH projects are required to submit an itemized accounting of these expenditures. Sound judgment is necessary in managing such expenses.
GBH retains final approval of all expenditures and periodically reviews and adjusts its reimbursement policies.
This policy is intended to:
Independent Contractors working on GBH projects are expected to spend funds prudently. Business expenses will be reimbursed by GBH if they are:
Non-compliance with these policies and procedures or failure of Independent Contractors working on GBH projects to properly and accurately expense documentation will result in a delay in receiving reimbursements when due, difficulties in obtaining additional funds, and in some cases disallowance of part or all of the expense(s). Questions regarding the interpretation of these policies and procedures should be directed to the Compliance Department.
For travel associated with projects funded by federal grants, additional restrictions may apply. See the Appendix for further information.
In addition to expenses for hotels, transportation, and meals, as defined in the policy, travelers will be reimbursed for the following expenses with proper receipt documentation:
For Independent Contractors that work on projects funded by federal funds, the Independent Contractor should also refer to the Appendix to this policy for special requirements applicable to these types of grants.
Travelers will not be reimbursed for the following expenses:
The traveler should include:
Air Travel
All air travel is restricted to coach class or to the least expensive airfare available, unless circumstances prevent it. It is GBH’s policy not to cover the cost of business class travel, even for international flights, except under extraordinary circumstances. Independent Contractors seeking reimbursement for business class travel outside North America under such unusual circumstances must obtain prior written approval from GBH’s Accounting office. Business class travel that does not follow this procedure will risk non-reimbursement of expenses. When traveling on a federally funded project, (see Appendix) travelers must book the lowest coach class airfare available, and travel may only be on approved airlines (generally American-owned carriers). Any international travel on non-American-owned carriers must receive prior written approval from GBH’s Accounting office.
First-class travel is prohibited for all destinations unless pre-approved by GBH’s Accounting office. First class travel is not allowed for federally-funded projects.
Travelers attending a conference are strongly encouraged to consider multiple-stop fares as time allows and should review the conference registration forms for details regarding discount airfare and hotel rate made available through the agency of the conference.
The use of personal aircraft is not allowed for GBH business travel.
Out-of-town train travel is restricted to coach class or its equivalent. First class or business class train travel is not allowed under GBH policy. For rail travel only, if coach class is not available due to the type of train, business class is acceptable. This fact should be documented. First class rail travel is not acceptable in any circumstances.
Independent contractors working on GBH projects who are required to stay overnight when traveling for business purposes should stay in a standard, business-class, single room in a non-luxury hotel. Suite or luxury accommodations will not be reimbursed unless pre-approved by GBH’s Accounting office, or unless no other rooms are available. Approved supporting documentation should be submitted.
Hotel rates in major cities (Chicago, Los Angeles, San Francisco, Washington, DC) may not exceed $250 per night, excluding taxes. New York rates may not exceed $400 per night, October through December; $300 all other months. Please note: GBH is exempt from some hotel taxes in New York, and a tax- exempt certificate for the state of New York (available from the Accounting office) should be provided upon check-in.
It is the responsibility of the traveler to notify the hotel to cancel a room reservation. Travelers should request and record the cancellation number in case of billing disputes. Travelers will not be reimbursed for “no show” charges.
Original hotel paid folio receipts must be retained. If a business trip is 5 or more days long, laundry, dry cleaning, and pressing services are allowed when reasonable and receipts are retained.
Reasonable gratuities to porters and bellmen will be reimbursed:
Travelers who stay in a private residence (with relatives or friends) in lieu of a hotel while on business travel will be reimbursed for reasonable, actual expenses up to a limit of $150 per trip, to extend appreciation to their hosts for their hospitality. A dated receipt (e.g., florist receipt, restaurant receipt, grocery receipt) must be submitted with the expense report under this provision. Note: When traveling on a federally funded project, tokens of appreciation are not allowable (see Appendix regarding federal grant travel and business expenses)
Airbnb can be used in a limited basis and only with proof of it being the least expensive option. Any damages caused to a property by guest(s) will be the responsibility of the traveler.
GBH independent contractors who travel with persons not tied to the purpose of the business trip are expected to pay all incremental costs associated with the guests’ travel, including transportation costs, additional lodging expenses, if any, meal expenses, and registration fees.
Automobile Rental
Car rentals are currently not allowed unless used for out of town travel. Local car rentals will only be allowed with proof of least expensive option or when contractually obligated.
Car rental should be limited to situations where public or other forms of transportation would not be practical or economical.
