Our company recognises the importance of staff having the opportunity to undertake a limited amount of outside work that is aligned to the company’s strategic objectives, and which can enrich teaching, enhance professional skills, develop expertise and build important links with business, community and other entities. This policy outlines the arrangements under which staff may undertake paid outside work to ensure the work does not affect their ability to fulfil their normal contracted duties of their employment, present a conflict of interest or place our company at risk.
Policy Statement
The Paid Outside Work Policy provides a framework in which all outside work is considered for approval by a delegated officer so that our company is fully informed and staff are able to pursue professional development opportunities and earn additional income for our company.
All outside work must be approved in advance. The maximum time applicable to paid outside work is as follows.
- Academic Staff – up to twenty four (24) days per year (i.e. half a day for each working week discounting annual leave time)
- Professional Staff – up to fifteen (15) days per year
- Fractional or part time staff – the relevant maximum for Academic Staff or Professional Staff, as applicable, is pro-rated.
Paid outside work does not replace an individual staff members annual hours of work or requirements for availability.
This policy does not restrict fractional or part time staff from undertaking fractional and/or part time employment with another organisation. In such circumstances staff should obtain the approval of the Member of the Executive as per the Code of Conduct for All Staff by submitting the Declaration of Outside Employment and Private Practice Form.
Policy Purpose
This policy:
- provides clarity of paid outside work definitions and who the policy applies to;
- outlines the conditions under which paid outside work that arises from a staff member’s expertise may be undertaken;
- outlines company roles, staff member roles and responsibilities in relation to paid outside work;
- provides clarity about the process requirements for paid outside work to:
- enable our company to meet industrial, external reporting and auditing and other obligations; and
- better understand the impact of the paid outside work on a staff member’s normal work and on our company so informed decisions can be made by our company;
- is designed to minimise risks and safeguard the interests of our company and its staff in undertaking paid outside work.
Definitions
Compan based paid outside work is the provision of professional services and products to external parties for a consideration. Our company provides the services of a staff member in their capacity as a member of staff at ACU and accordingly the work is contracted through our company. Work may include teaching, consulting, non-commercial research, development activities and/or other services provided by our company to other organisations.
Private paid outside work is outside work within the staff member’s area of expertise undertaken for remuneration or other consideration by a staff member in her or his personal capacity as an individual or through a partnership, private company, trust or any similar entity, and is entirely independent of our company, as opposed to work undertaken in her or his capacity as an employee of our company.
Application of Policy
This policy applies to all continuing and fixed-term (fixed-term contracts of more than one year in duration), full-time, fractional and part-time staff of our company.
This policy covers company-based paid outside work and private paid outside work.
This policy does not cover:
- paid work carried out in a private capacity which is entirely unrelated to the work the staff member performs within our company.
- work undertaken by casuals and sessionals when such work has no relationship to their employment within our company.
- work undertaken as part of any Commercial Research agreement or activities.
- work undertaken by fractional or part time staff in another organisation. Whilst this policy does not cover work undertaken by fractional or part time staff in another organisation, staff are required to obtain the approval of the Member of the Executive for other fractional and/or part time employment by submitting the Declaration of Outside Employment and Private Practice Form and advise of any changes to these arrangements, normally as part of the annual Performance Review and Planning process.
This policy does not apply to the following activities and no revenue will be received by our company:
- examining for education and professional bodies e.g. theses;
- honorariums including payments for external co supervision of HDR students;
- assessment of position classification or promotion;
- attending meetings;
- writing, editing or publishing scholarly works in the staff member’s field of expertise (such as books, chapters, articles, reviews);
- refereeing of journal articles, papers and books;
- honorary service on editorial boards;
- occasional lectures, performances, exhibitions, conference participation and media appearances;
- service on educational, professional and community committees and groups including membership of government commissions, councils, trusts or boards, school/college boards or Catholic Education Office advisory committees;
- pro bono, community and voluntary work;
- any other academic or related activity for which a workload allocation can be given under Company Policy.
Whilst the activities outlined above are specifically exempt from the requirement to complete the relevant Paid Outside Work form and obtain appropriate approval prior to undertaking the activity, staff are required to notify such activities to their nominated supervisor, normally as part of the annual Performance Review and Planning process.
Exemption of other paid outside work activities may be approved from time to time by the Vice-Chancellor or delegate.
Company-Based Paid Outside Work
Company-based paid outside work should be consistent with the purposes of our company, enhance the standing of our company and the professional reputation of its staff, result in important benefits to our company and to the community and uphold the distinctive Mission of our company.
