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Ethics 2008
NPA UPDATE
Public Service is a Public Trust
• Each employee has a responsibility to the U.S. government and its citizens to place loyalty to the Constitution, laws and ethical principles above private gain.
• Each employee should respect and adhere to the established principles of ethical conduct.
Topics to be Reviewed
• General Principles for Federal Employees
• Hatch Act/Political Activity
• Lobbying
• Financial Disclosure
• CFC/Fundraising
• Travel
General Principles for Federal Employees
• Public service is a public trust.• Employees should not hold financial interests that
conflict with their duties.• Employees should not engage in financial
transactions using nonpublic information.• Employees should put forth honest effort in the
performance of their duties.• Employees should not make unauthorized
commitments or promises.• Employees should not use public office for private
gain.• Employees should not solicit or accept gifts from
anyone seeking official action with the employee’s agency.
General Principles, cont.• Employees should act impartially.• Employees should protect Federal property.• Employees should not engage in outside
employment or activities that conflict with official duties.
• Employees should disclose waste, fraud, abuse, and corruption.
• Employees should satisfy their financial obligations.• Employees should adhere to all laws and regulations
that provide equal opportunity for all Americans.• Employees should avoid actions creating the
appearance that they are violating laws or ethical standards.
Hatch Act/Political Activity
• The Hatch Act restricts the political activity of executive branch employees who work in connection with federally funded programs.
• Amendments to the Act allow employees to take an active part in political management and political campaigns.
Permitted Political Activities
• Be candidates in nonpartisan elections.• Register and vote as you choose.• Assist in voter registration drives.• Contribute money to political organizations.• Attend political fundraising events.• Attend and be active at political rallies and meetings.• Join and be an active member of a political party.• Sign nominating petitions.• Campaign for or against candidates in partisan
elections.• Make campaign speeches for partisan candidates.• Distribute campaign literature.
Employees May Not• Use official authority or influence to interfere
with an election.• Solicit or discourage political activity of
anyone with business before their agency.• Solicit or receive political contributions.• Be candidates in partisan elections.• Engage in political activity while on duty, in a
government office, wearing an official uniform, or using a government vehicle.
• Wear partisan political buttons while on duty.
Lobbying• Lobbying activities are governed by the Anti-
Lobbying Act (18 USC Section 1913). • Prevents employees from using appropriated
funds to lobby a Federal, state, or local government official with respect to any pending or proposed legislation, resolution, appropriation, or measure.
• Reference:
www.afm.ars.usda.gov/hrd/ethics/lobbying.htm
Employees May:• Communicate through normal channels with
Members of Congress in support of Administration or Department positions.
• Communicate with the public through public speeches, appearances and published writings to support Administrative positions (can’t call on the public to contact legislators).
• Communicate privately with members of the public to inform them of Administration positions and to promote those positions – but only to the extent that such communications do not violate rules listed.
Employees May Not:• Engage in grass roots lobbying campaigns urging
individuals to contact government officials in support or opposition to legislation.
• Provide administrative support for the lobbying activities of private organizations.
• Prepare editorials or other communications that will be disseminated without an accurate disclosure of the government’s role in their origin.
• Appeal to members of the public to contact their elected representatives in support or opposition to legislative matters or proposals.
Personal Time
• The Anti-Lobbying Act does not prohibit employees from participating in lobbying activities while on personal time. You may contact Congress in a personal capacity (5 USC Section 7211). Cannot use appropriated funds or resources.
• Employees should provide a disclaimer which indicates that the views expressed do not reflect the position of the individual’s employing agency.
Confidential Financial Disclosure• Financial disclosure is a mechanism to safeguard
employees and agencies from conflicts of interests.• Certain employees above GS-15 file because it’s
required by the Ethics in Government Act.• Employees at or below GS-15 file if involved in
contracting or procurement; administering or monitoring grants, licenses, etc.; regulating or auditing any non-Federal entity; or performing other activities having an economic effect on a non-Federal entity. Fund-holders are included.
• Collaborators also must file.
What is an OGE 450?• OGE Form 450 is the Executive Branch
Confidential Financial Disclosure Report.• Employees fill out the report and generally
send it in to HQ by mid-February of each year.
• Make sure you retain a photocopy for your files.
• OGE 450A can be used when you have no changes to the last 450 you filed.
THANKS!!!
• The Northern Plains Area was the only Area within ARS to have all of their employee confidential financial disclosure reports filed on time.
CFC• The Combined Federal Campaign (CFC)
occurs annually and is the only authorized solicitation of employees in the Federal workplace on behalf of charitable organizations.
• Federal agencies take an active role in encouraging employee participation in CFC.
• Employee participation cannot be coerced.• Efforts to involve non-Federal organizations
must not violate other ethical rules.
Fundraising• Private fundraising is not permitted in
official space or on government time.
• Selling or delivery of items/products is not appropriate in the Federal workplace.
Travel• Contributed Travel – you may accept travel
or expenses for travel from an outside entity providing no conflict of interest is involved. You can’t accept cash or checks made payable to the traveler.
• Travel card – use of official travel VISA card is responsibility of traveler. Use must be for official travel expenses only, e.g. airline, hotel, car rental.
Changes in USDA Ethics Office
• USDA Office of Ethics – Science Ethics Branch email:
• Provides service to ARS, CSREES, ERS, FS – Research and Development, NASS, and NRCS – Soil Survey & Resource Assessment; Science and Technology
USDA Office of Ethics – Science Ethics Branch continued
• Sue Mutchler, Mission Area Ethics Advisor, Beltsville, MD; 301-504-1442
NPA Ethics Contacts
• Larry Chandler – Designated Area Ethics Advisor; 970-492-7058; [email protected]
• Louise Dalton – 970-492-7058; [email protected]