(1) This Procedure outlines the compliance obligations prescribed by the Department of Foreign Affairs and Trade (DFAT) and the University’s commitment to minimising harm and to manage the risk of sexual exploitation, abuse and harassment (SEAH) and child abuse in the delivery of all DFAT related work. (2) This Procedure applies to all parties involved in any DFAT funded University program and/or activity, including, but not limited to students, staff, project partners, volunteers, contractors, Council members and visitors of the University: (3) This Procedure applies at all times when such persons are working for, travelling or representing the University, both during and outside normal working hours in relation to DFAT funded programs and activities. (4) Refer to the Sexual Harm Prevention and Response Policy. (5) This Procedure is required by DFAT and is based on the underlying DFAT policies: (6) All DFAT funded programs, activities and/or partners must undergo a risk assessment by using the PSEAH Risk Assessment Tool available on the University’s PSEAH intranet. (7) The department/area/staff that is leading the program and/or activity on behalf of the University is responsible for completing the risk assessment and obtaining endorsement from La Trobe International by completing the PSEAH Risk Assessment Declaration Form which is available on the PSEAH intranet. (8) Project partners and any downstream partners involved in delivering the program and/or activity must comply with this Procedure and undertake PSEAH awareness training which outlines minimum requirements for mitigation and prevention of SEAH and Child Abuse. (9) All participating staff and students are required to complete the following induction and training programs prior to participating in DFAT funded programs and/or activities. (10) The recruitment and screening of La Trobe University staff as per the Recruitment Policy is expected to meet and assist in meeting the expected PSEAH and child protection standards. (11) All staff will be required to obtain the Working With Children Check (WWCC) at their own cost. New appointees will be advised of this requirement during the recruitment/appointment process. For full details, please refer to the Working with Children Victoria and the Recruitment Policy. (12) All students participating in a DFAT funded program and/or activity that are involved in working with children in Australia or overseas will be required to obtain the Working With Children Check (WWCC) at their own cost. (13) Where the respondent is a La Trobe staff member or a student, the matter will be managed/investigated in accordance with Sexual Harm Prevention and Response Policy and the Enterprise Agreement. (14) Where there is reasonable grounds to suspect that any individual(s) involved in the University’s DFAT funded program and/or activity has engaged in sexual exploitation, sexual abuse and harassment and child abuse, it is encouraged to report any concerns immediately to the Pro Vice-Chancellor (International) via DirectorLTI@latrobe.edu.au (15) An individual victim is, under no obligation to report any incident that has happened to them; however, the University will ensure that individuals who self-report will have access to timely and suitable assistance. (16) All individuals representing and engaged by the University in any DFAT funded programs and/or activities are required to notify the Pro Vice-Chancellor (International) via DirectorLTI@latrobe.edu.au, immediately after becoming aware of an incident relating to sexual exploitation, abuse and harassment (SEAH) and child protection risks in the program. Immediately is defined as soon as reasonably practicable, within the first 24 hours. (17) Following receipt of a reported incident the Pro Vice-Chancellor (International) or appointed delegate will: (18) The Pro Vice-Chancellor (International) (or their appointed delegate) will be responsible for reporting the incident to DFAT’s PSEAH team at: seah.reports@dfat.gov.au and liaising further on any DFAT enquiries on the incident. (19) The reporting timelines must be followed for all allegations of sexual exploitation, abuse and harassment and child abuse in line with the compliance requirements under the DFAT Preventing Sexual Exploitation, Abuse and Harassment Policy and DFAT Child Protection Policy: (20) If an alleged SEAH incident has a criminal aspect, the incident should be reported to law enforcement authorities, where appropriate and when safe to do so, in accordance with wishes of victims/survivors or whistle-blowers. (21) All information and documentation relating to the SEAH or child abuse incidents must be kept confidential and shall only be disclosed to those persons who have a right to the information by virtue of their role in the process and / or, as required by law, or as determined by limits to confidentiality (e.g., risk of harm to person or persons). For further information, please refer to the Privacy Policy. (22) Written records need not be extensive but should contain such information as is necessary for others to gain a clear understanding of the grounds upon which a concern was determined, and the actions taken to address it. (23) All incident matters and documentation will be governed in accordance with the University’s Records Management Policy. (24) For the purpose of this Procedure:Sexual Harm Prevention and Response Procedure - DFAT Funded Programs and Activities
Section 1 - Background and Purpose
Section 2 - Scope
Section 3 - Policy Statement
Section 4 - Procedures
Part A - Risk Assessment and Due Diligence for Managing Risk of SEAH.
Part B - Training and Induction
Part C - Recruitment
Part D - Response and Investigation
Part E - Reporting to DFAT
Type of alleged incident
When
To whom
All child protection notifications
Immediately
DFAT at childprotection@dfat.gov.au
All alleged incidents of sexual exploitation, abuse or harassment
Within two working days of becoming aware of the alleged incident
DFAT at seah.reports@dfat.gov.au
Non-compliance with the DFAT PSEAH or DFAT Child Protection Policies
Within five working days
DFAT at seah.reports@dfat.gov.au
Part F - Confidentiality and Record-Keeping
Section 5 - Definitions
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