27 September 2019
Bridget Morison
[FYI request #11137 email]
Dear Bridget
Your Official Information Act request, reference: GOV-001479
Thank you for your email of 04 September 2019, asking for the following information under the Official
Information Act 1982 (the Act):
Please provide information about:
1. the purpose of Customer Resolutions team and who they are responsible to,
2. how ratings are given for complaints/concerns made to Customer Resolutions and what they
mean,
3. guidelines and policy used in handling complaints/concerns,
4. if not clearly included in the information above, the recommended or required timeframes in
acknowledging or effectively dealing with those complaints. When I use the word 'effectively' I
am doing so from the confirmed perspective of a complainant,
5. how it is determined that a complaint has been effectively resolved from the perspective of the
complainant,
6. who deals with complaints about ACC staff and how is this achieved (if not covered above),
7. Staff Code of Conduct policy, guidelines and agreements,
8. what options are available to a complainant when Customer Resolutions is not effective,
objective or impartial per your response to a request on 14 June 2017 (Request title: Office of the
Complaints Investigator (OCI) (Funding).
ACC’s Customer Resolution team
The purpose of Customer Resolutions team and who they are responsible to
The Customer Resolution team (CRT) is responsible for resolving customer complaints. They aim to
resolve complaints effectively and efficiently by listening to ACC’s customers and engaging proactively
with them. The team strives to act in a fair and impartial manner which considers the input of both our
customer and ACC.
The team reports to ACC’s Chief Operating Officer and is responsible for managing complaints:
• made by customers directly
• escalated by our frontline due to complexity
• escalated by the Executive Office and other executive leaders
• escalated from business customers and providers
• referred from the ACC Minister and Associate ACC Minister’s offices.
The team works with both customers and ACC to resolve complaints and investigates potential breaches
of the Code of ACC Claimants’ Rights (the Code).
How ratings are given for complaints/concerns made to Customer Resolutions and what they mean
The ratings used by CRT are purely an administrative measure to reflect and balance staff workloads.
They generally indicate whether a complaint will take longer to resolve than others.
GOV-001479
The ratings are based on a number of factors: the number of complaints made at any one time, the
volume of correspondence on file, whether the response is likely to be an informal or formal response
and whether there are multiple parties involved.
Guidelines, policy and code of conduct
Guidelines and policy used in handling complaints/concerns
If not clearly included in the information above, the recommended or required timeframes in
acknowledging or effectively dealing with those complaints. When I use the word 'effectively' I am doing
so from the confirmed perspective of a complainant
There are three pieces of policy or guidance that apply when handling customer complaints. These are:
• Code of ACC Claimants’ Rights summarised
https://www.oag.govt.nz/2014/acc-
complaints/appendix.htm
• AC Act
http://www.legislation.govt.nz/act/public/2001/0049/latest/DLM99494.html
• Customer Resolution: Best Practice Guide (please find this attached).
Page five of the best practice guide outlines the best practice approach to acknowledging and handling
customer complaints that reach CRT. This includes time frames for acknowledging complaints and a
guide for assessing what is needed to effectively resolve the complaint.
Staff Code of Conduct policy, guidelines and agreements
Please find attached ACC’s Code of conduct. Please let us know if there are any other documents you
would like in addition to the information already provided.
Dealing with and resolving complaints
How it is determined that a complaint has been effectively resolved from the perspective of the
complainant
When investigating complaints, the Customer Resolution Team seek to issue fair and balanced decisions
and recommend appropriate remedies to address service failures. While it would be great to achieve a
‘resolution from the perspective of the complainant’, this is not always possible given the nature of the
complaint, or legislative constraints. We do however, ensure that the complaint has been investigated
thoroughly, and the resolution process has been fol owed.
Who deals with complaints about ACC staff and how is this achieved (if not covered above)
Complaints about staff are dealt with by the staff member’s manager or CRT (or both). Complaints about
staff are investigated by looking at the complaint (written) or taking notes from a phone call; speaking
with the staff member and/or management; speaking with the client involved and finally looking at the
file.
Further information about this process can be found in the attached Customer Resolution: Best Practice
Guide.
