2025-2026 Policy Library 
    
    Aug 28, 2025  
2025-2026 Policy Library

Other HR Policies



Revised 5/20/2014, 3/22/2011, 7/30/2022, 8/28/2024, 7/31/2025

Claremont McKenna College is an equal opportunity employer. The College is committed to a policy of equal employment opportunities for all applicants and employees and complies with all applicable state and federal laws on the matter. The College does not unlawfully discriminate on the basis of race, color, religion, sex, sexual orientation, gender identity, gender expression, pregnancy, breastfeeding or related medical condition, national origin, ancestry, citizenship, age, marital status, physical disability, mental disability, medical condition, genetic characteristic or information, sexual orientation, military and veteran status, or any other characteristic protected by state or federal law. Equal employment opportunity will be extended to all persons in all aspects of the employer-employee relationship, including recruitment, hiring, training, promotion, compensation, benefits, transfer, discipline, layoff, rehire, termination and social and recreational programs.

It is the responsibility of every manager and employee to follow this policy conscientiously. Employees with questions regarding this policy should discuss them with the Assistant Vice President for Human Resources or their supervisor.

Acceptable Email Usage

Purpose:

To set forth a policy detailing acceptable use of Claremont McKenna College’s email system.

Scope:

All Claremont McKenna College students, faculty, and staff.

Discussion:

The College provides computers and communication systems (telephone, voice mail and electronic mail, all centralized computer systems, and the local/wide area networks) to support the faculty and staff in their day-to-day college related tasks and to provide students with needed resources for their classes. Although limited personal use of the College’s system is allowed, Claremont McKenna College has established proper use of these resources. The College may inspect and monitor such use at any time. No individual should have any expectation of privacy for messages or other data recorded in the College’s systems.

Details:

The following points define proper email use at Claremont McKenna College:

  1. No use of these systems (described above) should ever conflict with the primary business purpose for which they have been provided, with the College’s ethical responsibilities or with applicable laws and regulations.
  2. Excessive personal use of the email system will not be permitted.
  3. The College may inspect and monitor data and communications at any time. This includes monitoring network usage, including contents, and examining files on any system that is or has been connected to the network.
  4. All data in the College’s computer and communications systems (including documents, other electronic files, and email messages) are the property of the College.
  5. The College’s system must not be used to create or transmit material that is derogatory, defamatory, obscene or offensive. Such material includes, but is not limited to, slurs, epithets or anything that might be construed as harassment or disparagement based on race, color, national origin, sex, sexual orientation, age, disability, or religious or political beliefs.
  6. The College’s systems must not be used to solicit or proselytize others for commercial purposes, causes, outside organizations, chain messages, or other non-job-related purposes.
  7. Email marked “personal and confidential” must be treated the same as a document with the same statement.

Revisions: 8/9/99 - Created
12/11/06 - Revised by ITS and the Administrative Computing Committee

Bloodborne Pathogens Exposure Control Plan

In today’s world of AIDS, Hepatitis B, and other such diseases we must be careful. You cannot catch them by being near a person with the disease, but precautions must be taken because they are contracted through contact with contaminated bodily fluids, including blood, saliva, urine, feces, vomit, etc. The purpose of this exposure control plan is to:

  1. Eliminate or minimize employee occupational exposure to blood or certain other body fluids.
  2. Comply with the Cal/OSHA Bloodborne Pathogens Standard, CCR-T8 5193.

Infection Control Representative(s)

Infection Control Representative(s) must be selected to implement the exposure control plan. Claremont McKenna College (CMC) will use the Safety Coordinator named in the Illness and Injury Prevention Program, the Athletics Director and the Associate Dean of Students. These people will be responsible for implementing this plan and for enforcing it.

Exposure Control Plan

The Exposure Control Plan must be in written form, and updated annually, or as needed, taking into account all job classifications where people may be exposed to bloodborne pathogens. A copy of this plan must be made available to employees, their representatives, and Cal/OSHA, if requested. Supervisors will provide all of their employees with a copy during orientation, and also a copy to current employees.

Supervisors must determine the people who have a reasonable risk of exposure regardless of protective equipment. They must list both a) job classifications where all employees may be exposed and b) job classifications where some of the employees may be exposed and the situations in which exposure may occur.

Method of Implementation:

Compliance Methods

General/universal precautions will be taken to prevent contact with blood or other potentially infectious material. One of the most basic manners of prevention is careful engineering controls and work procedures and practices. Caution and common sense must always be used when around possibly infectious material.

Hand washing facilities will be made available to the employees who incur exposure to blood or other potentially infectious materials. If hand-washing facilities are not feasible, employee should use antiseptic cleaner provided by employer.

Mouth pipetting and suctioning of blood (e.g., to cure snake bites), and other bodily fluids are not allowed.

Contaminated Needles and Sharps

Contaminated needles and other sharps shall not be sheared or purposely broken. Cal/OSHA allows recapping, bending or removal of contaminated needles only when the procedure requires it and no alternative is feasible. If such action is required it must be done by the use of a mechanical device.

Contaminated sharps that are reusable are to be placed immediately, or as soon as possible, after use into appropriate containers. Containers must be puncture resistant, labeled with a biohazard label and leak proof.

Work Area Restrictions

Food and drink are not allowed in areas that possibly contain infectious material.

Smoking is prohibited in all work areas.

Application of cosmetics, eye contacts, and removal of these things is also prohibited in areas that possibly contain infectious material.

Food and beverages are not to be kept in refrigerators, freezers, shelves, cabinets, counters or bench tops where blood or other potentially infectious materials are present.

Specimens

Specimens of blood or other potentially infectious materials will be placed in a container, which prevents leakage during the collection, handling, storage, processing or transporting of the specimens.

The container for this use will be properly labeled.

Personal Protective Equipment (PPE)

The employer will provide any necessary personal protective equipment at no cost to the employee.

Each supervisor is responsible for ensuring that employees use such equipment.

Equipment includes, but is not limited to: gloves, lab coats, face shields or masks, other ventilation devices and shoe coverings. All PPE must fit the employee properly. Some people are allergic and the College must provide for their needs. This means, for example, that non-powdered gloves must be available in addition to the standard powdered ones.

The supervisor is also responsible for getting this equipment cleaned thoroughly and properly, and providing repairs and replacements as necessary.

Supervisors are responsible for training all their employees on the proper use of personal protective equipment.

All employees are required to use the employer-provided PPE when in a situation that might expose the employee to possibly infectious material.

Housekeeping

Another basic precaution is cleaning the work area. Employees are in charge of this. Cleaning and decontaminating the work area must be scheduled regularly. This includes all equipment in the area.

Cleaning and decontaminating must also occur as soon as possible after contact with blood or other possibly infectious material. Protective coverings (plastic wrap, foil, etc.) should be replaced frequently.

