(1)  This Policy states Victoria University’s (VU’s) position on conflict of interest, including the requirement of all staff to avoid conflicts of interest wherever possible, and to identify, declare and manage conflicts that cannot be avoided. (2)  If a conflict exists, staff must work with their manager/supervisor or People & Culture to develop and implement an appropriate conflict of interest management plan, which must be approved by their manager. (3)  This Policy should be read in conjunction with the Appropriate Workplace Behaviour Policy and Delegations and Authorisations Policy.  (4)  This Policy applies to: (5)  The University promotes an environment that is based on ethical behaviour, and founded on standards of honesty, responsibility, fairness and accountability, to maintain the integrity of its decision-making processes.  At all times, staff and individuals are expected to perform their duties in the interests of achieving VU's Strategic Plan and avoid conflicts of interest.  (6)  VU accepts that pursuit of its strategic and operational objectives may expose staff to risks of actual, potential or perceived conflicts of interest. Conflicts of interest must be identified, declared and appropriately managed in accordance with the processes detailed within the Conflict of Interest Procedure, to ensure VU maintains the highest levels of integrity and public trust. VU is committed to and expects adherence to the following principles in applying this Policy:  (7)  A conflict of interest can be: (8)  The following are common areas where a conflict of interest may arise or exist:  (9)  The University expects the highest standards and conduct and integrity in relation to Conflicts of Interest.  Each person covered by this Policy must:  (10)  Where a University body or committee has a specific policy instrument in place to address conflicts of interest, that requirement must be met; in addition to the requirements under this Policy and the Conflict of Interest Procedure. Examples of specific policy instruments include the following:  (11)  If staff are unsure about whether a conflict of interest exists, how to prepare a conflict of interest declaration or create a management plan, or otherwise how to manage a conflict of interest, they should seek advice from their supervisor, People and Culture or Risk and Compliance Departments. If still in doubt, the person must make a declaration of the conflict of interest.  (12)  A person who is advising on, considering or approving another person's management plan for a conflict of interest must themselves be free from conflict of interest in the matter. If they have a conflict of interest in relation to the matter, they must withdraw from exercising those responsibilities. (13)  A Conflict of Interest Management Plan should be developed and reviewed every 12 months or sooner if anything changes.  (14)  VU recognises that personal and intimate relationships may develop in the workplace. This policy recognises that intimate personal relationships, particularly where power imbalances exist, may present actual or perceived conflicts of interest that can compromise safety, fairness, and trust. These provisions support the university’s obligations under the National Higher Education Code to Prevent and Respond to Gender-based Violence.  (15)  VU requires that staff and individuals this policy applies to declare any current or past intimate personal relationships with:  (16)  Where such a declaration is made, in accordance with clause 11, implement a Conflict of Interest Management Plan. This will include permanent alternative teaching, research, or working arrangements as necessary to ensure transparency, fairness, and the integrity of academic and professional environments.  (17)  VU Staff are expected to behave honestly and with integrity at all times in accordance with this Policy and the Gifts, Benefits and Hospitality Procedure.  (18)  All staff must:  (19)  Staff members are accountable for:  (20)  Disclosures made to VU under this Policy do not absolve staff of any third-party obligations with respect to conflicts of interest. For example, researchers may have concurrent obligations to disclose conflicts of interests to committees and to third parties (e.g., funding bodies such as the Australian Research Council). Likewise, compliance with external obligations does not replace obligations to the University under this Policy.  (21)  A failure to avoid, declare and/or appropriately manage a Conflict of Interest, or otherwise comply with this Policy, may result in disciplinary action. In serious cases, referral to public agency bodies, such as the Independent Broad-based Anti-corruption Commission (IBAC) may also be made.  (22)  Other potential consequences of a failure to disclose or manage a conflict of interest in accordance with this policy include:  (23)  Key management personnel are required to disclose interests which will enable the University to identify related party transactions for the purposes of preparation of Victoria University annual financial statements, in compliance with accounting standards. For this purpose, related parties include close family members and any entities controlled or jointly controlled by either the key management personnel or close family members.  This clause aligns to TEQSA Fit and Proper Person requirements.   (24)  The Privacy Policy applies to any personal information collected. All Conflict of Interest Declarations are treated as highly sensitive and confidential information. Access to this information is restricted to selected persons within the People and Culture and Central Compliance teams.  (25)  Conflict of Interest Management Plans will be kept for at least 7 years.   (26)  Conflict of Interest Procedure (27)  Staff-Authored Texts Procedure (28)  HESF: 6.1 Corporate Governance; 6.2 Corporate Monitoring and Accountability. (29)  Outcome Standards for Registered Training Organisations Instrument 2025: Standard 4.1 & 4.2 Leadership and Accountability; 4.3 Risk Management; 4.4 Continuous Improvement. (30)  Benefits: Includes preferential treatment, privileged access, favours or other advantage offered to an individual.  This may be provided in connection with a current duty or role, or in anticipation of a future action, decision, or relationship.  (31)  Conflict of interest: A conflict of interest exists if an individual has a private interest that could influence, or reasonably be seen to influence, how they perform their university duties. (32)  Conflict of interest management plan: A plan that records the steps that will be taken to manage an identified conflict of interest under this Procedure. (33)  Conflict of interest register: A central register which records staff conflict of interest disclosure and management plans. (34)  Controlled Entity: Is an organisation or company that is under the control of another entity, typically a parent company or government body (e.g. Research Institutes).  (35)  Gifts: Are free or discounted items or services and any item that would generally be seen by the public as a gift. These include items of high value (e.g. artwork, jewellery or expensive pens), low value (e.g. small bunch of flowers), and consumables (e.g., chocolates) and services (e.g. painting and repairs).  (36)  Hospitality: Is the reception and entertainment of guests. Hospitality may range from light refreshments at a meeting to restaurant meals and sponsored travel and accommodation.  (37)  Intimate personal relationship: An intimate personal relationship refers to a connection that extends beyond a professional or platonic relationship, regardless of gender. This includes current or previous romantic involvement, dating, financial dependency, or consensual sexual activity, including one-off encounters. Such relationships may present a conflict of interest or appear to likely influence decision-making, supervision, or collaboration.  (38)  Personal relationships : Relationships within the scope of this policy and procedure and individuals or people that extend outside of the University or University duties, or a relationship where a reasonable person may perceive that there could be some bias, either positive or negative, resulting from that relationship. (39)  Private interest: Private interests may be direct interests, such as an individual’s own personal, family, professional or business interests, or indirect, such as another person or group that they are or were closely associated with, or have an ongoing interest in. They may be financial or non-financial.Conflict of Interest Policy
            Section 1 - Summary
Section 2 - Scope
	
Top of PageSection 3 - Policy Statement
Conflicts of Interest
	
	
	
	
	
Managing Personal and Intimate Relationships 
	
Gifts, benefits and hospitality
	
	
Concurrent ethical, legal and employment obligations
Breaches
	
Obligations of Key Management Personnel 
Privacy 
Record Keeping  
Section 4 - Procedures
Section 5 - TEQSA/ASQA/ESOS Alignment
Section 6 - Definitions
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