What options are available to a complainant when Customer Resolutions is not effective, objective or
impartial per your response to a request on 14 June 2017 (Request title: Office of the Complaints
Investigator (OCI) (Funding))
There are different options available to a complainant, depending on the nature of the investigation and
finding
• Where a Code ACC of Claimants’ Rights finding is provided, this carries the right of review
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GOV-001479
• Where a complaint is handled at local level, this can be escalated at any time to the Customer
Resolution team
• Where the Code does not apply, an approach could be made to the Ombudsman, Health and
Disability Commissioner or Privacy Commissioner, amongst others and as appropriate.
If you have any questions, you can email me at
[email address].
Yours sincerely
Emma Coats
Manager Official Information Act Services
Government Engagement & Support
Accident Compensation Corporation
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Customer Resolution:
Best Practice Guide
2018
Best Practice Guide 2018
Table of Contents
1 Customer Resolution vision and ACC values ....................................................................................... 3
1.2
What is a complaint .................................................................................................................... 3
1.4 Complaints we resolve ................................................................................................................... 4
2 What is Best Practice? ......................................................................................................................... 4
3 Customer Resolution Principles: ........................................................................................................... 4
3.1
Partnership ................................................................................................................................. 4
3.2
End to end accountability ............................................................................................................ 5
3.3
Focus on delivering customer outcomes ..................................................................................... 5
4 The Approach ....................................................................................................................................... 5
4.1
Listen, Gather information and clarify .......................................................................................... 5
4.2
Assess and Plan ......................................................................................................................... 6
4.3
Communicate ............................................................................................................................. 6
4.4
Investigate and issue outcomes .................................................................................................. 6
5 Recommendations/Outcome ................................................................................................................ 6
6 Apology as a remedy ............................................................................................................................ 6
7 Follow up .............................................................................................................................................. 7
8 Unreasonable customer conduct (UCC) ............................................................................................... 7
9 Requirements of select internal Areas .................................................................................................. 7
9.1
Ministerial correspondence ......................................................................................................... 7
9.2
Remote Claims Unit (RCU) ......................................................................................................... 7
9.3
Chief Executive ........................................................................................................................... 7
10 Alternative Dispute Resolution (ADR) ................................................................................................... 8
11 Customer Resolution relevant documents ............................................................................................ 8
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Best Practice Guide 2018
1 Customer Resolution vision and ACC values
The Customer Resolution team is responsible for resolving customer complaints effectively and
efficiently by listening to our customers and engaging proactively with them. We will act in a fair and
impartial manner which considers the input of both our customer and ACC.
Our vision is to deliver greater value to both internal (ACC staff) and external customers (from all our
segments including claims, business and provider) to resolve escalated issues. The unit is centred on
three fundamental principles aimed at placing the Customer Resolution team at the centre of excellence:
• Partnership
• End to end accountability
• Focus on delivering customer outcomes
1.1 ISO and AS/NZS benchmark
This best practice guide has been internally benchmarked against both the ISO and AS/NZS 10002:2014
standards. We believe ACC’s process aligns closely with the noted guidelines which adds to our validity
and approach to addressing and resolving complaints.
1.2 What is a complaint
We align with AS/NZS 10002:2014 and define a complaint as “an expression of dissatisfaction made to
or about an organisation, related to its products, services, staff or the handling of a complaint, where a
response or resolution is explicitly or implicitly expected or legally required”.
1.3 The Code and service recovery
All ACC staff interactions with customers are subject to the
Code of ACC Claimants’ Rights 2002 (Code).
The Code sets out a framework which confers rights on claimants and imposes obligations on ACC in
relation to how ACC should deal with claimants. The Code is specific to claimants and therefore does not
apply to business or provider customers. For the purposes of complaints however, the Customer
Resolution team treats all complaints as if they are subject to the Code. Reviewable decisions are not
able to be made for business and provider but our approach to investigations and outcomes remains the
same.
Under the Code a claimant can either –
• Raise a problem or concern at the local level, which will be addressed and resolved at the local
level without a decision being made; or
• Lodge a complaint with the complaints service at any time, regardless or whether a problem or
concern has been raised at the local level.
Customer Resolution supports early resolution with the business unit which has been managing the
claim. Our expectation of frontline service recovery should be the first option. All customer feedback is
important for ACC to hear so that we can continuously grow and learn.
In addition to receiving and addressing complaints we also provide resolution advice and tools to support
frontline staff to manage difficult situations and place them in a stronger position to take ownership of,
and resolve issues themselves.