Prior to a staff member undertaking Company-based paid outside work,our company will enter into an agreement for the provision of services of the staff member. Staff should contact the Office of the General Counsel for advice.
A staff member undertaking Company-based paid outside work is covered by the company professional indemnity and public liability insurance policies, subject to the current terms and conditions of those policies.
A staff member undertaking Company-based paid outside work is entitled to use our company resources within the conditions of this policy.
At minimum company-based paid outside work activities should be cost neutral, but they should normally generate additional income for our company.
The management of income is covered under Process.
Private Paid Outside Work
Private paid outside work includes company directorships and partnerships except where they are for the purpose of managing family affairs and the work of not-forprofit charitable companies, irrespective of whether remuneration is received.
Staff undertaking private paid outside work activities are not covered by our company workers compensation, professional indemnity and public liability insurance. A staff member undertaking private paid outside work must:
- ensure that the proposed private paid outside work does not compete with services otherwise provided by our company or a company or within an area that would normally be held to be offered by our company on a commercial basis;
- ensure that she or he holds professional indemnity insurance sufficient to cover all potential claims, damage or loss sustained during or as a result of private paid outside work activities (including paid outside work performed outside Australia) and that our company is indemnified against any claims;
- ensure that their clients are aware that they are acting in a private capacity;
- bear all costs of the work;
- undertake all private outside work contractual and financial arrangements, including invoicing, without the assistance or involvement of our company; and
- undertake all of the work in their own time.
A staff member who undertakes private paid outside work must not:
- represent themself as a staff member of our company;
- use a company title in undertaking that work;
- use any company business card, stationery or symbols;
- provide to potential clients, or otherwise make use of, company telephone or fax numbers or postal or email or web addresses to facilitate that work;
- use any company equipment, staff or facilities to support that work; and
- use any other information which might associate our company with the private paid outside work activity in any way (e.g. public announcements, advertisements, brochures or prospectuses)
Our company facilities or equipment may only be used for private paid outside work with the prior written agreement of the authorising officer, who must be satisfied that such use will not interfere with normal company requirements and our company will not incur liability under work, health and safety or other legislation. Where the authorising officer agrees to the use of our company facilities or equipment, this will be on a cost recovery basis.
No member of staff can undertake private paid outside work for our company.
No member of staff may accept fees or other gratuities for giving private training or mentoring style activities that assist staff of our company.
No staff member may directly or indirectly, or through any nominee, have business dealings with our company, nor shall a staff member accept paid employment with or hold a substantial beneficial interest in any firm having business dealings with our company, except with the prior written approval of the Vice-Chancellor. Such approved dealings must be disclosed on the Company Conflict of Interest Register.
The Vice-Chancellor may approve requests that a full-time member of the Academic or Professional Staff be permitted to accept an unpaid or paid appointment, as a member of a government commission, council, board or trust, or a scientific or professional body, or as an adviser or consultant to such an organisation. Where payment is made to the staff member, in the case of private paid outside work appointments, if the work involved is such so as to require a reduction in the staff member’s normal company duties, arrangements may be made for part or all of any payment for such private paid outside work to be made to our company for allocation to the work unit to compensate for the staff member’s absence.
A staff member may not direct funds to a Professional Pursuits Account for private paid outside work activities.
No administrative or technical area of our company (including, but not limited to, Properties, Finance, Human Resources, Information Technology, Library, Student Administration and Research Services) is to provide services for any private paid outside work activity. Monies utilised in private paid outside work shall not be paid into or through any company account unless they are formally donated to our company.
Staff members who undertake private paid outside work of any type are required annually to provide to their nominated supervisor and relevant Member of the Executive a written statement outlining this work and certifying their compliance with relevant company policies and ethical standards. This statement will normally be provided as part of the annual Performance Review and Planning discussions between the staff member and their nominated supervisor.
Roles and Responsibilities
Staff are responsible for notifying their nominated supervisor of their proposed Company-based or private paid outside work activities and ensuring that their paid outside work is formally approved prior to accepting or agreeing to undertake the activity. Paid outside work shall be deemed to be approved only when the relevant application for approval form has been completed and signed by the delegated officer (as defined in the relevant Company Delegations).