A compact to mid-size car is considered adequate for general transportation, but larger vehicles may be rented if required for the number of passengers or equipment being transported. Approval for a larger car should be obtained from your GBH project contact and documented as to the reason a larger car is required. A car to be used for more than a few days should be contracted at the most economical weekly rate available. Independent contractors traveling to the same destination should make every effort to share automobile rentals whenever possible.
Gas tanks should be filled prior to returning cars to rental agencies to avoid refueling charges, which may be billed at as much as $5 per gallon or more. Cars should be returned on time to avoid additional hourly charges.
The use of a personal car for GBH business will be reimbursed at the federal reimbursement rate per mile for the most direct route to and from the business destination. Federal reimbursement rate is issued by the IRS every year and will be updated every year. Independent contractors on GBH projects must keep track of the origin and destination of the trip and total number of miles driven. Costs incurred for parking and tolls are reimbursable and receipts should be submitted for all auto expenses.
Unacceptable transportation expenses include:
Business travel expenses for bus, MBTA, train, or taxis within the local area are reimbursable Travelers should note the origination and destination of each portion of the trip.
Taxi Service
Taxi fares paid out of pocket are acceptable and receipts should be retained. Taxis are not authorized for routine commuting to and/or from work.
Car services are more expensive than taxis and should not be used. Use of car services should be limited to talent/VIP purposes only and requires pre-approval by GBH.
Individual
Individual meals are defined as food or beverage consumed on-site or off-site by one independent contractor while on GBH business. Meals also include food items consumed during a hotel stay.
Independent contractors working on GBH projects will be reimbursed for personal meal expenses by providing original detailed receipts. Meal expenses per day, including tax and gratuity should not exceed $75. (For New York, San Francisco, and Los Angeles an additional $20 per day is reimbursable.)
The individual daily meal allowance (including snacks and non-alcoholic refreshments) is not to exceed the daily spending limit of $75. If meals are provided as part of a conference, event, or meeting, there will be no additional reimbursement for the meal. The daily spending limit will be reduced by the following amounts- breakfast $15, lunch $20, dinner $40 - for these meals provided to the traveler. Independent contractors working on GBH projects must submit itemized receipts for all meals for which they are expecting reimbursement. Individuals performing work for projects funded by federal grants should refer to the Appendix for additional restrictions.
Receipts are required for individual meals.
Group
Group meals are food and beverages consumed on- or off-site by more than one person.
Itemized receipts are required for all group meals. In order to be reimbursed for all meal expenses (including business lunches and dinners), the following information must be included with your receipt:
For audit purposes, the meeting agenda (or summary of business discussed) also should be attached.
Business Phone Calls
The Foundation will reimburse independent contractors working on GBH projects for reasonable business phone calls, while traveling. Hotel bills, telephone bills, or other documentation detailing names and companies are required for phone call reimbursement.
Independent contractors charging expenses to projects funded by federal grants should be cognizant of the special requirements and limitations related to expenses charged to federal grants. These policies are in addition to the GBH travel and expense policies and expenses need to be in compliance with both policies.
5) WGBH Policy on Conflicts of Interest ALREADY ON THE EXTERNAL WIKI (checking online policy first - if the same, replace with a link)
Federal regulations require Investigators to disclose certain financial interests (defined below) to ensure that the design, conduct or reporting of federally-funded projects will not be biased. This procedure describes the conditions under which these financial interests should be disclosed by Investigators, regardless of whether the Investigator is an employee of GBH or not. The procedure is applicable to all research and educational activities supported by the National Science Foundation (NSF) and to all research activities supported by the Public Health Service (PHS) and other federal agencies, and by other funders and programs that specifically request review consistent with federal regulations on objectivity in research.
Investigator: For purposes of this procedure, Investigator means any individual, subawardee, contractor or collaborator who shares responsibility for the design, conduct or reporting of the results of a sponsored project, and includes the Principal Investigator.
Principal Investigator (PI): An Investigator who has primary responsibility for the scientific and technical conduct, reporting, fiscal and programmatic administration of a sponsored project.
III. Significant Financial Interest
For purposes of this policy, a “Significant Financial Interest” is anything of monetary value owned by an Investigator (and/or those of the Investigator’s spouse and/or dependent children) that reasonably appears to be related to the federally-funded project, including but not limited to:
Significant Financial Interest does not include the following:
Disclosure Requirement
Investigators are required to disclose any Significant Financial Interest (as defined above) in any federally-funded project which would reasonably appear to be affected by the work that will be performed on the Project and/or any Significant Financial Interests in entities whose financial interests (e.g., its earnings, value, sales of its products) would reasonably appear to be affected by the project.