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Best Practice Guide 2018
1.4 Complaints we resolve
Customer Resolution caters for all complaints within ACC. Notwithstanding complaints which are
managed at local level, we assist with and manage complaints including Chief Executive, Ministerial,
business customer and provider complaints.
2 What is Best Practice?
An effective complaint resolution process promotes good relations with customers and reassures them
the organisation is committed to resolving problems and invested in improving customer satisfaction. For
ACC this should also comply with the Code. Our best practice has considered ISO and AS/NZS
standards (10002:2014).
2.1 Overview of an effective complaints process
• A complaint should be acknowledged promptly
• The complaint should be assessed, clarified with the customer and assigned priority, with a
decision made as to who will deal with the complaint and when it should be completed
• If the matter cannot be resolved immediately and an investigation is necessary, consideration
should be given to what action is required and who needs to be consulted
• The response to the complainant should be clear and informative, explaining the outcome of the
complaint and providing reasons for any decision made or remedies offered
• The response should include information about further options, in the event the complainant is not
satisfied
• Any systemic issues arising as a result of the complaint should be considered and acted on
• Action should be taken to record the complaint and its outcome, and to report to management as
appropriate.
3 Customer Resolution Principles:
3.2 Partnership
Our customer resolution service is all about being a good partner to both our internal and external
customers. We will listen and engage with all parties to seek understanding, so we can recommend a
resolution outcome and encourage learning.
Customers will be kept informed throughout the resolution process to ensure they feel heard and
understood. Where possible customers should understand the value their feedback provides and that
ACC seeks to learn from customer feedback .
ACC staff will know they have a specialist who is an expert in addressing and resolving customer
dissatisfaction and who works with them to resolve customer issues. In addition Customer Resolution will
provide opportunities for business units to learn and improve their overall customer experience.
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Best Practice Guide 2018
3.3 End to end accountability
The Customer Resolution service aims to provide one point of contact for all parties (e.g. customer,
business unit and advocate) from the time a complaint or concern is received to the final resolution. Our
customers will be informed about possible resolution pathways to achieve the best/appropriate outcome.
3.4 Focus on delivering customer outcomes
Our Customer Resolution service will add value for our customers by delivering a best practice
complaints management service. Customers will be included in flexible resolution approach, experience
a timely response and have increased trust and confidence in ACC. ACC staff will have expert advice
available to help them resolve customer dissatisfaction. Staff will recognise the opportunities to make
improvements to the service provided to their customer.
4 The Approach
From the moment we receive a customer’s escalated issue, we will assess (and continue to reassess)
what our level of involvement is, and who needs to be involved. This will be done on an individual case
by case basis. After receipt, each complaint will be initially assessed in terms of criteria such as severity,
safety implication, complexity, impact what actions need to be taken, by whom and when. Our approach
will be tailored to the customer’s needs with the aim of a timely and appropriate resolution with
impartiality in mind at all times.
4.2 Listen, Gather information and clarify
Our investigation should ensure we fully understand the nature of the issue. We do this by:
• Listening to all parties involved: This may involve phoning and emailing internal and external
customers to understand the issues and what outcome the customer is seeking
• Gathering necessary information from the customer and their file. Seek internal staff perspective
to understand their actions.
• Clarifying information. This may involve phone or email communication with the customer to
clarify information or ask further questions. From time to time a client may make complaint
generalisations about ACC and want these investigated. If a client has not provided enough
detail in the complaint, particularly if they write, email or use the ACC709 Complaint form, use the
COM02 More information for a complaint letter to ask for more information. If they client is unable
to provide details to indicate what their complaint is about we simply ask for more information and
explain why we need this before a complaint investigation can commence.
• If the complaint is going to take longer than 2 days to resolve, send written acknowledgment and
include timeframes for responses.
It is important to ensure complaint information is clearly captured and regularly updated for reporting
purposes, learnings and continuous improvement initiatives.
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Best Practice Guide 2018
4.3 Assess and Plan
It is essential to gain agreement/understanding early in the investigation on:
• Who needs to be involved: Consider involving the case owner, Team Manager, Branch Manager,
and seek internal advice (i.e. specialist or technical) as required.
• What timeframes are being worked to and what should be prioritised.
Complete the complaint summary as appropriate to capture key events and the timeline. This may be
shared with customers.
4.4 Communicate
When communicating with our customers, consider:
• How often you will communicate with key parties and the best way to do this.
