Conflict of Interest Policy

CONFLICT OF INTEREST/ OUTSIDE EMPLOYMENT

Policy Number:

PERS_0012

Policy Statement:

The Garden City Community College (GCCC or College) Board of Trustees, administrators, faculty and staff share the responsibility to protect the integrity of the institution and to conduct business according to the highest legal and ethical standards.  No employee may engage in any activity either within or outside the college that is in conflict with their primary duty to the college. Employees are required to adhere to standards and principles that are legal, ethical and morally correct to avoid actual, potential or perceived conflicts of interest. 

For the purpose of these regulations and procedures, the following definition applies. “Conflict of interest” is defined as an actual or perceived action that results in, or has the appearance of resulting in personal, organizational or professional gain that may, or may appear to, impair or compromise the performance of the employee or Board member’s duties for or on behalf of GCCC. The action may cause the College or the Board to be legally or otherwise vulnerable to criticism, embarrassment or litigation in the opinion of the public.

Employee must notify the President of any outside employment.  The primary obligation and responsibility of employees at GCCC is the performance of their duties at the College. Outside employment will present a conflict of interest if it has an adverse impact on GCCC or the employee’s work performance.

Procedures:

Types of Conflict     

A conflict of interest is a situation where an employee or Board member exploits relationships with the College for personal, financial or other gain, which may compromise or have the appearance of compromising professional judgment when making decisions or influencing the decisions of other employees.

Conflicts of interest are broadly divided into two categories:

Other types of intangible conflicts of interest include the following.

These are broad statements that reflect some, but not all of the actual and potential conflicts of interest prohibited by College policy.

Personal Gain

The following are examples of conduct that present a conflict of interest when personal gain accrues to the employee, Board member, or a member of their family or others with whom he/she is associated. A person has a direct or indirect financial interest if they, directly or indirectly through business, investment, or family uses or attempts to use:

Other Employment and Activity

Employees must seek approval annually from the President for any outside employment.  Employees must complete form “Notification of Outside Employment” and submit to the President by September 1 of each year.  Additionally, employees have a duty to disclose in writing to the Vice President for Administrative Services any actual or potential conflict with goods or services purchased by the College or under a Federal contract. 

The following are examples of other employment (outside or in addition to College employment) or activity, either with or without compensations, which impair the ability of an individual to perform his/her obligations as an employee or representative of the College. Other employment will not be considered an excuse for poor job performance, absenteeism, tardiness, leaving early, refusal to travel or refusal to work overtime or different hours.  If the College determines that the other employment or activity is not in the best interests of the College, the employee may be asked to terminate the other employment or activity.

Examples of conflict of interest:

1.  Attempting to sell products, property, or services to the College, which would have the effect or appearance of taking advantage of his/her position as College employee with inside information.
2. Seeking or accepting employment that is in direct competition with services provided by the college.
3. Accepting compensation for performance of official College duties, other than what they are entitled to from the College.
4. Soliciting or accepting any items of value for personal gain from any person known to have a business or professional relationship with the College.
5. Tutoring for pay any students assigned to his/her classes.
6. An outside interest or employment that encroaches on an employee's time and/or energy to the point where he/she is unable to devote his/her full abilities to the performance of assigned duties.
7. Using College facilities and/or materials in any commercial venture for which the employee receives remuneration.

Disclosure

Duty to Disclose

Purpose: Identify and review conflicts of interest and the appearance of conflicts of interest.

Officers of GCCC, its Board, all employees Coordinator level and above, and all employees with the responsibility of maintaining financial records, shall submit a completed Conflict of Interest Disclosure Form.  If changes in circumstances arise that (a) create a new conflict of interest or (b) change or eliminate a Conflict of Interest previously disclosed, an updated disclosure is required. The process of disclosure includes the following actions:

If a Board member’s or employee’s family or any firm, corporation, partnership, individual, trust, estate, or business in which the Board member, employee or a member of the employee’s family has any financial or beneficial interest is involved in a transaction which could be construed as a conflict of interest if the Board member or employee was involved, full disclosure is required.

Grant-related Disclosure

No employee, officer or agent may participate in the selection, award or administration of a contract supported by a Federal award if he or she has a real or apparent conflict of interest.  Such a conflict of interest would arise when the employee, officer or agent, any member of their immediate family, their partner, or an organization which employees or is about to employ any of the parties indicated herein, has a financial or other interest in or a tangible personal benefit from a firm considered for a Federal contract. 

GCCC shall disclose in writing any potential conflict of interest to the Federal awarding agency or pass-through entity in accordance with applicable Federal awarding agency policy.

The College must disclose, in a timely manner, in writing to the Federal awarding agency or pass-through entity all violations of Federal criminal law involving fraud, bribery, or gratuity violations potentially affecting the Federal award. Failure to make required disclosures can result in any of the remedies described in § 200.338 Remedies for noncompliance, including suspension or debarment.

Potential conflicts of Interest (real or perceived) must be reported at the following times:

Creation of College Financial Obligations Disclosure

All persons recommending or involved in creating any financial obligation of the College including but not limited to the purchase of goods or services, contracts obligating the College, and leases, shall disclose to their supervisor the nature of any relationship whatsoever they may have with any vendor, contractor, or lessor. A financial obligation in which an employee or representative of the College has an interest will only be entered into if:

Having a financial interest does not necessarily constitute a conflict of interest. However, in order to ensure propriety and avoid even the semblance of wrongdoing, each employee and Board member will:

Furthermore, the College must disclose in writing any potential conflict of interest to the cognizant federal awarding agency or pass-through entity in accordance with agency requirements.

Enforcement and Sanctions

A copy of this policy will be sent to each employee and Board member along with an Annual Conflict of Interest Disclosure Form. The completed form shall be returned to the Vice President for Administrative Services within 10 calendar days. Any conflict of interest or potential conflict of interest will be reported immediately by any employee regardless of position in the College.

The ultimate responsibility for the enforcement of the policies and regulations on conflicts of interest is that of the President who may delegate authority for enforcement to other College officials.

Violations of the policy or regulations, include, but are not limited to:

Failure to appropriately disclose any conflict of interest may result in disciplinary action up to and including termination. Failure to appropriately disclose any conflict of interest may also subject the employee and/or the College to criminal penalties.

Availability of Assistance

Any person who is in doubt whether they are confronted with an actual or potential conflict of interest should seek the advice of their supervisor to determine if the interest could conflict impermissibly with the person’s obligation to the College.

Family: spouse or domestic partner, child or stepchild, parent, sibling, grandparent, grandchild or in-law.

Policy History:

June 29, 2026: Revised to include policy number

February 28, 2025, Revised for Format Accessibility

September 1, 2016, Approved