Possibly contaminated glass should not be thrown away with regular garbage, but should be stored in secure and labeled containers and disposed of properly, as should all regulated waste. However, sometimes infectious material makes it into the garbage. That is why caution should be used when taking care of the garbage. For example, wear gloves and don’t put a hand underneath to help carry the bag.

While it is unlikely that sharps, etc. are in the laundry, it is highly possible that clothes may have been splattered by infected material, and if you were to touch it directly, contact would occur. This is another situation where gloves are required.

Hepatitis B Vaccine and Post-Exposure Follow-Up

CMC shall make available the Hepatitis B vaccination series to all employees who have occupational exposure, and post-exposure follow-up to employees who have had an exposure incident. The infection control representatives shall ensure that the Hepatitis B vaccine and post exposure follow-up is:

  • Made available at no cost to the employees.
  • Made available to the employee at a reasonable time and place.
  • Performed by or under the supervision of a licensed physician or under the supervision of another licensed healthcare professional.
  • Proved according to the recommendations of the U.S. Public Health Service.

An accredited laboratory at no cost to the employee shall conduct all laboratory tests.

Hepatitis B Vaccinations

  • Hepatitis B vaccinations shall be made available after the employee has received training in occupational exposure and within 10 working days of initial assignment.
  • If an employee initially declines Hepatitis B vaccination but at a later date, while still covered under the standard decides to accept the vaccination, the vaccination shall then be made available.
  • All employees who decline the Hepatitis B vaccination shall sign a Cal/OSHA required waiver indicating their refusal.

Post-Exposure Evaluation

All exposure incidents shall be reported, investigated and documented. When the employee incurs an exposure incident, it shall first be reported to their immediate supervisor.

Following the report of an exposure incident, the exposed employee shall immediately receive a confidential medical evaluation and follow-up, including at least two of the following:

  • Documentation of the route of exposure and the circumstances under which the exposure incident occurred.
  • Identification and documentation of the source individual, unless it can be established that the identification is infeasible or prohibited by State or local law.
  • The source individual’s blood shall be tested as soon as feasible and after consent has been obtained.
  • When the source individual is already known to be infected with HBV or HIV, testing need not be repeated.
  • Results of the source individual’s testing shall be made available to the exposed employee, and the employee shall be informed of applicable laws and regulations concerning disclosure of the identity and infectious status of the source individual.

Information and Training

Each supervisor shall ensure that training is provided to the employee at the time of initial assignment to tasks where occupational exposure may occur. Said training shall be repeated every twelve months. The training will be interactive and cover the following elements:

  • An accessible copy of the standard and explanation of its contents.
  • A discussion of the epidemiology and symptoms of bloodborne diseases.
  • An explanation of the modes of transmission of bloodborne pathogens.
  • An explanation of the CMC Bloodborne Pathogen Exposure Control Plan.
  • The recognition of tasks that may involve exposure.
  • An explanation of the use and limitations of methods to reduce exposure.
  • Information on the types, use, location, removal, handling, decontamination and disposal of PPEs.
  • An explanation of the basis selection of PPEs.
  • Information on the Hepatitis B vaccine.
  • Information on the appropriate actions to take in an emergency involving blood or other bodily fluids.
  • An explanation of the procedures to follow if an exposure incident occurs.
  • Information on the evaluation and follow-up required after an exposure incident.
  • An explanation of the signs, labels and color-coding systems.

The person conducting the training shall be knowledgeable in the subject matter.

Additional training shall be provided to employees when there are any changes of tasks or procedures affecting the employees’ occupational exposure.

Labels and Signs

As a method of informing and reminding, Biohazard labels are required in areas where exposure may occur and on containers containing possibly infectious material. Supervisors must make sure that their work area has the appropriate labels. Signs must have the Biohazard picture on them, the name of the infectious agent, specific requirements to enter the area, and the name and phone number of the responsible person. This information must be written in black or some other contrasting color on a fluorescent orange or red-orange background.

Each supervisor shall ensure that biohazard labels are affixed to containers of regulated waste, refrigerators and freezers containing blood or other potentially infectious materials.

Record Keeping

CMC is required to maintain strict records. This is to keep down our liability in the event of an incident, and to help us understand what has been done, who has been covered, where the most accidents occur, and other such information that we can use to make the campus safer for employees.

Accessibility to the records is of equal importance as maintaining them. Employees or a designated representative must have access to the records. Either CMC must provide copies for free to the employee (employee is understood to mean employee or a designated representative), or a copy machine must be easily accessible to the employee. X-ray access is allowed to be restricted, however. Due to the nature of the record, it is difficult to get duplicates. While the x-ray may be loaned out to the employee, it must be returned to CMC. A minimal fee, for searching and handling, may be charged for second requests, unless the request is for information that has been added since the last request, or if the requester is the employee’s collective bargaining agent. Otherwise, only one request may be made for free. The employee does have total access for that first request.

Medical Records

Medical records must all be kept confidential, to be given out only to those who have the permission of the employee. It is suggested, though not required, that a letter from the employee that states who is allowed access to the file be kept on file. These records must be kept throughout the duration of the employment, and an additional thirty years. If an employee works for less than a year, the record may be given to him upon termination of his employment from CMC. CMC would then be absolved of all record keeping requirements pertaining to this employee. The records shall include the following:

  • The name and social security number of the employee.
  • A copy of the employee’s HBV vaccination status.
  • A copy of all results of examination, medical testing and follow-up procedures.
  • A copy of the information provided to the healthcare professional, including a description of the employee’s duties as they relate to the exposure incident.
  • A confidential copy of the healthcare professional opinion.

Training Records

The supervisor is responsible for maintaining training records. Records pertaining to bloodborne pathogen exposure training must be kept for three years. The following information shall be documented:

  • The dates of the training session.
  • An outline describing the material presented.
  • The names and qualifications of persons conducting the training.
  • The names and job titles of all persons attending the training sessions.

Exposure Records

Exposure records will be maintained in the Office of Human Resources, along with medical records.

The Assistant Vice President for Human Resources must record all exposure incidents in the OSHA 300 log if a physician administers medical treatment, or if HIV or HBV is a direct result of the exposure.

All exposure records must be kept for thirty years, in addition to the duration of employment. Data about work area quality may be destroyed after one year, as long as the methods and results of the survey are kept the full thirty years.

MSDS’s are strongly recommended to be kept for thirty years, but the minimum requirement is the identity of the agent, and when and where it was used.

A basic record of all exposure incidents (who, what, where, when) is the minimum requirement, and must be kept thirty years. Lastly, all analyses must be kept for thirty years.

Program Audits

It isn’t enough to just have a plan; we must make regular checks to see that it is being followed. Certain things need to be assessed regularly, and corrected when necessary, to ensure the effectiveness of the program. These things include the need for and availability of engineering controls, the use and quality of personal protective equipment, and the use of proper work practices. The infection control representatives will conduct these audits semi-annually, and record their observations and any actions taken as a result of their discoveries.

