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(1) The purpose of this Policy is to establish and outline the framework and principles for formally delegating authority for decision making of the University’s affairs. (2) This Policy applies across the University. (3) Delegations of authority are the mechanisms by which the University enables officers and committees of the University to act on behalf of the University. The Delegations framework focuses primarily on matters which relate to financial transactions or to contractual arrangements with staff, students and persons and organisations outside the University. The University is required to exercise these delegations to ensure that staff have appropriate authority to conduct their activities and that all expenditure incurred is appropriately authorised. (4) The Delegations Authority Framework consists of: (5) The Policy is designed to: (6) This Policy has been created under the authority of Council which may revoke, replace or amend this policy at any time. (7) Delegations are usually assigned to the position occupied, not to the occupant. They may also extend to a person acting in that position for a specified period. (8) Delegations are to be exercised subject to budgetary limitations. (9) Delegations are to be exercised subject to any conditions or limitations imposed by the delegator and within the framework of the La Trobe University Act 2009, the University statutes and regulations, policies and procedures and external legislative requirements. Delegates need to understand their authority and responsibilities under the: (10) Delegations cannot be sub-delegated. This is certainly the case in respect of Council (section 18(2)(a) of the Act). A delegate may, however, ‘nominate ’ another officer or body to perform certain functions in some circumstances. In such cases, the responsibility for the exercise of the power, and the way in which it is exercised, stays with the delegate. (11) Delegates may only exercise delegations with regard to matters within their own area of responsibility or those positions within their line management, and within the limits of the relevant approved budget or other available source of funds. (12) Where a delegation is to a body (such as a Committee) by reference to the body’s title, it relates to the body acting as a body in accordance with the terms of reference, not to individual members of the body. (13) Local area rules and guidelines created by Colleges, Schools and Business Units must be consistent with delegations and University policy. (14) Levels of authority are hierarchical through relevant lines of responsibility up to and including the Vice-Chancellor. (15) A delegation cannot be exercised if the officer holding the delegated authority has a conflict of interest. (16) Commitments made by delegates must be consistent with any specific funding conditions and any other relevant legal agreements. (17) Financial transactions cannot be manipulated to accommodate a particular delegates financial delegation limit, for example splitting transactions, incorporating deductions or trade-ins, payment of installments when the total costs is above the approved financial limit of the delegate. (18) While a Delegate may not sub-delegate a function, they may nominate a staff member to perform routine administrative tasks and systems processes required to carry out a delegated function within their area of responsibility. Not restricted to this list are some examples of routine administrative tasks and may include processing routine financial transactions such as travel, minor equipment purchases, petty cash and so forth, signing of a travel order, purchase requisition, casual timesheets or similar documentation. (19) The Delegate remains responsible for the nominated staff member’s actions. The Delegate also remains personally accountable for the exercise of the delegated function including compliance with applicable laws. (20) If the nominated member of staff is required to provide a signature on behalf of the Delegate, they must clearly indicate that they are acting under the authority of the Delegate, by stating ‘For and on behalf’ of . (21) Notwithstanding the delegations to officers of the University under this policy, there are some decisions that are reserved for Council as set out in the document ‘Decisions Reserved for Council’. (22) A Risk Calculator must be used to determine whether a transaction is of a significant financial or reputational risk to the University as referred to in the document ‘Decisions Reserved for Council’. (23) A delegate is authorised to sign a contract in accordance with the Instruments of Delegation. For the purchase of general goods or services on behalf of the University, contracts can be signed in accordance with the Instruments of Delegation where the value of the transaction to which the contract relates does not exceed the delegate’s expenditure limit under the Financial Expenditure Authorisations. (24) The value or expenditure limit refers to the total monetary consideration excluding GST over the entire period of the term of the contract including any options to renew or extend the term of the contract, granted to one party. Renewal and extension by agreement of all parties is not taken into account. (25) In the specified circumstances, where the University is in receipt of monies e.g funding agreements, research grants, scholarships, donations, fees for the provision of consultancy services by the University), the Expenditure Delegations - Major Table of Authorities does not apply, however the Instrument of Delegation pertaining to Contract Signing still applies. (26) Where the University enters into contracts under which it receives more than $5,000,000 for a specified purpose and it does not commit to any additional University funds, the Vice-Chancellor may sign such contracts without the need for prior Council approval. (27) Agreements that do not involve receipt or expenditure of any money can be signed in accordance with the Instruments of Delegation. (28) The University’s common seal is not required to be used in contracts except where the law imposes technical formalities for the execution of particular kinds of contract. (29) The documents ‘Decision Making Principles’ and the ‘Schedule of Governing Documents’ have been developed as reference tools to assist delegates under this Policy. (31) For the purpose of this Policy:Delegations and Authorisations Policy
Section 1 - Background and Purpose
Section 2 - Scope/ Application
Section 3 - Policy Statement
General Principles
Authorisation of Routine Functions
Decisions Reserved for Council
Risk Calculator
Contract Signing
Value of a Transaction
Monies Received
Monies Received in Excess of $5,000,000
No Monies Exchanged
Common Seal
Tools to Assist Decision Makers
Section 4 - Procedures
Top of PageSection 5 - Definitions
Top of PageSection 6 - Stakeholders