Specifically, the Investigator is required in all cases to provide to GBH information regarding any Significant Financial Interest on behalf of the Investigator, his/her spouse and any dependent children. Any Significant Financial Interest in a federally-funded project MUST be disclosed to GBH in the “Principal Investigator Certification and Financial Disclosure for Federal Awards” prior to the submission of a proposal to the government.
Investigators from other organizations who share responsibility for the design, conduct or reporting of project results, and who will be performing work under a sub-grant or subcontract from GBH, are expected to comply with GBH’s policies and procedures for disclosure and review of any Significant Financial Interest at the institution at which they are employed. Where an Investigator is unable to comply with GBH’s policy due to restraints imposed by his or her organization, GBH’s Director of Compliance will ensure that the entity for which the Investigator works has its own policies in place that meet federal requirements.
Investigators must ANNUALLY disclose and certify as to any Significant Financial Interests.
Disclosures of Significant Financial Interests must also be made, updated, or supplemented:
Examples of situations in which Significant Financial Interests should be disclosed include, but are not limited to:
Submission and Review of Disclosures
In accordance with federal regulations, all disclosures must be received by the Director of Compliance before the application for funding can be submitted to the agency. Disclosure of Financial Interests will be reviewed by the Director of Compliance in order to determine whether they reasonably appear to directly and materially affect the design, conduct or reporting of projects and thereby constitute a conflict of interest that may need to be managed, reduced or eliminated.
Where an Investigator discloses a Significant Financial Interest in a project, GBH’s Director of Compliance and the Central Procurement Group will review and ensure that the disclosing Investigator does not participate in the selection, award, or administration of a contract supported by Federal funds if a real or apparent conflict of interest would be involved.
Should a conflict of interest be identified, the Director of Compliance will contact the Investigator to determine the best solution to manage, reduce or eliminate the identified conflict, including imposing any restrictions or conditions. These solutions may include, but not be limited to, the following:
If the Director of Compliance determines that imposing conditions or restrictions would be either ineffective or inequitable and that the potential negative impacts that may arise from a significant financial interest are outweighed by the objectives of the project, the Director of Compliance may allow the project to go forward without imposing such conditions. However, GBH is required to notify the federal sponsoring agency if the conflict of interest can’t be satisfactorily managed. GBH’s Director of Compliance will inform the General Counsel of the relevant federal agency in the event that a conflict arises that cannot be managed by GBH.
Subrecipient Monitoring
In accordance with federal guidelines, GBH’s Director of Compliance shall ensure that any subrecipient of federal funds either 1) has its own conflict of interest policy in place which is compliant with federal regulations; or 2) that the investigators working for such entities follow GBH’s policy regarding conflicts of interest.
Disclosure and Record Retention
GBH will attempt to maintain the confidentiality of significant financial interest disclosures received. However, in certain situations, GBH may be required to share information regarding significant financial interests with the federal sponsoring agency or other parties under regulatory requirements.
Records of financial disclosures, reviews and any actions regarding management of a conflict of interest will be retained for at least three years beyond the termination or completion of an award (at least three years from the date of submission of the final expenditures report), or until the resolution of any action by the sponsoring federal agency involving the records, whichever is longer.
Individuals are required to comply fully with all components of the Policy. This includes filing and updating annually a complete and truthful financial disclosure for pending proposals; updating any previous disclosure when a new interest is obtained; and complying with any conditions or restrictions directed or imposed, including cooperating with appointed reviewers. Failure to adhere to any component of the Policy may subject the individual to disciplinary actions, up to and including termination.
Note: This Conflict of Interest Policy regarding federally-funded projects is in addition to, and not a substitute for, any other GBH policy concerning conflicts of interest, including those for trustees, officers and senior managers, and those applying to all employees.
6) WGBH Anti-Texting While Driving Policy NOT ON THE WIKI - NEED TO CHECK WITH SUE K IF OK TO POST
Federal grant recipients, sub recipients and their grant personnel are prohibited from text messaging while driving a government owned vehicle, or while driving their own privately owned vehicle during official grant business, or from using government supplied electronic equipment to text message or email when driving. Please note that although Massachusetts law already prohibits drivers from texting while driving, the GBH Anti-Texting While Driving Policy applies to driving anywhere, in or out of the state of Massachusetts.