Title: Ethics_4_HR
1Ethics Training for NRCS Liaisons
Fundraising
2Ethics Training for NRCS LiaisonsFundraising
FUNDRAISING USDA employees can and do engage in
fundraising activities. This module reviews
the dos and donts of fundraising, both on and
off the job.
First, some definitions so we will all be clear
what is meant
3Ethics Training for NRCS LiaisonsFundraising
- Fundraising, for our purposes here, is basically
- Raising funds for a nonprofit organization, other
than a political organization through - the solicitation of funds or sale of items, or
- employee official participation in the conduct of
an event where any portion of the cost of
attendance or participation may be taken as a
charitable tax deduction by a person incurring
that cost.
4Ethics Training for NRCS LiaisonsFundraising
- Active and visible participation in the
promotion, production, or presentation of the
event includes - serving as honorary chairperson
- sitting at the head table and
- standing in a reception line.
- It does not necessarily include
- mere attendance provided the employees
attendance is not used to promote the event. - giving an official speech at a non-profit
fundraiser.
5Ethics Training for NRCS LiaisonsFundraising
- Active and visible participation in the
promotion, production, or presentation of the
event - does not include
- A Non-Monetary Charity Drive in which
solicitation for the drive is limited to the
pursuit of in-kind items - toys,
- clothing,
- food, or
- household items.
6Ethics Training for NRCS LiaisonsFundraising
- Prohibited Source means
- Any person, company, or organization that
- Is seeking official action from USDA.
- Has or seeks to do business with USDA.
- Conducts operations regulated by USDA.
- Seeks to influence USDAs policies or
regulations. - Has interests that may be affected by your
official duties. - Is an organization, a majority of whose members
are prohibited sources.
7Ethics Training for NRCS LiaisonsFundraising
Proscribed Political Fundraising is Soliciting,
accepting or receiving a campaign contribution
for partisan political purposes from any person
or organization. There is a narrow exception
for union members to solicit other union members
for the Union Political Action Committee (PAC)
provided the persons solicited are not
subordinates.
8Ethics Training for NRCS LiaisonsFundraising
9Ethics Training for NRCS LiaisonsFundraising
10Ethics Training for NRCS LiaisonsFundraising
Official Fundraising
You may not engage in official fundraising
outside the... Combined Federal Campaign
11Ethics Training for NRCS LiaisonsFundraising
12Ethics Training for NRCS LiaisonsFundraising
Official Fundraising - Authorized Exclusions
But there are three caveats
13Ethics Training for NRCS LiaisonsFundraising
- Official Fundraising (cont.)
- But there are three caveats
- Only seek funds from employees. Never solicit
non-Federal entities. - Respect employees right to decline to
participate. - Dont hold a fundraiser during the Fall (CFC is
underway)
14Ethics Training for NRCS LiaisonsFundraising
- Official Speeches at Non-Profit Fundraisers
- An employee may be approved to present an
official speech at a non-profit fundraising event
on a subject related to official duties. - It is okay provided
- The event is determined to be an appropriate
forum for the dissemination of the information
presented and as long as the employee doesnt
request donations or other support for the
organization. - The event sponsor does not use the employees
attendance as a draw or to imply official
endorsement of the organization. The employees
name and title should not be on the invitation to
the event, but it is okay to list the employee as
a speaker on the program handed out at the event.
Contact your servicing ethics advisor prior to
accepting the invitation.
15Ethics Training for NRCS LiaisonsFundraising
End of Summary on Official Fundraising
Now on to we can do in our personal capacity!
16Ethics Training for NRCS LiaisonsFundraising
Personal Fundraising
17Ethics Training for NRCS LiaisonsFundraising
Personal Fundraising and Special Government
Employees
SGEs may fundraise as may any other private
citizen (for any political or charitable cause)
when not fulfilling your part-time Federal
responsibilities, provided you do not solicit
persons who have an interest in what you do when
you are wearing your Federal hat.
SGEs are employees on temporary appointments of
no more than 130 days during any 365-day period.
SGEs are often appointed to work for USDA as
Collaborators, Experts, and Panel Members have
more freedom to fundraise.
18Ethics Training for NRCS LiaisonsFundraising
Fundraising for Gifts Between Employees
For more info, see the training module, on Gifts
Between Employees! on the USDA Ethics Website.
19Ethics Training for NRCS LiaisonsFundraising
20Ethics Training for NRCS LiaisonsFundraising
- Non-Monetary Charity Drives (Cont.)
