5251 Ethics
District officers and employees will demonstrate the values of integrity in the performance of the District’s business, accountability to the law and to the people we serve, stewardship of the District’s resources, and independence in the performance of our jobs. District officers and employees have been entrusted with a noble and important task, educating our community’s children, and should strive to live up to the highest ethical standards.
This policy establishes ethical standards of conduct for all District officers and employees, whether elected or appointed, paid or unpaid; and sets forth conduct that is incompatible with such standards. Violations of sections 4 through 9 of this policy subject employees to discipline, and officers to censure by the Board.
“District action” means (i) a decision, determination, finding, ruling, order, grant, payment, award, license, contract, transaction, sanction, approval or denial, or other similar action, or (ii) any proceeding, application, submission, request for a ruling or other determination, contract, claim, case, or other such matter that the District employee believes, or has reason to believe, is or will be the subject of District action; or is one to which the District is, or will be a party; or is one in which the District has a direct and substantial interest.
“District employee” means the Superintendent or any individual appointed by the Superintendent or his or her designee, who serves under the supervision and authority of the District and the Internal Auditor and staff.
“District officer” means every School Board member.
“Domestic partners” are any two people who (i) are both eighteen years of age or older; (ii) are not married to any persons; (iii) are not related by blood to one another in a manner that would bar their marriage in Washington State; (iv) have a relationship of mutual support, caring, and commitment; and (v) do not have any other domestic partner.
“Family member” means spouse or domestic partner, child, step-child, parent, step-parent, parent-in-law, grandparent, grandchild, sibling, aunt, uncle, niece, nephew, son- or daughter-in law, brother- or sister-in law or first cousin.
“Gift or gratuity” means anything of value, but does not include the following items:
“Participate” means to personally and substantially consider, investigate, advise, recommend, approve, disapprove, decide, or take other similar action.
“Person” means any individual, partnership, corporation, association, firm, institution, or other entity, whether or not operated for profit.
“Reasonable travel expenses” are those expenses that either (i) do not exceed the District-established per diem for travel, or (ii) could be paid for with public funds.
All District officers and employees must disqualify themselves from participating in District actions in which they have a conflict of interest, and disclose when it could appear that they have a conflict of interest.
A District officer or employee may not:
This section shall not apply if the financial interest is shared with more than ten percent of the District’s student population or workforce, or if the financial interest exists solely because of the District officer or employee’s ownership of less than one percent of the outstanding shares of a publicly traded corporation.
A District officer or employee who recuses himself or herself from participating in a district action in accordance with this section should notify the Ethics Officer in writing of his or her decision to do so as soon as possible.
To promote public confidence, District employees and officers may not misuse their positions or District property for private gain.
A District officer or employee may not:
To promote public confidence, District employees and officers generally must not accept gifts or gratuities from people who may have an interest in District actions.
A District employee or officer may not solicit or receive any gift or gratuity from any person if the intent is, or would to a reasonable person appear to be, to seek or obtain special consideration or influence in any District action in which the employee or officer participates.
The following are examples of situations in which a reasonable person would not normally conclude a gift was given or received with the intent to influence an employee’s or officer’s actions:
It shall not be a violation of this section for a District employee who participates in the District’s acquisition of goods or services to accept from a person or firm seeking to or providing such goods or services the following:
District officers and employees may not use confidential information for private gain.
A District officer or employee may not disclose or use any confidential information gained by reason of his or her official position, including but not limited to student records, personal employee information, property appraisals, and business information the disclosure of which would put the District at a competitive disadvantage, for other than a District purpose.
“Confidential Information” means (i) specific information, rather than generalized knowledge, that is not available to a person who files a public records request, or (ii) information made confidential by law.
District officers and employees may not have a financial interest in contracts made by those in their chain of command, and must disclose a financial interest in any District contracts.
A District officer or employee shall disclose any financial interest, direct or indirect, held personally or through a family member, in any contract to which the District may be a party, to the Superintendent or his or her designee prior to the formation of the contract; provided, that this paragraph shall not apply to any contract awarded through the public bid process in accordance with applicable law.
In addition to the requirements of the foregoing paragraph, a District officer or employee may not hold or acquire a financial or beneficial interest, direct or indirect, personally or through a family member, in any contract which, in whole or in part, is made by, through, or under the supervision of the District officer or employee, or which is made by or through a person supervised, directly or indirectly, by the District officer or employee; or accept, directly or indirectly, any compensation, gratuity, or reward in connection with such contract from any other person or entity beneficially interested in the contract.
In addition to the protections for whistleblowers under the district’s whistleblower policy, retaliation or threats of retaliation, both direct and indirect, for communicating with the Ethics Officer, with any member of the Ethics Officer’s staff, or with anyone retained by the Ethics Officer, are prohibited. Any employee found to have engaged in any such conduct shall be subject to disciplinary action.
The Superintendent shall designate a District Ethics Officer, who shall be responsible for administering this policy. The Ethics Officer may appoint internal or outside investigators and/or attorneys to assist in performing his or her responsibilities.
Any District employee or a person in a transaction involving the District may request an advisory opinion from the Ethics Officer. All requests for advisory opinions must be submitted in writing to the Ethics Officer. The Ethics Officer shall make a good-faith effort to respond in writing to all requests for an advisory opinion in a timely fashion or within thirty days after receiving the request.
Any person may file a complaint with the Ethics Officer alleging violations of paragraphs 4 through 9 of this Policy. The Ethics Officer (or his or her appointee) shall conduct an investigation when there is reason to believe that a violation of paragraphs 4 through 9 may have occurred. The Ethics Officer shall prepare a report of his or her factual findings and conclusions at the close of an investigation, and shall deliver that report to the Superintendent or his or her designee, with a copy to the complainant.
The Ethics Officer shall submit an annual report to the School Board within 90 days of the fiscal year end summarizing the number and type of contacts received by the Ethics Officer, the percentage of contacts submitted anonymously, and the status of the ethics training program.