In relation to Company-based and private paid outside work our company’s rights and obligations are to ensure that:
- the work will not impinge upon the normal operations of our company or the satisfactory performance of the responsibilities of the member of staff as an employee of our company;
- the work will not impact upon the staff members required hours of work;
- our company resources are not used without prior approval and regard to full compensation to the company;
- where approved, our company resources are used ethically and appropriately;
- the principles of competitive neutrality are observed such that a subsidised service is not provided to the client (applies to Company-based paid outside work);
- the activity or the outcome of the activity is not injurious to the reputation of our company;
- the work is not of a character, or performed under conditions that would compromise the staff member’s ethical, professional or in the case of Academic Staff her/his independent academic status;
- our company is protected from vicarious liability in any legal action arising from private paid outside work activities;
- the work flows from the staff member’s academic or professional expertise and is of an appropriate nature (applies to Company-based paid outside work);
- the activity does not create a conflict of interest for the staff member or interfere with the efficient discharge of her/his responsibilities; and
- our company does not become liable to pay Goods and Services Tax (GST) on revenue earned by staff in private consulting.
The obligations of staff undertaking paid outside work are to ensure that:
- they seek and are granted approval to undertake the work prior to commencement of the paid outside work;
- the work does not compete with services otherwise provided by our company or a affiliated company or within an area that would normally be held to be offered by our company on a commercial basis;
- the work is not inconsistent with and does not impact on the performance of their company duties, or impinge upon the normal operations of their organisational unit;
- the work does not interfere with their requirements for availability and undertaking their normal workload;
- our company resources are not used without prior approval and regard to full compensation to the company;
- our company resources are used ethically and appropriately where staff are entitled to do so within the conditions of this Policy;
- the activity or the outcome of the activity is not injurious or likely to be injurious to the reputation of our company;
- the work is not of a character, or performed under conditions that may compromise the staff member’s ethical, professional or in the case of Academic Staff their status as an independent academic;
- the work flows from the staff member’s academic or professional expertise and is of an appropriate nature (applies to Company-based paid outside work);
- the activity does not create a conflict of interest or perception of conflict of interest for the staff member or interfere with the efficient discharge of their responsibilities.
- Provide a written statement outlining the work and certifying their compliance with relevant Company policies and ethical standards annually to their nominated supervisor, normally as part of the annual Performance Review and Planning process.
Members of the Executive (as defined in the relevant Company Delegations) are responsible for maintaining a register of private paid outside work undertaken, declared by staff, and annual written statement received for staff in their organisational area; and report all occurrences to the Member of the Senior Executive at the end of each calendar year, for annual reporting to the Chief Operating Officer and Vice-Chancellor. This register will include details of the organisation, nature of the work, and date of receipt of annual written statement by staff member.
Process
Nominated Supervisors are required to assess and determine if the proposed paid outside work would:
- affect the capacity of the staff member, or their organisational unit, to perform the duties of their position or organisational function with our company;
- represent a conflict of interest or perceived conflict of interest with the staff member’s employment at our company;
- adversely affect the reputation and standing of our company;
- make informed decisions around their approval or non approval of the request.
Paid outside work will not be approved:
- for staff who are not performing all the requirements of their role, and/or who are underperforming (i.e. where the staff member has been assessed as not performing their duties to a satisfactory standard for a competent staff member through the annual performance review and planning process);
- for Academic Staff who do not have a minimum annual academic workload of 1515 hours (or pro rata for fractional Academic Staff)
- if the paid outside work will impede the capacity of the staff member to take recreation leave.
Any work outside our company that the company considers may have a detrimental effect on a staff member’s performance of company work or on our company reputation will not be endorsed or approved and any current approval may be withdrawn.
If a staff member is engaged, without approval, in any type of private paid outside work activities as defined in this policy, or breaches the provisions of this Policy, they may be subject to disciplinary action in accordance with the provisions of the Code of Conduct for All Staff and the relevant Enterprise Agreement.
Income generated by Company-based paid outside work by professional or academic staff will be fully retained by our company.
Academic Staff may, with prior written approval, undertake Company-based paid outside work as a part of their normal workload. Any and all income earned from the outside work activity will be retained by our company.
Company-based paid outside work activities undertaken by Professional Staff must not otherwise be covered by the overtime arrangements prescribed by the company Enterprise Agreement.
Other arrangements may be negotiated on a case-by-case basis to specify the terms upon which staff may participate in Company-based paid outside work as defined in this policy.
It is an Audit requirement that Members of the Executive (as defined in the relevant Company Delegations) maintain a register of private paid outside work undertaken, declared by staff, and annual written statement received for staff in their organisational area; and report all occurrences to the Member of the Senior Executive at the end of each calendar year, for annual reporting to the Chief Operating Officer and Vice-Chancellor. Staff and nominated supervisors should be aware that our company is subject to audits by and for various external bodies/authorities.