As public servants, we are expected to adhere to the highest standards of ethical conduct and avoid even the impression of impropriety or conflict of interest. CPTC is dedicated to keeping its employees informed and provides the following resources.
Director of Compliance
Bldg. 17, Room 109F
Vice President for Finance and Administration
Bldg 17, Room 104
Washington State Executive Ethics Board
PO Box 40149
Olympia, WA 98504-0149
Employees who regulate a contract or who are able to make vendor selection for the purchase or goods or services are more limited in what “gifts” they may receive. These limits are established to eliminate any potential influence or appearance of influence by a vendor contracting with the state. These employees are referred to as “Section 4” employees (RCW 42.54.150 section 4) and need to be careful about what they accept from vendors beyond unsolicited items of nominal value (e.g., logo pens or notepads) or in conjunction with their official duties.
In order to make gift analysis less complicated, CPTC has designated all employees as Section 4 Employees. See Policy & Procedure Chapter 2, Section 5 for additional guidance.
Public office, whether elected or appointed, may not be used for personal gain or private advantage.
State employees may not:
1. have a financial interest or engage in any activity that is in conflict with the proper discharge of the employee’s official duties.
2. use his/her official position to secure special privileges for himself/herself, family, or any other person or entity.
3. use state resources for personal benefit for themselves, their family members, or any other person or entity.
A state employee may not have a beneficial interest in a contract or purchase of goods/services that is made by, through, or is under their supervision.
Employees are prohibited from using their official position to obtain benefits not available to the general public. This includes not accepting discounts provided through a state contract or vendor, or representing yourself as a state employee while conducting personal business. Employees are also prohibited from using confidential information for personal benefit.
An honorarium is any money or thing of value offered for a speech, appearance, article or similar items in connection with the employee’s official role at CPTC.
An honorarium can only be accepted if specifically approved by CPTC (reference Policy and Procedures, Chapter 2, Section 5). However, employees may accept an honorarium for any activity that is not conducted during work hours and is not connected to his/her official CPTC role.
The College requires all supervisors/managers to report any suspected ethics violation to their administrator or directly to the chief financial officer. All other employees are strongly encouraged to use this same reporting.
CPTC provides information technology resources (IT resources) to support the instruction and administrative activities of the College.
IT resources will be used according to state laws and the policies and procedures of CPTC (Information and Communication Resources Acceptable Use Policy, Chapter 3, Section 9). This includes prohibiting use of IT resources for any personal business purpose, transmission of any harassing or discriminating material or personal use in excess of the de minimis standard.
IT resources include, but are not limited to: host computer systems, web sites, desktop/laptop computers and workstations, communications networks, electronic software and/or hardware, library automation systems, multi-media equipment, electronic data, computer files, video networks, phones, voice mail, e-mail, and internet resources.
A state employee may not use state resources for personal benefit or to benefit another person (e.g., conducting personal business at work with state resources). “State resources” include any state property (e.g., computers, office space, copier, fax, phones), vehicles, money, work time, other state personnel during work, etc.
In very limited circumstances, state resources may be used if:
1. there is little or no cost to the state;
2. use is brief or infrequent (e.g., 5-10 minutes occasionally or every once in a while);
3. the use does not interfere with the employee’s official duties;
4. the use does not disrupt other state employees;
5. the use does not compromise the security of state property, information or software.
Examples of acceptable de minimis use would be a brief local call to make an appointment or an e-mail recognizing someone’s birthday. There is no de minimis exception to the use of state resources for activities related to a personal business or if the use violates other CPTC policies.
CPTC employees have the right of free speech, but must be careful how they exercise that right while at work.
Employees cannot use their official positions to influence votes for or against any candidate or ballot issue.
A state employee cannot use state resources for political campaigns or for the promotion/opposition to a ballot proposition. State resources include but are not limited to: postage, paper, computers, internet, employee’s work time, etc.
The Executive Ethics Board was created in 1994 by legislation at the request of the Governor and Attorney General. The law, RCW 44.52, went into effect Jan. 1, 1995.
Visit ethics.wa.gov for links to complaint forms, board advisory opinions, online ethics quiz and FAQs.
For archived minutes, please visit: https://ethics.wa.gov/meetings/all-meetings
RCW and WAC governing ethics