• Pick up the phone and discuss things where appropriate. Communicate often so customers are
kept up to date.
4.5 Investigate and issue outcomes
Customer Resolution investigates complaints and may issue a decision under the Code if the client
requests the complaint be investigated or a service failure has been identified and a Code finding is
appropriate given the situation. The investigation will:
• Discuss resolution options and timeframes
• Address all customer questions/complaints, providing explanation or information
• Provide information on other agencies which may be able to help or be more appropriate
• Keep all parties up to date.
• Determine whether ACC has breached the Code (where a Code decision is being issued)
• Consider and provide an appropriate remedy (i.e. based on those available under legislation or
regulation)
• Where a Code decision is issued, provide information on review rights
5 Recommendations/Outcome
The recommendations will be discussed with both the customer and the business unit. We need to
communicate to ensure they are aware of the course of actions you have recommended. Following
contact with the Business unit, you can discuss resolution options with the customer. Follow through with
your outcome in writing as appropriate.
6 Apology as a remedy
An apology provides our customers acknowledgement ACC could have provided better service.
Apologies are more meaningful to customers when they include the change value. Customers want
assurance what they have experienced won’t happen to someone else and we learn and make
improvements. The apology can either come via the business unit or Customer Resolution appropriate.
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7 Follow up
The final stage in the resolution process is to follow up with the business unit to ensure agreed
recommendations have been actioned:
• The complaint can be closed off once you have seen evidence agreed actions have been
completed
• Contact with the client prior to closing the complaint may be appropriate
• Customers may receive the option of a survey on their experience dealing with the Customer
Resolution service
8 Unreasonable customer conduct (UCC)
When it comes to a person’s health or in dealing with a big organisation, there are times when it can be
frustrating. Where communication with us raises issues which impact on the health, safety, equity or
resourcing of our staff however, this is where it becomes unreasonable conduct. The Office of the
Ombudsman has produced a manual for frontline staff, supervisors and senior managers on ‘managing
unreasonable complainant conduct’.
Some of the core objectives and underlying principles include:
• Ensure that all complaints are dealt with equitably and fairly and resources are distributed based
on the complaints merits rather than a complainants demands or conduct
• Ensure staff have sufficient time to deal with unreasonable clients
• Comply with all health and safety including care indicators posed by the UCC
• Manage the clients expectations and ensure they are reasonable and realistic
• Insist that complainants show respect for and cooperate with staff
9 Requirements of select internal Areas
9.2 Ministerial correspondence
Correspondence sent to the ACC minister (or associate) may be transferred to ACC due to their
operational nature. Where this occurs a ministerial reference number may be assigned.
On other occasions the minister may ask ACC for information before responding. Where this occurs
Customer Resolution may be asked to work with the ministerial team in providing information so they can
compile a response.
9.3 Remote Claims Unit (RCU)
The Remote Claims Unit (RCU) is responsible for managing all aspects of claims and entitlements
relating to customers identified as a high safety risk. Customer Resolution uses pseudonyms to address
and respond to RCU customer complaints and concerns. RCU customers are required to communicate
with Customer Resolution in writing (i.e email, letter, fax).
9.4 Chief Executive
Complaints can be received directly to the Office of the Chief Executive (CE) / Executive Office (EO)
where they may log the complaint in their document management system, Action Remedy (AR), and
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Best Practice Guide 2018
assign a file number. Customer Resolutions also receive CE complaints directly and may forward these
by email to the EO where an AR number may be assigned.
10 Alternative Dispute Resolution (ADR)
ADR may be considered as an options towards resolution and can be recommend to either the business
unit or customer. There are three options:
Mediation: is effectively a formal meeting in which a neutral mediator helps the two sides discuss the
problem, identify the issues, and try to come up with an agreed settlement. The mediator merely
facilitates the process, and doesn’t make a decision about what will happen. This is for the parties to
decide together, unless they decide to ask the mediator to make a decision that binds them both.
Facilitation: is a process for trying to work out a way forward in a situation where the nature of a dispute
is unclear and the parties are having difficulty understanding each other.
Conciliation: is a meeting process where a neutral conciliator helps to assist parties in dispute come to
an agreement. Conciliator’s consider and appraise the facts of the dispute, and have an excellent
knowledge of accident compensation law and other relevant legislation. A conciliator does not impose a
decision on the parties but they may express opinions about the probable outcome of the application if it
were to be determined by a reviewer. A conciliator can suggest settlement options. It’s known more for a
‘harder approach’. The conciliator adopts a directive approach and sets expectations and provides
indicative outcomes about ACC legislation and entitlements.
