(1) The purpose of the Fraud and Corruption Control Plan (Plan) is to provide the University of Canberra (University) with a formal plan for the ongoing management of its fraud and corruption risks. (2) This Plan forms a critical part of the University's broader Resilience Management Framework and is consistent with the Australian Standard 8001-2021 Fraud and Corruption Control. (3) The Public Interest Disclosure Act 2012 applies to the University as an ACT Public Sector entity and the measures to prevent, detect and deal with fraud found in the Public Interest Disclosure Act 2012 are set out in this Plan. (4) The University does not tolerate fraudulent conduct which includes any form of corrupt conduct. Accordingly, the University is committed to minimising the incidence of fraud and corruption through the identification of fraud risks and the development, implementation and regular review of a range of fraud prevention and detection strategies. (5) The University will seek prosecution of those who commit fraud against it, whether they are internal or external to the University, and the recovery of any money or resources misappropriated through fraudulent or corrupt activity. (6) The University will take appropriate disciplinary action against staff members who have engaged in fraudulent or corrupt activity and all University staff are encouraged to become familiar with this Plan and contribute to its effective implementation. (7) The University of Canberra (Student Conduct) Rules 2023 set out procedures for reporting and dealing with cases of alleged misconduct by a student, whether academic or non-academic, the consequences which flow from findings of misconduct, and appeal rights for students. (8) To manage its fraud risk, the University has developed: (9) Effective fraud control requires active participation and input from all University personnel. This Plan is one element of the University’s effective fraud control strategy. It is essential that fraud control be consistently integrated into the management and culture of the University. (10) Management and staff should familiarise themselves with the areas of specific responsibility as set out in the table below. Prior awareness will assist in a prompt and effective response to fraud, should it be suspected. This will assist in reducing the chances of fraudulent activity succeeding, enhancing the potential for successful investigation and assisting in the mitigation of losses and damage to reputation. (11) Instances of actual or suspected cheating, plagiarism or other form of fraud by a student, should be reported to Deputy Vice-Chancellor or a Prescribed Authority (defined under the University of Canberra (Student Conduct) Rules 2023) to be dealt with in accordance with the Student Conduct Rules. (12) Actual or suspected fraud by staff or contractors engaged by the University should be disclosed to one of the following disclosure officers: (13) The suspected or actual fraud may be disclosed anonymously or in-confidence but should, wherever possible, be detailed and include information such as: (14) Instances of actual or suspected fraud may be dislosed to any University staff. However, the person making the notification should be aware that such instances will be reported to a Public Interest Disclosure Officer for the purposes of complying with the Public Interest Disclosure Act 2012. (15) Managers and staff members are to be guided by the advice of the Vice-Chancellor or the Office of the General Counsel and, following a report, are to refrain from any action which may potentially jeopardise the success of an investigation. (16) A Public Interest Disclosure Officer must acknowledge receipt of any public interest disclosure involving actual or suspected fraud by issuing a formal acknowledgement letter to the person who has made the disclosure. The Public Interest Disclosure Officer will assess, manage and potentially investigate the notification/allegation in accordance with the processes set out in Fraud and Corruption Control Plan - Appendix B.Fraud and Corruption Control Plan
Section 1 - Purpose
Section 2 - Procedure
Student Fraud and Grievance Processes
Approach to Fraud Risk Management
Top of PageSection 3 - Roles and Responsibilities
Top of Page
Who
Responsibilities
Council
Audit and Risk Management Committee
Vice-Chancellor
(Public Interest Disclosure Officer)
General Counsel
(Public Interest Disclosure Officer)
People and Diversity
Director, Risk and Audit
Internal Audit team
Executive Deans/Directors/ Managers
Staff
Section 4 - Implementation and Reporting
Fraud Disclosure Avenues
E-mail: ovc@canberra.edu.au
Eric Wells
Ph: (02) 6206 8515
E-mail:eric.wells@canberra.edu.au
Mail: University of Canberra, Australia 2601
Section 5 - Definitions
Terms
Definitions
Fraud
The University defines fraud as ‘dishonestly obtaining a benefit or causing a loss by deception or other means’.
Fraud against the University may include, but is not limited to:
The benefit referred to are not restricted to monetary or material benefits, and may be tangible or intangible, including unauthorised provision of access to or disclosure of information. A benefit may also be obtained by a third party rather than, or in addition to, the perpetrator of the fraud.
Fraud can be perpetrated by employees/contractors (internal fraud) or by external parties such as service providers, students or members of the public (external fraud).
Corruption
Is a form of fraud and the University has adopted the definition of corruption as provided in Australian Standard 8001-2021 Fraud and Corruption Control, being: ‘abuse of a person’s position or office for personal gain (e.g. bribery, misuse of information, nepotism, illegal conduct, maladministration, wastage of public money)’.
Examples of corruption by University officers may include:
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