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Office of Business Affairs
Located in the Byron C.
Wright Administration
Building, Room WA 102
Phone: 812/464-1849
Fax: 812/464-1956

Mark Rozewski
Vice President for Finance and Administration

Rebecca Ball
Senior Administrative Associate

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Fraud Policy

UNIVERSITY OF SOUTHERN INDIANA
FRAUD POLICY STATEMENT

PREMISE

The University of Southern Indiana (USI) is committed to the highest standards of moral, legal, and ethical behavior.  These standards are outlined in the Code of Ethics found in the University Handbook.  All members of the USI community have a responsibility for the stewardship of the University's resources.  Internal controls and operating procedures are intended to protect the University's assets and interests by detecting or preventing improper activities.  However, there are no absolute safeguards against willful violations of laws, regulations, policies or procedures.  

POLICY STATEMENT

The University will investigate possible fraudulent or dishonest use or misuse of University resources or property by faculty, staff, or students.  Anyone found to have committed fraud relevant to University assets is subject to disciplinary action by the University, up to and including termination or expulsion, and investigation by external criminal justice authorities when warranted.

The Vice President for Business Affairs is responsible for the administration, interpretation, and application of this policy. 

DEFINITIONS

Fraud, Fraudulent Act or Misconduct:  A deliberate act (or failure to act) with the intention of obtaining an unauthorized benefit, either for oneself or for the institution, by using deception or false suggestions or suppression of truth or other unethical means, which are believed and relied upon by others.  Depriving another person or the institution of a benefit to which he/she/it is entitled by using any of the means described above also constitutes fraud.  Examples of fraudulent acts include, but are not limited to, the following:

NOTE:  The University will not rely on a determination by a criminal justice authority to criminally prosecute as the basis for determining if an act is fraudulent.  The presence of the elements named in the definition will determine if the act is fraudulent for internal disciplinary purposes.

Whistleblower:  A person or entity making a protected disclosure is commonly referred to as a whistleblower.  Whistleblowers may be employees, students, vendors, contractors, or the general public.  The whistleblower reports suspected fraudulent behavior.  The whistleblower does not investigate the facts or determine the corrective or remedial action that may be warranted.

RESPONSIBILITIES

USI administrators and all levels of management are responsible for maintaining a system of internal controls which prevent, detect, or deter fraudulent or dishonest conduct.  Each member of the management team is expected to recognize risks and exposures inherent within his or her area of responsibility and to be alert for any indication of irregularity. Management should contact the Internal Audit Department as soon as fraud is detected or suspected.

Employees who know or suspect that other employees are engaged in a fraudulent act have a responsibility to report such activity to their supervisor or appropriate administrator.  However, in the interest of confidentiality or if the employee is uncomfortable reporting to his supervisor or administrator, the employee may notify the Internal Audit Department directly by one of the methods described under Reporting a Fraud.

Any employee who is aware of a fraud and does not immediately report it will be subject to disciplinary actions.  Employees who report suspected fraudulent activity will be protected from reprisal or retaliatory action as stated in the Whistleblower Protection provisions.  Whistleblowers should not confront the individual under suspicion or initiate investigations on their own.  Such action may compromise any ensuing investigation and violate the individual's constitutional rights.

IMPORTANT:  All claims of fraudulent activities must be made in good faith.  Baseless allegations, made with disregard for truth or accuracy, or frivolous complaints will not be tolerated.  People making such allegations may be subject to institutional disciplinary action and/or legal actions by the individuals accused of fraudulent conduct.

The Internal Audit Department will coordinate the investigation and resolution of reported fraudulent activities with appropriate USI departments and external law enforcement officials/agencies as appropriate and in accordance with the following guidelines:

REPORTING A FRAUD

Any person may report allegations of suspected improper activities by one of the following methods: 

  1. Report directly to one's supervisor or appropriate administrator, either orally or in writing.  The supervisor or administrator must contact the Internal Audit Department as soon as a suspected fraud is reported.
  2. File a written report via email to fraud@usi.edu, or access the Fraud Hotline link on the Business Affairs web page at www.usi.edu/busaff/repform.asp.
  3. Call the Fraud Hotline at (812) 465-1028 and leave a detailed phone mail message.
  4. Download the fraud report and send via campus mail or US mail addressed to Director of Internal Audit, University of Southern Indiana, 8600 University Blvd., WA102F, Evansville, IN  47712.

All emails and phone mails will be received by the Director of Internal Audit or the Internal Audit Manager.  The identity of the individual conveying information will remain confidential to the extent possible within the legitimate needs of the law and the investigation. 

A whistleblower may remain anonymous.  Because investigators are unable to interview anonymous whistleblowers, it may be difficult to evaluate the credibility of the allegations.  Therefore, it is critical that anonymous whistleblowers provide detailed information and sufficient corroborating evidence to justify their claims that a fraudulent act has occurred.  Unspecified or broad allegations of wrongdoing cannot be investigated.

WHISTLEBLOWER PROTECTION

The University cannot guarantee confidentiality, but generally, the whistle-blower's identity will not be disclosed unless (1) the person agrees to be identified; or (2) identification is required by legal proceedings.

For having made a report of fraud or misconduct, the whistleblower may not be dismissed from employment or expelled from school; have salary increases or employment related benefits withheld; be transferred or reassigned; be denied a promotion or grade the employee or student otherwise would have received; or be demoted, penalized, or threatened in any way.

Whistleblowers who believe they have been retaliated against may file a written complaint with the Director of Internal Audit.  A proven complaint of retaliation shall result in disciplinary action, up to and including dismissal, against the retaliating person. 

University employees enjoy whistleblower protection under Indiana Code 21-39-3.  Nothing in this policy shall be construed in such a way as to conflict with the provisions and protection of the Indiana Code, which can be reviewed online at   www.in.gov/legislative/ic/code/title21/ar39/ch3.html#IC21-39-3

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