11 Customer Resolution relevant documents
Below is a list of the documents you will use during the course of managing a feedback case or complaint:
Document name:
Used for:
COM01 Findings
writing your Code/non-Code decision
COM02 More information for a complaint
advising the client you require more information to
investigate their complaint
COM03 We have received your complaint acknowledging a written complaint received at ACC
ACC709 Complaint form
sending a complaint to us to log and investigate
ACC7407 Complaint investigation issue documenting the history for complaint issues
history
Accident Compensation Corporation
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1. Code Statement
ACC is charged with the implementation of the Accident Compensation
Act 2001. In fulfilling this duty, ACC’s vision is to create a unique
partnership with every New Zealander, improving their quality of life
by minimising the incidence and impact of injury.
As a Crown entity, ACC is part of the State Sector and contributes
to building the trust and confidence of citizens in the institutions
of government.
All State Sector organisations are expected to work with a spirit of
service to the community, to make our services accessible and effective
to those who need them, and to strive to make a positive difference to
the wellbeing of New Zealanders.
Everyone who works for ACC has an important role to play in making
sure we achieve our vision, and in ensuring we maintain our reputation
and standing in the perception of the public. Our actions and behaviours
must be consistent with these expectations at all times.
2. Objective
This Code governs the behaviours of all employees of ACC, to enable
us to meet the expectations placed upon us as a Crown Entity. These
standards are based on the standards that apply to all State Servants,
detailed in the State Services Standard of Integrity and Conduct.
The Code of Conduct:
• can be used to provide coaching on appropriate conduct
• enables recognition of those who model the desired standard
of conduct
• reflects and reinforces the ACC values and behaviour required
• outlines inappropriate behaviour and its consequences.
ACC CODE OF CONDUCT
1
3. Scope
All ACC employees and contractors are expected to maintain the highest
standards of integrity, discretion and ethical conduct when performing
duties or representing ACC in any way.
All employees of ACC must read, understand and follow our Code of
Conduct.
4. Code standards
You are expected to exercise good judgement to determine what action
to take in a given situation.
Your actions need to be able to withstand scrutiny from internal and
external parties. Our behaviour and actions must be seen to be fair,
impartial, responsible and trustworthy at all times.
In order to achieve the high standards of behaviour expected of us,
as an employee or contractor you must:
4.1 Be honest and act with integrity
• In all aspects of your employment (e.g. in your work with
clients and levy payers, with regard to work attendance,
requests for financial reimbursement, use of sick leave etc).
4.2 Respect the rights of others
• Treat others fairly, courteously, equally, and without
discrimination or harassment
• Uphold the rights of clients, as specified in the Code of ACC
Claimant’s rights
• Respect and respond to all cultures, values and beliefs,
particularly Māori and minority groups
• Promote the principles of Equal employment opportunity.
ACC CODE OF CONDUCT
2
4.3 Perform your duties to the best of
your ability
• Prioritise your primary role as an ACC employee over any
secondary interests, commitments, values or beliefs you
hold personally, and declare any potential Conflict of interest
immediately
• Show commitment to a high quality of work
• Adhere to the ACC Health and safety policies in all areas
of work
• Comply with all ACC policies, processes and standards
• Model and demonstrate ACC values and behaviours, which
underpin decisions about what we do, and how we operate
and behave
• Comply with the code of any professional body that you are
registered or affiliated with, where this impacts upon your
work with ACC
• Show initiative and creativity when resolving problems,
seek to maximise productivity, and identify opportunities
for improvement
• Make decisions appropriate to your role and be responsible
for those decisions and the actions that result from them
• Be supportive of changes made by ACC, as change is
necessary for the organisation’s success
• Be supportive of your colleagues and accept your
responsibilities as a team member
• Manage your personal and workplace relationships
appropriately so they do not adversely affect your work.