- With management approval, you can set up
collection boxes in the public part of a Federal
building as long as you dont - Involve the exchange of money
- Disrupt the workplace
- Aggressively pursue donations from your fellow
employees - Abuse the guidelines set out in the Standards of
Ethical conduct at Subpart G Misuse of Position
Before setting out a box, talk to the building
manager and make sure you understand all
applicable GSA and agency regulations.
21Ethics Training for NRCS LiaisonsFundraising
A Quick Word About Political Fundraising
Dont.
No Federal employee may solicit, accept, or
receive political contributions in either his or
her official or unofficial capacity except under
the narrow exception for Federal workers unions
mentioned earlier.
22Ethics Training for NRCS LiaisonsFundraising
Lets See What We Learned -- Scenario One
23Ethics Training for NRCS LiaisonsFundraising
As his supervisor, how do you respond?
24Ethics Training for NRCS LiaisonsFundraising
As his supervisor, how do you respond?
A is wrong. Although Jimmy is free to engage in
this fundraiser on his own time, thats not the
case while on the job. Remember, the CFC is the
only authorized fundraiser in the Federal
workplace. If he were to obtain prior approval
from OPM through his personnel office, he could
proceed.
B is correct! You refuse his request explaining
that the CFC was established as the sole
fundraising event in the workplace. You could
also advise him that OPM does consider requests
for official fundraising outside the yearly
campaign. If he were to obtain prior approval
from OPM through HRMD, he could proceed.
25Ethics Training for NRCS LiaisonsFundraising
Lets See What We Learned -- Scenario Two
26Ethics Training for NRCS LiaisonsFundraising
- Is the Chiefs Approval all that is required to
carry out this event?
A. Yes B. No
27Ethics Training for NRCS LiaisonsFundraising
- Is the Chiefs Approval all that is required to
carry out this event?
A. Yes B. No
A is wrong. While approval for the collection of
in-kind donations for disaster relief is
appropriately pursued at the Secretarys or
concerned Agency Heads level, only OPM may
approve the collection of funds.
B is correct. The authority to provide in-kind
assistance for disaster relief is delegated to
the Secretary and concerned Agency Heads.
However, official fundraising outside the CFC
requires prior approval from OPM.
28Ethics Training for NRCS LiaisonsFundraising
Lets See What We Learned -- Scenario Three
29Ethics Training for NRCS LiaisonsFundraising
Do you approve or disapprove of the activity?
- Approve.
- Approve, with certain restrictions.
- Disapprove.
30Ethics Training for NRCS LiaisonsFundraising
Do you approve or disapprove of the activity?
- A. Approve.
- Wrong. Yes, he may attend in his official
capacity and present on matters related to his
official duties. However, to do so he must obtain
the agencys determination that the event
provides an appropriate forum for his
presentation. Brian must also avoid requesting
donations, serving as honorary chairperson,
sitting at a head table during the event, and
standing in a reception line. If his attendance
is approved, the ethics office may also approve
his spouse to attend under the gift exclusion for
widely attended gatherings. - B. Approve, with certain restrictions.
- Correct.
- Disapprove.
- Wrong. Too conservative.
31Ethics Training for NRCS LiaisonsFundraising
Lets See What We Learned Scenario Four
32Ethics Training for NRCS LiaisonsFundraising
Lets See What We Learned Scenario Four
- Would your action comply with ethics regulations?
- Yes
- No.
33Ethics Training for NRCS LiaisonsFundraising
Lets See What We Learned Scenario Four
- Would your action comply with ethics regulations?
- Yes
- Wrong. Even on your own time using your own
resources, your personal solicitation of
prohibited sources is not authorized. Leave the
personal solicitation of prohibited sources to a
church member who isnt a USDA employee. Or,
limit your solicitations to those businesses
excluded from the definition of a prohibited
source. - No.
- Correct. You must avoid personally soliciting
anything from a prohibited source
34Ethics Training for NRCS LiaisonsFundraising
Lets See What We Learned Scenario Four
Lets try a different angle. Suppose you belong
to a recognized employee organization established
to benefit USDA employees.
- Can you solicit prohibited sources in this
instance? - Yes.
- No.
35Ethics Training for NRCS LiaisonsFundraising
Lets See What We Learned Scenario Four
If you belong to a recognized employee
organization established to benefit USDA
employees, can you solicit a prohibited source?
A. Yes. Wrong. As Federal employees we may not
solicit prohibited sources, period B. No.
Correct.
36Guidance Regarding Liaisons
Questions?