Miscellaneous Issues

Companies that supply CMC with contract labor (i.e. outside companies that we pay to pave parking lots, remodel buildings, etc.) must likewise educate their employees. In other words, all people performing work on CMC’s campus who may be exposed to bloodborne pathogens must have knowledge of them and be made aware of the vaccination program available. The person responsible for contracting with outside vendors must obtain a letter of commitment stating they have a bloodborne pathogen training program.

December 2003

Claremont McKenna College Drug-Free Workplace Policy

In compliance with federal law, Claremont McKenna College establishes a Drug-Free Workplace Policy effective immediately. The unlawful manufacture, distribution, possession, sale, offer to sell, purchase and/or use of controlled substances in the workplace is prohibited. These controlled substances include, but are not limited to, marijuana, heroin, cocaine, and amphetamines.

The provisions of the Act do not require employees or students to undergo drug screening or testing.

The safety and health of our faculty, staff, and students is a primary concern of the College. It is well known that substance abuse and dependency can lead to work-related accidents caused by impaired judgment, inability to operate equipment properly, and other similar situations. Employees who are under the influence are a danger to both themselves and others with whom they work. When they do not cause actual harm, they present a source of concern and a demoralizing effect on other employees. In addition, substance abusers are not always on the job because of ill health and are more likely to be absent from work, be on workers’ compensation, or disability leave.

The cost on the employees and the employer is inestimable. While there is no doubt that substance abusers cost employers, the effect on the College environment should not be underestimated.

The purpose of this policy is (1) to state rules governing substance abuse in the workplace; (2) to present disciplinary procedures, and (3) to offer recommendations for rehabilitation and treatment.

Rules Governing Substance Abuse at Work/Disciplinary Procedures:

  1. As a condition of employment and continued employment, all employees of Claremont McKenna College (faculty, administration, staff, and student employees) are required to adhere to this policy.
  2. All employees should be provided with a copy of this policy, especially those employed in grant and contract projects, students receiving federal funds, and other segments of the employee/student population.
  3. All employees are prohibited from possessing/using illegal drugs during office hours and while on the premises.
  4. Employees who unlawfully manufacture, distribute, sell, offer to sell, dispense, possess, purchase or use controlled substances in the workplace shall be subject to discipline, up to and including termination.
  5. Supervisors will be responsible for reporting to the Assistant Vice President for Human Resources of the College any conviction of any employee as a result of a drug violation. Reports concerning students’ conviction(s) will be reported to the Director of Financial Aid.
  6. Employees convicted of drug offenses in the workplace will be required to participate in a rehabilitation program.

Drug Awareness Program/Rehabilitation

  1. The Claremont Colleges sponsor several campus programs on drug awareness for all members of the community. Supervisors are encouraged to urge their employees to attend such presentations.
  2. Well, Well, Well, a newsletter published four times a year serves as an information vehicle for community health education. That newsletter is distributed to all students, faculty, and staff.
  3. Staff News, an employee newsletter issued two time a year through CUC, will regularly feature articles on drug awareness.
  4. A network of referrals and support groups is available to employees who are concerned about problems of substance abuse and rehabilitation. This information is available from the Assistant Vice President for Human Resources.
  5. Each of The Claremont Colleges has indicated that it will adopt a policy similar to this statement.

The Policy for a Drug-Free Workplace

The intent of this policy is to help establish and maintain a safe College environment for students, faculty, and staff; it is also required by law. Additionally, the College hopes it will provide a referral service to assist in rehabilitation of students or employees seeking help.

The “Drug-Free Workplace Act” defines the employer’s obligation to maintain a “drug-free workplace” both in terms of procedure and compliance. It also defines the result for non-compliance. Meeting the certification requirements will be a pre-condition to receiving federal monies, including federal student employment or scholarship funds.

Electric Cart/Industrial Truck Use Policy

Revised 6/09/2014

This program is applicable to all Claremont McKenna College (hereinafter referred to as CMC) employees whose duties require them to operate or maintain powered industrial trucks including, but not limited to golf carts, whether powered by electrical motors or internal combustion engines. General rules are in Exhibit A, attached to this document.

Supervisor Responsibilities

Supervisors are responsible for the following:

  1. Assuring that all electric cart/industrial truck users follow all policies and procedures relating to the use of this equipment.
  2. Providing electric cart/industrial truck operators with training, including hands-on operating procedures.
  3. Allowing only employees who are insured by the College to operate an electric cart and/or industrial truck.
  4. Maintaining all required documentation including training documentation and pre-operational checklists.

Safety Requirements/Operator Responsibilities

  1. Electric cart/industrial truck users must have authorization and training before using an electric cart/industrial truck.
  2. Pre-operational checks and routine maintenance must be performed before operating an electric cart/industrial truck.
  3. Electric cart/industrial truck operators are responsible for following all policies and procedures relating to industrial truck use.
  4. Electric cart/industrial truck operators are responsible for following all safe-driving standards when operating an industrial truck.
  5. Electric carts/industrial trucks will not be driven if there is any concern about safety or any mechanical problems.
  6. Electric cart/industrial truck operators are responsible for reporting all incidents and unsafe conditions immediately to their supervisor.

Safety Checks

  1. Each electric cart and/or industrial truck shall be visually inspected before initial use at least once per shift.
  2. Pre-operational safety checks and routine maintenance should be performed on all electric carts and industrial trucks operated on campus.
  3. Each department operating the electric cart/industrial truck should maintain records of all inspections.

Exhibit A

Rules for Driving Electric Carts/Industrial Trucks

  1. Drive slowly and carefully whenever driving on campus. Negotiate the entries to campus carefully and never drive faster than the posted speed limit.
  2. NO ONE SHOULD RIDE IN THE BACK OF AN ELECTRIC CART. You are using the cart for transporting large items, not for transporting people.
  3. Under no circumstances should rides be offered to students, staff, faculty, or guests. In the case of an emergency, contact your supervisor.
  4. Keep legs and arms inside the vehicle at all times.
  5. The cart should not be left parked blocking the entrance to a building, obstructing foot traffic on a sidewalk, or blocking gates enclosing trash and recycle bins.
  6. Always take the cart keys with you when leaving the cart unattended.
  7. While driving on the sidewalk watch running onto the edges of the grass where the sprinkler heads are located. The weight of the cart easily breaks them.
  8. When removing the cart from its storage location be sure to secure the storage area gate or doors after you move out the cart.
  9. When returning the cart plug it in and secure the storage area.
  10. As noted in the Electric Cart/Industrial Truck Policy, the driver should make a visual inspection of the cart before driving it.
  11. Electric carts are NOT allowed in the following areas on campus:
  • No parking in Bauer breezeway
  • No driving in Adams breezeway or on the south sidewalk
  • No driving in the North Mall

Supervisors must insure that all new employees are properly trained on each electric cart they will operate.
Any accident must be immediately reported to their supervisor. At that time the cart and the building or object struck must be inspected for damage.
Electric carts are provided for use during an employee’s regular work hours. No employee is authorized to use said carts outside their normal workday.
When visiting Story House or Collins, park carts in the fire lane south of Story House.