ACC CODE OF CONDUCT
3
4.4 Uphold the reputation and standing
of ACC
• Act with integrity in any personal dealings you may have with
ACC as a client
• Obtain your manager’s approval before commencing any
activity, business interest or employment that has the
potential to conflict with ACC business (e.g. acting as an
advocate for a client, undertaking secondary employment)
• Ensure your behaviour in relation to gifts and gratuities,
managing contracts and purchasing, and other sensitive
expenditure does not compromise (or appear to compromise)
your personal integrity or ACC’s
• Maintain appropriate professional behaviour when travelling
on ACC business
• Maintain appropriate professional behaviour in any situation
where you may be perceived as representing ACC
• Have a professional standard of dress
• Engage with the Media team about any media enquiries
you receive
• Ensure that your behaviour will not bring ACC into disrepute
• Advise your manager of any convictions or charges laid
against you whilst employed by ACC
• Maintain appropriate boundaries and relationships with clients
and any other people you may work with.
ACC CODE OF CONDUCT
4
4.5 Act in a politically neutral manner
• Ensure that your behaviour maintains Ministerial and public
confidence in the impartiality of advice given and actions taken
• Ensure that your comments do not bring ACC or the Minister
into disrepute, or compromise the perception of ACC as
politically neutral (e.g. stating or implying your personal view
on an issue as ACC’s view)
• Ensure that your personal participation in political matters
does not conflict with (or appear to conflict with) your duty to
act in a politically neutral manner.
4.6 Use ACC information and property
appropriately
• Be responsible for the security and confidentiality of all
information that you deal with during your employment
with ACC
• Use financial and non-financial information gathered by ACC
and your knowledge of ACC’s systems and processes only to
perform ACC”s business
• Treat all ACC assets and property with care and respect
• Take all reasonable steps to protect the privacy of our clients,
customers, employees and other stakeholders
• Report any actual or potential privacy breaches to your
manager immediately.
4.7 Act within the law
• In particular, the Accident Compensation Act 2001, Official
Information Act 1982, Privacy Act 1993, Health Information
Privacy Code 1994, Human Rights Act 1993, Employment
Relations Act 2000 and any other relevant legislation.
ACC CODE OF CONDUCT
5
5. Accountabilities
The Chief Talent Officer is responsible for ensuring organisational
controls are in place in support of this policy.
6. Responsibilities
(including monitoring and oversight)
Role:
Responsibility:
Employees
• Read, understand and follow this Code of Conduct
• Undertake training or confirm your understanding of the
Code of Conduct when requested by ACC
• Remain up to date with the current Code of Conduct
expectations
• Discuss any concerns about what may be considered
unacceptable behaviour with your manager
• Discuss with your manager before you take any course
of action that you are not entirely sure falls within the
bounds of acceptable behaviour
• If you believe someone in ACC is acting unethically, or
has been involved in serious wrongdoing, you should
report this confidentially through OKtoSay and receive
protection under the Protected Disclosure Act.
Contractors
• Maintain the highest standards of integrity, discretion and
ethical conduct when performing duties or representing
ACC in any way.
Continued …
ACC CODE OF CONDUCT
6
Role:
Responsibility:
Managers
• Managers are representatives of ACC both when dealing
with external customers or stakeholders, and when
dealing with internal employees and contractors
• Managers have a lead role in establishing and promoting
our expected standards of behaviour and integrity
• Managers are expected to conduct their behaviour,
actions and decisions consistently with their duty to be
fair, impartial, trustworthy and responsible at all times
• As a manager you are expected to:
– Establish and promote ACC’s expected standards of
behaviour and integrity
– Consider your behaviour, actions and decisions in terms
of the expectation to be fair, impartial, trustworthy and
responsible at all times
– Manage employees in accordance with the Code
of Conduct, and any other ACC policies, processes,
standards and systems in place to support you as a
manager (e.g. development programme, performance
management processes)
– Lead, model and promote the expected standards of
behaviour and integrity within the Code of Conduct and
other internal policies and processes
– Provide employees with education and coaching on
expected standards of behaviour and integrity where
needed
– Represent ACC positively when interacting with
staff, and deliver our policies, changes, initiatives or
decisions in a manner consistent with ACC’s intentions
– Take ultimate responsibility for work quality, actions
and decisions of employees in your team
– Manage within your capabilities and take ownership of
your own development, and that of your team
– Manage within the delegated authorities framework as
specified in the Delegations Manual.
Chief Talent Officer
• Monitor the effectiveness of the Code of Conduct
• Ensure organisational controls are in place in support of
this policy.
Executive
• Model the highest standard of behaviours according to
this Code of Conduct
• Ensure Code of Conduct behaviours are integrated into all
aspects of ACC business.
