Title: Presenters Contact Information
1(No Transcript)
2Presenters Contact Information
Anne Phillips Associate Counsel Office of
General Services anne.phillips_at_ogs.state.ny.us (
518) 474-5607
OGS Website www.ogs.state.ny.us
3Agenda
- Public Officers Law
- Conflicts of Interest
- Outside Employment
- Gifts
- Political Activities
- Financial Disclosure
- Post Employment Restrictions
- Reporting Misconduct
- Where to Get More Information
- Questions
4Public Officers Law
- Public Officers Law 73, Business or professional
activities by state officers and employees and
party officers - Public Officers Law 74, Code of Ethics (also
referred to as Code of Conduct) - Public Officers Law 73-a, Financial Disclosure
-
5OGS Code of Conduct
- Interprets Public Officers Law
- Provides Additional Information in the Context of
OGS Business Practices
6Conflicts of Interest
- (Public Officers Law 74 establishes the State
Code of Ethics which prohibits conflicts of
interest) - Potential conflicts of interest can arise in
- a number of different situations
- You have responsibilities as a public
- sector employee that differ from those of
- private sector employees
7- General rule is that officers and employees of
State government may not engage in activities
that would create or appear to create a conflict
with their public duties, nor raise suspicion
among the public that they are likely to be
engaged in acts that are in violation of their
public trust.
8- Public Officers Law 74 sets out a series of
standards to determine if there is a conflict of
interest, including the concept of appearance of
impropriety.
9Potential Areas for Conflict of Interest
- Personal outside employment or investments
- Employment of, contracts to, or benefits for
family members - Release of confidential information
- Gifts
10Outside Employment or Investments
Public Officers Law 73 74
- Prohibits accepting other employment that will
impair independence of judgment or require
disclosure of confidential information - Prohibits engaging in transactions with any
business entity where employee has financial
interest that can conflict with duties - Must abstain from investments that may be
directly related to the employees decisions or
which otherwise create a substantial conflict
with duties
11- Concept of employment is broadly defined
- Policies and forms on OGSNow Policy Manual
- There is no general prohibition against employees
engaging in outside employment or compensated
activity - However, prior approval for such employment must
be obtained from OGS and in some instances from
the State Ethics Commission - Violation of the laws and policy, as well as of
the following guidelines may be grounds for
disciplinary action
12(No Transcript)
13Employment of, Contracts to, or Benefits For
Family Members or Others
(Public Officers Law 74)
- POL standards prohibiting use of official
position to secure unwarranted privileges for
self or others - Cannot give reasonable basis for appearance that
employee is affected by kinship, rank, position
or influence of any party or person - Cannot raise suspicion among public that you are
likely to be engaged in actions in violation of
trust - Cannot give reasonable basis for impression that
any person can improperly influence you or unduly
enjoy your favor in the performance of your
official duties
14Employment of Current State Employees
- Public Officers Law 73(4)(i) prohibits sales of
goods or services greater than 25 to a State
agency by a State employee or a firm where the
employee has more than 10 stock unless there is
a competitive bid. - Important to make inquiry and document in the
procurement record.
15Release of Confidential Information (Public
Officers Law 74)
- Code of Conduct has several prohibitions about
release of confidential information - Information confidential to the agency
(information about the agency or decisions by the
agency not otherwise known) - Information confidential to the process
- Information obtained from a vendor either as part
of the procurement process or as the result of
the procurement
16Gifts
- (Public Officers Law 73(5) and 74)
- While some would argue that public employees
cant be bought for a lunch, it is an issue of
perception, the appearance of impropriety or
fairness. - Look at it from the perspective of the other
vendors and the general public and the message
that it sends other agency employees. - There are circumstances under which a state
employee can accept a gift.
17Gifts
- You are prohibited from soliciting or accepting
any gift worth 75 or more, when it could be
reasonably inferred that the gift was intended to
influence you or could reasonably be expected to
influence you in the performance of your official
duties or was intended as a reward for any
official action.
18- However, there are circumstances where the gift
giver may be a disqualified source and all
gifts are prohibited. - For example, if making a decision about awarding
a contract, the potential vendor is a
disqualified source, as is any person or entity
that is regulated by, does business with, appears
before or negotiates with your agency lobbies or
has litigation adverse to your agency applies
for or receives funds from your agency or
contracts with your agency or another agency when
your agency receives the benefit of the contract.