Facility Use Policy

The College has outlined policies and procedures for the reservation and use of its facilities for official College events as well as personal events.  The College has also outlined a baseline level of services it provides for official College events as well as the costs associated with services beyond the baseline level, for services for personal events held at the College, or for any event in which support services are not timely requested.  Please see the Facility Use Policy and the Schedule of Fees.  

Fraternization Policy

Background/Purpose:

Fraternization policies require a delicate balance between establishing appropriate workplace norms and acknowledging a faculty or staff member’s right to privacy. The following fraternization policy is focused on supervisor/subordinate relationships as it is these relationships that cause the most concern for potential sexual harassment. The following fraternization policy is also based on the staff member’s duty to provide notice to the appropriate College representative if a relationship develops so that the College can take appropriate action.

Policy

CMC is committed to avoiding situations which may generate complaints of favoritism and sexual harassment. Staff members who hold a position as a supervisor or manager are strongly encouraged to refrain from becoming romantically involved with any subordinate and are prohibited from becoming romantically involved with a subordinate over whom they have direct authority or the authority to influence their working conditions. Similarly, all staff members are strongly encouraged to refrain from becoming romantically involved with any student and are prohibited from becoming romantically involved with a student over whom they have direct authority or the authority to influence their educational conditions.

In the event a romantic relationship develops, the staff supervisor/manager (or any staff member in the case of a relationship with a student) must report the relationship to the Vice President for Academic Affairs and Dean of the Faculty (if a faculty member) or to the Assistant Vice President for Human Resources (if a staff member) in order to allow CMC to take appropriate action (including, by way of example but not limitation, a possible transfer of one of the individuals involved). Faculty or staff members who fail to report such a relationship may face disciplinary action, up to and including termination. Staff who have questions about this policy may contact the Assistant Vice President for Human Resources.

February 2009

Hazard Communication Program

Claremont McKenna College (hereinafter referred to as CMC) has developed a Hazard Communication Program to enhance our employees’ health and safety.

As a college we intend to provide information about chemical hazards and other hazardous substances, and the control of hazards via our comprehensive Hazard Communication Program which includes container labeling and disposal, Data Safety Sheets (SDS) and training.

The following program outlines how we will accomplish this objective.

Container Labeling

It is the policy of this college that no container of hazardous substances will be released for use until the supervisor verifies the following information:

  • Containers are clearly labeled as to the contents;
  • Appropriate hazard warnings are noted;
  • The name and address of the manufacturer are listed on the container.

All containers must be labeled. All labels must be legible and, if any of the information is missing, a new label must be made. Labels must be written in English. Supervisors will provide assistance, when requested, if the employee is encountering language or general reading difficulties.

Safety Data Sheets (SDS)

Reach out to the Emergency Preparedness and Safety Manager to obtain copies of SDS for all hazardous substances to which employees of this company may be exposed to. Supervisors are responsible for providing the Emergency Preparedness and Safety Manager with their SDS. SDS which are applicable to specific departments are kept at Collins Hall, Roberts Pavilion, Faculty Support Centers, Keck Science Center, the Psychology Research Labs, and Story House. 

Each supervisor will review incoming SDS for new and significant health and safety information. Supervisors will see that any new information is distributed to the affected employees.

SDS will be reviewed for completeness once per year, if not more often, by each supervisor and a date of review will be noted. If a SDS is missing or incomplete, a new SDS will be requested within seven days, in writing, from the manufacturer. Cal/OSHA must be notified if the manufacturer does not respond.

SDS must be available for employees to review.

Employee Information and Training
 

Employees will recieve a health and safety orientation applicable to their position and provided by their department supervisor, prior to beginning a new position, for information and training on:

  • An overview of the requirements contained in the Hazard Communication Regulation, including their rights under the regulation.
  • Inform employees of any operations in their work area where hazardous substances are present and identify those substances.
  • Location and availability of the written hazard communication program.
  • Physical and health effects of the hazardous substances to which they may be exposed.
  • Methods and observation techniques used to determine the presence or release of hazardous substances in the work place.
  • How to lessen or prevent exposure to these hazardous substances through use of proper work practices and personal protective equipment.
  • Emergency and first aid procedures to follow if employees are exposed to a hazardous substance.
  • How to read labels and review SDS to obtain appropriate hazard information.

When new hazardous substances are introduced the supervisor will review these items with all employees affected.

List of Hazardous Substances

Each department is responsible for compiling a list of all hazardous materials used by their employees. A material is considered hazardous if the label states its hazardous quality. This list must be updated every time a new hazardous material is introduced into the workplace or any chemical currently in use is discovered to be hazardous. Specific information on each substance on the list can be found on the SDS.

Hazardous Non-Routine Tasks

Periodically, employees are required to perform hazardous, non-routine tasks. Prior to starting work on such projects, each affected employee will be given information by his/her supervisor about hazards to which he/she may be exposed.

This information will include:

  • Specific hazards;
  • Protective equipment and safety measures which must be utilized;
  • Measures CMC has taken to lessen the hazards including ventilation, respirators, presence of another employee and emergency procedures.

Outside Contractors

To ensure that outside contractors work safely on campus, it is the responsibility of the person who established the relationship to provide the following information: *

  • Hazardous substances to which they may be exposed on the jobsite.
  • Precautions their employees may take to lessen the possibility of exposure by usage of proper protective measures.
  • A copy of CMC’s hazardous communication program and IIPP.

The person who established this relationship with an outside contractor must obtain a copy of the contractor’s hazardous communication program and IIPP.

* All requirements must be met prior to commencement of project.

Disposal of Hazardous Material

To dispose of any hazardous materials each department must take the following steps:

  1. The using department shall collect excess hazardous waste in containers no larger than 5 gallons. Containers must be suitable for the materials placed in them.
  2. The using department will identify by chemical name the amount, concentration and hazard class of the hazardous materials in each container. Unknown chemicals will not be accepted for disposal. 
  3. The materials shall be collected in a centralized location and properly stored pending deposition.
  4. Contact the Emergency Preparedness and Safety Manager or the Chemical Hygiene Officer to pick up the materials.
  5. This material will be separated by a licensed contractor for appropriate disposition.
  6. All materials classified as hazardous waste will be disposed of by this contractor according to all applicable rules and regulations. All labeling, packing and other preparation for transport will be done by this contractor.
  7. The designated vendor will meet all applicable rules and regulations and provide emergency response for spills.
  8. A kit for cleaning up small spills (less than 5 gallons) shall be maintained in each department’s storage area with appropriate personal protective equipment. Large spills will be handled by the designated vendor noted above.