Board
• Approve the Code of Conduct and ensure it is consistent
with ACC’s strategic direction.
ACC CODE OF CONDUCT
7
7. Breaches of Policy
Behaviour or actions that are investigated and found to be in breach of
the Code of Conduct may result in disciplinary action. Where breaches
are found, ACC’s Discipline and dismissal procedures will be followed
and the employee will have an opportunity to provide an explanation for
their actions or behaviours and have the right to representation.
The action taken will depend on the severity of the breach:
• Breaches of the Code of Conduct that are deemed ‘misconduct’ may
lead to disciplinary action up to and including a final warning
• Breaches of the Code of Conduct that are deemed ‘serious
misconduct’ may lead to disciplinary action up to and including
summary dismissal. Summary dismissal is termination of
employment without notice or prior warnings.
If any breaches normally considered to be misconduct are very serious
or repeated, these may be deemed serious misconduct.
Misconduct
Misconduct occurs when an employee does something wrong (namely,
breaches this Code of Conduct or other ACC policy) either by doing
something, omitting to do something, or through their behaviour.
The lists below of actions considered to be misconduct or serious
misconduct are intended as a guide for employees, and are examples
only. They do not constitute an exhaustive list of breaches of the Code
of Conduct.
Examples of misconduct include:
• Any act of negligence harming ACC
• Disobeying a lawful and reasonable instruction from a manager
• Failure to meet the standards of performance and behaviour
expected of ACC employees
• Inappropriate behaviour or relationships
ACC CODE OF CONDUCT
8
• Any action which may in any way damage the relationship of trust
and confidence between ACC and government, other agencies or
the community
• Allowing unauthorised access to, or disclosure of, any matter or
information in relation to ACC business
• Misuse of ACC internet and/or email systems
• Inappropriate use of purchasing card or expenses
• Absence from duty or place of work without proper reason or
authorisation
• Repeated lateness for work, or repeated absenteeism without
just cause
• Failure to comply with any ACC policy or procedure
• Any behaviour of a similar type.
Serious misconduct
Serious misconduct occurs when the misconduct could have the effect
of destroying or undermining the relationship of trust and confidence
between an employee and employer.
Examples of serious misconduct include:
• Dishonesty
• Theft
• Fraud
• Handling a claim relating to oneself, a relative, acquaintance or
friend without the express approval of the manager, or taking a role
as an advocate for a client without approval
• Corruption – accepting a bribe, inducement, reward or gift, or
complying with a request or threat to use your position to provide a
benefit to any person or third party, which has the effect of allowing
inappropriate activity or compromising the impartial performance of
your duties
ACC CODE OF CONDUCT
9
• Failure to declare any activity, business interest or employment that
has the potential to conflict with ACC business
• Accessing ACC information relating to family, friends, acquaintances
or clients without legitimate cause
• Criminal conviction leading to imprisonment or adversely affecting
your ability to carry out your work. Offences generally considered
unacceptable are outlined in the Screening for Criminal Convictions
policy but will be determined according to the nature of the
employee’s role
• Misuse or unauthorised possession or sharing of ACC property
and/or information (e.g. misuse of financial information or client
information)
• Harassment of anyone you work with (e.g. client, employee,
contractor)
• Abusive or discriminatory statements or practices
• Assaulting or abusing another person
• Allowing work performance to be affected by drug, alcohol or
substance abuse (including abuse during work hours)
• Dangerous or unsafe work practices, including non-compliance with
ACC Health and safety policies, and Health and Safety legislation
• Any act that has the potential to bring ACC into disrepute
• Significant failure to comply with any ACC policy or procedural
requirements
• Any behaviour of a similar type.
8. Contacts
Contact HR Help regarding this policy.
ACC CODE OF CONDUCT
10
9. References
State Services Standards of integrity and conduct
Policies:
• Bullying and harassment
• Information security
• Conflict of interest
• Internet and email
• Protected disclosure
• Media
• Dress code
• Privacy
• Equal employment
• Procurement
opportunity
• Social media
• Sensitive expenditure
• Taking leave policy
• Health and safety
• Delegations Manual
10. Policy review dates
Last review:
February 2018
Next review:
February 2020
ACC CODE OF CONDUCT
11
www.acc.co.nz
ACC480 May 2019
Document Outline