19- You are prohibited from soliciting or accepting a
gift of any value if it would constitute a
substantial conflict with the proper discharge of
your State duties. -
- It is also a violation of law to offer or make
such a gift.
20- A gift may include money, food, travel, tickets,
etc. It can be anything with a monetary value. - The value of a gift is the retail cost to
purchase it or its face value. - The 75 value is determined by aggregating the
gifts received over 12-month period - Reciprocity does not reduce the value of a gift
given to you. - You may not designate a friend, family member or
entity (for example, a charity) to receive a gift
that you cannot receive.
21- Public Officers Law 73 Penalties
- State officers and employees who violate certain
provisions of Public Officers Law 73 are
subject to a civil penalty not to exceed 10,000.
In lieu of a civil penalty, the Ethics
Commission may refer violations to an appropriate
prosecutor for prosecution as a Class A
misdemeanor. Also, such officers and employees
can be suspended or removed from their jobs.
22- Although the Ethics Commission has no authority
to impose penalties on a private company or
individual, it can refer such cases to the
appropriate prosecuting authority when a
violation is punishable by law. The Commission
can publicize the names of private persons or
entities involved in a state employees violation
of law. -
23- Individuals who violate Public Officers Law 74
may also be subject to disciplinary action,
including a fine, suspension, or dismissal by
their appointing authority. - More Information is available in Advisory Opinion
94-16 issued by the State Ethics Commission. -
24Political Activities
- (Public Officers Law 73 and 74 and
- Civil Service Law 107)
- Policy Makers/Non-Policy Makers
- Soliciting Campaign Contributions
- Use of State Position to Gain Advantage in a
Political Campaign - Use of State Resources, etc.
- Campaign on Your Own Time
- Dont Even Imply that the State or Your Agency
Endorses Your Candidacy or Positions
25Financial Disclosure
- (Public Officers Law 73-a)
- Policy Makers or
- Salary Threshold Over SG-24
- Subject to certain exemptions
- File Annually by May 15 or within 30 Days of
Joining State Service - Financial Disclosure Statements currently
available on-line at - www.dos.state.ny.us/ethc/ethics.html
26Post Employment Restrictions
- (Public Officers Law 73 (8))
- Two-Year Bar on activities before employees
former agency. - Lifetime Bar on transactions that the employee
worked on while in state service-agency is
irrelevant. - Government-to-Government Exceptions
- Solicitations or discussions of employment
opportunities with an individual or entity that
has a pending matter before the state employee is
prohibited.
27Report Misconduct
- Executive Law 55 requires state officers and
employees to report promptly to the State
Inspector General any information concerning
corruption, fraud, criminal activity, conflicts
of interest or abuse by another state officer or
employee relating to his or her office or
employment, or by a person having business
dealings with a covered agency relating to those
dealings. - The knowing failure of any officer or employee to
report shall be cause for removal from office or
employment or other appropriate penalty.
28Report Misconduct
- Complaints may be filed confidentially to the
Inspector General. - If you do choose to identify yourself when filing
a complaint, the Inspector General has a strict
policy regarding protection of the identity of a
complainant.
29Limited Whistle-Blower Protection
- (Executive Law 55 and Civil Service Law
75-b) - In addition, Executive Law 55 affords
whistle-blower protection to State employees
who report, to the Office of the State Inspector
General, any action by a public employer or
employee, or their agents which is in violation
of any federal, state or local law, rule or
regulation. This means that you cannot be
disciplined, dismissed or subjected to adverse
personnel action because you have reported such
actions.
30Where to Get More Information
- OGS Code of Conduct
- OGS Ethics Officer
- Howard L. Zwickel
- Deputy Commissioner and Counsel
- NYS Ethics Commission at
- 1-800-87-ETHICS or 518-432-8207
- or website
- http//www.dos.state.ny.us/ethc/ethics.html
- NYS Public Officers Law
31(No Transcript)
32Governor Spitzers Executive Order No. 1
- Establishes Higher Standards
- Prohibition Against the Receipt of Gifts
- Prohibition Against the Use of State Property
- Prohibition Against Nepotism in Hiring and
Contracting - Penalties
33Questions and Answers
?
34Presenters Contact Information
Anne Phillips Associate Counsel Office of
General Services anne.phillips_at_ogs.state.ny.us (
518) 474-5607
OGS Website www.ogs.state.ny.us