Parking Regulations for CMC Faculty / Staff / Students / Visitors

The College has outlined policies and procedures for parking at the College, including how to make requests for special parking arrangements.  Please review the College’s Faculty, Staff, Students, and Visitors Parking Policy  

January 1, 2009

Policy on the Use of Cell Phones and/or Internet Service (DSL or Cable Modem-Broadband Access)

I. Policy Statement

The purpose of this policy is to allow qualified employees a taxable monthly allowance for cell phone use and/or home-based DSL or Cable Modem-Broadband access connection, as well as a taxable equipment purchase allowance if needed.

II. Entities Covered by this Policy

All units of the College

III. Contacts

Direct any questions about this policy to your department’s supervisor. Questions about specific issues may be addressed to the Treasurer’s Office X77085.

IV. Definitions

Qualified employee is defined as any employee that meets at least one of the following two criteria:

  • The employee’s job requires them to spend a considerable amount of time outside of their assigned office or work area during normal working hours and have regular access to telephone and/or internet connections.
  • The employee’s job requires them to be accessible outside of scheduled or normal working hours. (This is not intended to include occasional, incidental access or purely voluntary access such as checking email from home).

V. Principles/Procedures

This policy is effective as of September 1, 2006 and supersedes all previous guidelines regarding cell phones and/or internet services.

Tax Issues

Perhaps because of the federal legislation regarding employee benefits that was enacted several years ago, the IRS, in recent investigations, has closely scrutinized the treatment of personal use of employer-provided equipment and services, such as cell phones and automobiles. These detailed reviews have led the IRS to require that a log, which lists every call that is made or received on an employer-provided cell phone and its business purpose, be kept by the cell phone holder. Since maintaining a log is very time-consuming, it has been decided that the College will no longer: 1) purchase cell phones; 2) pay vendors directly for monthly service; or 3) reimburse employees for monthly service or for purchases of related equipment. Rather, for authorized individuals, the College will provide a taxable monthly allowance for cell phone and/or internet use and may provide a taxable equipment purchase allowance.

In addition to the taxable allowance, benefits to employees include: 1) a log is not required; 2) no monthly reporting is required; and 3) phones may be used for personal calls and can be combined or enhanced with other features in personal plans.

Types of Allowances and Limits

  1. A monthly allowance of up to $30 per month for cell phone service.
  2. A supervisor may determine that an additional amount of up to $40 per month should be paid for an internet/data connection on a covered PDA / Smartphone.
  3. An equipment allowance of up to $150 only when a PDA / Smartphone is required with an internet/data connection. The equipment allowance must be preapproved by a Vice President. A similar allowance for replacements may be made at intervals of no less than two years.
  4. A monthly allowance of up to $30 per month for a home-based DSL or Cable Modem-Broadband access connection may be allowed if a supervisor requires internet access outside of normal business hours.

The College may grant one or more of the above allowances to any qualified employee as defined above.

A supervisor should use personal discretion, knowledge of the employee’s duties, and budget considerations to determine the amount of the allowance to be provided to each authorized employee. All allowances must be covered by the department’s budget and, although the limits may vary, all allowances are taxable.

Administration of Allowance

If a supervisor deems it appropriate for someone in his/her department to receive a cell phone allowance, the supervisor is to provide written authorization (e.g., attached authorization form with approval from the appropriate Vice President) to the Business Office, indicating the type of allowance requested and the amount. As noted above, the amount must be within the limits established above.

Direct Payments by the College to a Vendor for Cell Phone or Internet Service

The College will no longer provide direct payments to a vendor for the purchase of equipment or monthly cell phone or internet service for an employee. Additionally, the College will not enter into contracts with vendors for employee use of cell phones or internet service. Given that a taxable allowance will now be provided for monthly service fees, the employee will be the direct holder of a contract with the cell phone company and/or internet service provider.

One Allowance per Employee

Given the taxability of the allowance, each employee who is authorized to have a cell phone for work purposes is to apply for his or her own allowance. In other words, Supervisor A cannot enter in a cell phone contract for both himself/herself and Employee B. If Employee B is authorized by Supervisor A and the appropriate Vice President to have an allowance, Employee B should enter into his/her own contract with a vendor and request a taxable allowance from the College.

Payroll Processing

Once the Business Office receives and approves the request to initiate the allowance, the Authorization Form will be forwarded to the Payroll Department with a request to add the allowance to the employee’s payroll check. A copy of the approved authorization form will be returned to the supervisor to inform the department of approval. (Reminder: appropriate payroll taxes on the amount of the allowance will be withheld from the paycheck and the amount of the allowance will be included in the wages line on the individual’s year-end W-2).

Exceptions

Any exception to the monthly taxable allowance above (including the use of “non-assigned” phones by a limited number of departments) must be pre-approved in writing by the V.P. for Business and Administration and Treasurer.

Use of College Cell Phone While Driving

In the interest of the safety of our employees and other drivers, CMC requires employees to comply with all applicable laws while driving.

Issued: September 1, 2006
Revised: April, 2009

Substance and Alcohol Abuse Prevention and Program Policy

Purpose

Claremont McKenna College is committed to providing a safe, healthy and productive environment for all students and employees. The purpose of this policy is to communicate the College’s concern and desire to provide an efficient and effective campus environment and to articulate its intent to comply with all appropriate federal, state and local regulations regarding illicit use of drugs and the abuse of alcohol in the workplace.

Scope

This policy shall apply to all students, faculty and staff of Claremont McKenna College either on the CMC campus or its offsite locations, or as any part of its activities. In addition, employees shall not use or abuse illegal substances that impair performance of assigned tasks.

Policy

The Drug Free Schools and Communities Act Amendment of 1989 requires that, as a condition of receiving funds or any other form of financial assistance under any Federal program, an institution of higher education must certify that it has adopted and implemented a program to prevent the unlawful possession, use or distribution of illicit drugs or alcohol by students and employees. The Federal regulations require annual notification to each employee and student that the unlawful manufacture, distribution, dispensation, possession or use of illicit drugs or alcohol is prohibited.

Claremont McKenna College seeks to maintain a work and educational environment that is safe for our employees and students and conducive to hard work and high educational standards. The College intends to comply with the Drug Free Workplace Act and other regulations regarding drug and alcohol abuse in the workplace.

As a condition of employment, all employees of Claremont McKenna College (this includes faculty, staff and student employees) are required to comply with this policy.

An employee who is convicted (including a plea of nolo contendere (no contest) of a criminal drug statue violation occurring in the workplace must, within five (5) days after the conviction, notify CMC of such conviction by informing the director of personnel, the dean of the faculty or the director of financial aid.

Members of the Claremont McKenna College community are expected to act lawfully with respect to the possession and consumption of alcoholic beverages. Consumption of alcohol by individuals under 21 is prohibited.

Persons who are not employees of the college, but who perform work at the college for its benefit (such as contractors and their employees, temporary employees provided by agencies, visitors engaged in joint projects, etc.) are required to comply with this policy. Violation of this policy by such persons is likely to result in their being barred from the workplace even for a first offense.

Health Risks

All drugs are toxic or poisonous when abused. Health risks of drug abuse include but are not limited to sleep disorders, confusion, hallucinations, paranoia, deep depression, malnutrition, liver and kidney damage, cardiac irregularities, hepatitis, and neurological damage.

Alcohol is a depressant. It depresses the central nervous system and can cause serious physical damage. Excessive drinking damages the liver, resulting in cirrhosis; chronic alcohol abuse also causes hypertension, cardiac irregularities, ulcers, pancreatitis, kidney disease, cancer of the esophagus, liver, bladder or lungs; memory loss, tremors, malnutrition, vitamin deficiencies and possibly sexual dysfunction.

Abuse of alcohol or drugs during pregnancy increases the risk of birth defects, spontaneous abortion and still births.

Local, State and Federal Legal Sanctions

Local, State and Federal laws establish severe penalties for unlawful possession or distribution of illicit drugs and alcohol. These sanctions, upon conviction, may range from a fine to life imprisonment. In the case of possession and distribution of illegal drugs, these sanctions could include the seizure and summary forfeiture of property, including vehicles. It is especially important to know that recent Federal laws have increased the penalties for illegally distributing drugs to include life imprisonment and fines in excess of $1,000,000.

The denial of Federal benefits, such as student loans and grants up to one year for the first offense, up to five years for second and subsequent offenses.

Examples of the law include:

  • Unlawful possession of any controlled substance is punishable by imprisonment in the state prison.
  • The purchase, possession, or consumption of any alcoholic beverages (including beer and wine) by any person under the age of 21 is prohibited.
  • It is not permissible to sell or give alcohol to an intoxicated person regardless of age.
  • It is unlawful for a person under the age of 21 to present fraudulent identification for the purpose of purchasing alcohol.
  • Selling, either directly or indirectly, any alcoholic beverages except under the authority of a California Alcoholic Beverage Control License is prohibited. This includes selling glasses, mixes, ice, or tickets for admission.
  • Possession of an alcoholic beverage in an open container in a motor vehicle or on a bicycle is unlawful, regardless of who is driving or whether one is intoxicated.
  • Driving a motor vehicle or bicycle while under the influence of alcohol is unlawful.

A description of state and local laws is available in the Dean of Students office. California State Laws are also available at the Honnold/Mudd Library in the annual publication of West Annotated California Codes. A copy of the Federal Register, Vol. 55, No. 159 with the rules and regulations included in the Drug Free School and Communities Act Amendments of 1989 may obtained from the Director of Personnel or the Dean of Students.

Assistance for Alcohol Abuse and/or Drug Abuse Problems

Students

Claremont McKenna College is committed to education and counseling as the primary focus of its substance abuse program and will provide confidential, professional assistance for any students who want it. Students are urged to seek information and help regarding substance abuse for themselves or their friends. A variety of services including counseling, educational materials, and/or referral are available at the following offices as a part of the overall Claremont Colleges’ program.

Alcohol and Drug Education Program - Bridges Auditorium (north side) ext. 8471 or 4310

Health Education Outreach Office - McAlister Center, ext. 3602 

Monsour Counseling Center, 735 N. Dartmouth, ext. 8202

Baxter Student Health Services, 175 E. 6th Street, ext. 8222

Dean of Students Office, Heggblade Center, CMC campus.

In particular, the Alcohol and Drug Education Program will provide ongoing, student-centered education and prevention programs including a peer education and training program, health promotional materials, and activities throughout the academic year. For more information, contact the dean of students office at extension 8114 or The Alcohol and Drug Education Coordinator at extension 8471 or 4310.

To protect students’ privacy, information regarding a student during participation in any related program will be treated confidentially.

Faculty, Staff, Others

Claremont McKenna College recognizes drug and alcohol dependency as treatable conditions. Programs for substance and alcohol abuse are offered through the health maintenance organization insurance that is offered eligible employees and their dependents. Employees who are concerned about problems related to substance use, abuse and rehabilitation should be aware that The Claremont Colleges sponsor and present seminars and workshops on these topics, from time-to-time, for all members of the college community. Employees desiring assistance are encouraged to seek assistance for drug and alcohol related problems through community organizations. The benefits section of the Personnel Services office offer confidential, professional counseling and referral service, providing a constructive way for employees to deal voluntarily with drug or alcohol related and other problems.

Sanctions

Claremont McKenna College will impose sanctions on individuals and/or organizations who violate this policy. These sanctions will be consistently enforced and penalties will depend upon the severity of the offense. Penalties can include termination from employment and referral for prosecution of the most serious violations.

A student may be suspended from the College and referral for prosecution for violations of the laws. A student who is found to be selling illegal drugs may be suspended or expelled, even for the first offense. Sanctions for less severe offenses may include the following: verbal and written warnings, community service, the completion of an appropriate rehabilitation program, social probation for an individual, persona non grata status, and suspension for the repeat offender. Disciplinary action may be invoked entirely apart from any civil or criminal penalties.

Events may be closed immediately or other intervention may be taken to correct the violation.

The College appreciates your cooperation in complying with this policy and the Drug-Free Schools and Communities Act. Working together we can make CMC a healthy and productive environment for all members of the college community.

Safe Campus Policy

Revised: 03/11/2014

Purpose of Policy

Although Claremont McKenna College has experienced a minimal amount of violence on campus, this policy is being instituted to protect employees, students, and guests of Claremont McKenna College in the case of any incidents of violent behavior.

Zero Tolerance

Claremont McKenna College has a policy of zero tolerance for violence. If you engage in any violence in the workplace, or threaten violence in the workplace, your employment will be terminated immediately. No talk of violence or joking about violence will be tolerated.

“Violence” includes physically harming another, shoving, pushing, harassing, intimidating, coercing, brandishing weapons, and threatening or talking of engaging in those activities. It is the intent of this policy to ensure that everyone associated with Claremont McKenna College, including staff, faculty, students and visitors, never feels threatened by any employee’s actions or conduct.

All Weapons Banned

Claremont McKenna College specifically prohibits the possession of weapons by any employee while on College property. This ban includes keeping or transporting a weapon in a vehicle in a parking area, whether public or private. Employees are also prohibited from carrying a weapon while representing the College when off the College’s premises.

Weapons include guns, knives, explosives, and other items with the potential to inflict harm. Appropriate disciplinary action, up to and including termination, will be taken against any employee who violates this policy.

Inspections

Offices, desks, file cabinets, telephones, and computers are the property of the College. We reserve the right to enter or inspect your work area including, but not limited to, desks and computer storage disks, with or without notice.

Reporting Violence

It is everyone’s business to prevent violence in the workplace. You can help by reporting what you see in the workplace that could indicate that a co-worker is in trouble. You are in a better position than management to know what is happening with those you work with.

You are encouraged to report any incident that may involve a violation of any of the College’s policies that are designed to provide a comfortable workplace environment. Concerns may be presented to your supervisor.

All reports will be investigated and information will be kept on a “need to know” basis.

Training Programs

As part of its commitment to preventing workplace violence, the College has established training programs for all employees. Training will be included as part of your orientation. Thereafter, you will be required to attend an annual refresher training. Please be advised that training is mandatory and attendance will be taken. Failure to attend a mandatory training session can lead to disciplinary action.

Education Offerings

In order to promote a positive working environment, we encourage supervisors and employees to enroll in courses to learn more about working with each other. Courses covering communication, problem solving, building effective working relationships, stress management, and related or similar course topics are supported for attendance at outside seminars.

Employee Assistance Program

The company provides an employee assistance program (EAP) for all benefit-based employees. This EAP offers services to these employees and their eligible dependents. While we receive periodic reports on the number and types of visits or calls made to the EAP, we do not receive information about individual contacts with the EAP.

You are encouraged to use the EAP whenever you feel the need for guidance in coping with life’s difficulties. If you have difficulty handling drugs or alcohol, the EAP can provide information on treatment. The EAP is a confidential service to be used when you need help. This program is accessed by calling 1-800-234-5465.

Violence Prevention Team

We have an Emergency Operations Team that, along with major emergency management, will be trained in handling violence issues. The team will also handle the consequences of any incidents of violence that we experience, providing assistance to employees and information to the media. The team will take the steps necessary to continue or resume business after a threat or incidence of violence.

If you have suggestions for ways to improve the safety and security at work, please pass them along to the Office of Human Resources, 528 N. Mills, extension 18490.

Incident Management

In the event of a major workplace incident that affects, or has the potential to affect, the mental health of our workforce, we will provide initial counseling and support services to you and your immediate family members.

As the crisis passes and support systems are put into place for individuals affected by the incident, the College will make every effort to return to normal business operations. A reasonable effort will be made to notify staff, faculty, students, and others who need to know of the status of College operations whenever possible. In cases where direct contact is not possible or practical, an effort will be made to communicate through the news media and other available resources.

Workplace Violence Prevention Plan

Revised: 02/20/2025

CMC’s Workplace Violence Prevention Plan (WVPP or Plan) addresses the hazards known to be associated with the four types of workplace violence as defined by  Labor Code (LC) section 6401.9.

DEFINITIONS


Emergency - Unanticipated circumstances that can be life threatening or pose a risk of significant injuries to employees or other persons.

Hazard - A situation or object that has the potential to cause harm to a person, the environment, or cause damage to property.

Incident - An unplanned event that results in, or has the potential for, injury, ill health, damage, or other loss. In other words, an incident can be directly caused by an unaddressed hazard.

Plan - The workplace violence prevention plan required by California Labor Code Section 6401.9.
 

Serious injury or illness - Any injury or illness occurring in a place of employment or in connection with any employment that requires inpatient hospitalization for other than medical observation or diagnostic testing, or in which an employee suffers an amputation, the loss of an eye, or any serious degree of permanent disfigurement, but does not include any injury or illness or death caused by an accident on a public street or highway, unless the accident occurred in a construction zone.

Threat of violence - Any verbal or written statement, including, but not limited to, texts, electronic messages, social media messages, or other online posts, or any behavioral or physical conduct, that conveys an intent, or that is reasonably perceived to convey an intent, to cause physical harm or to place someone in fear of physical harm, and that serves no legitimate purpose.

Violent Incident Log - The violent incident log required by California Labor Code Section 6401.9.

Workplace violence - Any act of violence or threat of violence that occurs in a place of employment.

Workplace violence includes, but is not limited to, the following:

  • ​The threat or use of physical force against an employee that results in, or has a high likelihood of resulting in, injury, psychological trauma, or stress, regardless of whether the employee sustains an injury; or
  • An incident involving a threat or use of a firearm or other dangerous weapon, including the use of common objects as weapons, regardless of whether the employee sustains an injury.
  • The following are four workplace violence types:
    • Type 1 violence - Workplace violence committed by a person who has no legitimate business at the worksite and includes violent acts by anyone who enters the workplace or approaches employees with the intent to commit a crime.
    • Type 2 violence - Workplace violence directed at employees by customers, clients, patients, students, inmates, or visitors.
    • Type 3 violence - Workplace violence against an employee by a present or former employee, supervisor, or manager.
    • Type 4 violence - Workplace violence committed in the workplace by a person who does not work there but has or is known to have had a personal relationship with an employee.

Workplace violence does not include lawful acts of self-defense or defense of others.

RESPONSIBLE OFFICIALS

The following people have the authority and responsibility for implementing the provisions of this plan for CMC:

Responsible Persons-Title/Position

WVPP Responsibilities

Phone #/Email

Hiram Chodosh President

Overall responsibility and leadership of the institution.

Lead by example and promote a culture of respect and zero tolerance for violence.

(909) 621-8111

Hiram.Chodosh@claremontmckenna.edu  

Sharon Basso

Executive Vice President and Chief Operating Officer

Oversight of WVPP

Allocate resources for training, safety/security measures, and support services.

(909) 607-5883

Sharon.Basso@claremontmckenna.edu

Nyree Gray

Vice President for Human Relations and Chief Diversity Officer

WVPP Administrator

Develop and implement workplace violence prevention policies and procedures in collaboration with the CMC Office of Public Safety and Emergency Management.

Review and assess workplace violence prevention policies and procedures.

Identify potential hazards or risk factors for workplace violence and recommend mitigation measures.

Advocate for the implementation of workplace violence prevention strategies and resources.

Develop and enforce policies related to employee conduct, harassment, and violence prevention.

Provide training and education to new employees in recognizing and responding to signs of potential violence.

Investigate complaints or reports of workplace violence and take appropriate disciplinary action.

Provide confidential counseling and support services to employees experiencing stress, conflict, or other issues that may contribute to workplace violence.

Educate employees on coping strategies, stress management techniques, and resources available through the EAP.

Record retention of all documents associated with this Policy.

(909) 607-0347

Nyree.Gray@claremontmckenna.edu

Brian Weir

Executive Director of Public Safety and Emergency Management

Respond promptly to reports or incidents of workplace violence and assist/provide leadership in all emergency situations.

Provide guidance and support to employees during emergencies, including communication protocols and evacuation procedures.

Serve as a liaison between the organization and external agencies, such as law enforcement and emergency responders, during all criminal incidents/investigations, to include possible and known workplace violence incidents.

Serves as the institution liaison and tactical lead, responsible for interfacing with law enforcement and emergency responders during an active shooter incident.

Develop and implement safety procedures specific to active shooter incidents, including evacuation plans, shelter-in-place protocols, and response actions.

Ensure that employees are effectively trained in these procedures and protocols.

Provide training and education to employees in recognizing and responding to signs of potential violence.

Monitor and enforce access controls, surveillance systems, and physical security measures.

Conduct risk assessments and recommend security enhancements as needed.

Implement measures to mitigate risks, such as enhancing physical security, improving access control measure, and installing panic/duress alarms, where applicable.

Coordinate with TCCS Campus Safety, CMC IT and CMC Public Affairs to ensure communication processes are in place, for timely and accurate dissemination of information to employees.

Assist in the post-incident response efforts, including conducting debriefings, assessing the effectiveness of response actions, and identifying lessons learned.

Collaborate with other departments to implement any necessary changes or improvements to the organization’s emergency preparedness and response plans.

Record retention of all documents associated with this Policy.

(909) 621-8816

Brian.Weir@claremontmckenna.edu 

Michelle Barlow

Assistant VP Facilities and Campus Services

Oversee physical security measures, such as access controls and surveillance systems.

Coordinate with CMC Public Safety during critical incidents, secure the premises and restrict access to affected areas; communicate actions to CMC Sr. leadership and other leadership groups.

Oversight of campus lockdown systems, ensuring equipment operability, processes for system tests and needs for upgrades.

Develop clear processes and responsibilities for operators tasked with lockdown protocols and procedures, and assisting/collaborating with other relevant entities in the systems planning process of employee evacuation

Ensure that emergency communication systems, related to physical security infrastructure, such as alarms are functioning properly.

Communicate/coordinate with TCCS Central Facilities regarding Emergency Blue Light Phones, ensuring appropriate inspections/preventative maintenance is conducted to minimize any potential security/safe gaps due to inoperable systems.

Provide guidance to employees on sheltering in place and seeking refuge in designated safe areas.

Assess the physical security of the facility and address any damage or vulnerabilities.

Assist in the recovery efforts, including facility repairs and restoration of normal operations.

(909) 607-8065

Michelle.Barlow@ClaremontMcKenna.edu  

 

Other Key CMC Leadership Infrastructure and Resources:

Responsible Persons

Title/Position

Phone #

Email

Dianna Graves

Vice President of Student Affairs, Chair of Threat Assessment Team

(909) 607-8055

Dianna.Graves@claremontmckenna.edu

Heather Antecol

Vice President for Academic Affairs and Dean of the Faculty

(909) 621-8117

Heather.Antecol@claremontmckenna.edu

Marcie Gardner

General Counsel

(909) 607-0348

Marcie.Gardner@claremontmckenna.edu

Alex Boekelheide

Assistant Vice President Strategic Communications and Marketing

(909) 607-7440

Alex.Boekelheide@claremontmckenna.edu  

Carlos De La Rosa

ITS
Associate Vice President & Chief Information Officer

(909) 607-0911

 Carlos.DeLaRosa@claremontmckenna.edu 

 

Claremont McKenna College Threat Assessment Team (TAT)

Responsible Persons 

Title/Position

Phone #       

Email

Dianna Graves
Chairperson       

Vice President of Student Affairs

(909) 607-8055

Dianna.Graves@claremontmckenna.edu  

Jess Neilson
Co-Chairperspon  

Sr. Assistant Dean for Mental Health & Health Promotion

(909) 607-7293

Jess.Neilson@claremontmckenna.edu

Brian Weir

Executive Director of CMC Public Safety and Emergency Management

(909) 621-8816

Brian.Weir@claremontmckenna.edu

Jenny Tyniec

Sr. Assistant Dean for Residence Life and Student Engagement

(909) 621-8258

Jenny.Tyniec@claremontmckenna.edu

Dana Reyes

Senior Staff Psychologist

(909) 621-8202

Dana.Reyes@claremont.edu

Nyree Gray

Vice President for Human Relations and Chief Diversity Officer

(909) 607-0347

Nyree.Gray@claremontmckenna.edu

Ellen Ketels

Associate Dean of the Faculty & Associate Professor of Literature

(909) 621-8862

Ellen.Ketels@claremontmckenna.edu

Joanna Rosas

Title IX Coordinator

(909) 607-3830

Joanna.Rosas@claremontmckenna.edu

Marcie Gardner

General Counsel

(909) 607-0348

Marcie.Gardner@claremontmckenna.edu  

Vince Greer

Assistant Vice President for Diversity & Dialogue

(909) 621-8114

Vince.Greer@claremontmckenna.edu

Sharon Basso
Ad-hoc

Executive Vice President and COO

(909) 607-5883

Sharon.Basso@claremontmckenna.edu

 

The Claremont Colleges Consortium Services (TCCS) WVPP Leadership/Management

Claremont McKenna College is one of seven colleges that collaborate as a consortium. Emergencies that impact one institution will likely impact others within the consortium as well. Workplace Violence is no different and often crosses multiple lines of jurisdiction. Communication, understanding of roles and responsibilities, and understanding action plan crossover are an important component of the WVPP.

Stig Lanesskog

Chief Executive Officer,

(909) 607-7894   

Stig.Lanesskog@claremont.edu

Mike Hallinan

Assistant VP and Director of Campus Safety

(909) 607-2000

Michael.Hallinan@claremont.edu

Dennis Miller

College Employee Title/ Assistant VP for HR and Benefits Administration,

(909) 607-7894

Dennis.Miller@claremont.edu

Amy Mendez

Director of Safety and Risk Management  

(909) 621-8050

Amy.Mendez@claremont.edu

Laura Muna-Landa  

Assistant VP of Communications,

(909) 607-3778

Laura.Muna-Landa@claremont.edu  

Rick Briscoe

Assistant VP Central Facilities

(909) 621-8051

Rick.Briscoe@claremont.edu

Kelli Sarslow

Director of Benefits Administration

(909) 607-4130

Kelli.Sarslow@claremont.edu

7C Threat Assessment Group (TAG)

Stephanie Blaisdell Co-chair

Vice President for Student Affairs    

(909) 621-8355 

Stephanie.Blaisdell@claremont.edu

Mike Hallinan
Co-chair

AVP & Director of Campus Safety

(909) 607-2000  

Michael.Hallinan@claremont.edu

Barbara Reguengo

Title IX Administrator

(909) 621-8000

Barbara.Reguengo@claremont.edu

Brian Weir

Executive Director of Public Safety and Emergency Management

(909) 621-8816

Brian.Weir@claremontmckenna.edu  

Quamina Carter

 Vice President of Student Affairs

(909) 607-9448

Quamina.Carter@cgu.edu

Michelle Harrison

Associate Dean for Health and Wellness, CARE Team
Chair, and on-call live on staff

(909) 621-8013

MHarrison@hmc.edu

Shino Simons

 Interim Dean of Students and Title
 IX Coordinator 

(909) 607-0584

Shino_Simons@kgi.edu

Grace Castillo

Assistant Vice President and Dean of Student Success

(909) 621-8000

Grace_Castillo@pitzer.edu

Tracy Arwari

Assistant Vice President for Student Affairs Dean of Students for Academic and Personal Success                                      

(909) 621-8017

Tracy.Arwari@pomona.edu

 

*All managers and supervisors in all areas are responsible for implementing and maintaining the WVPP in their work areas and for answering employee questions about the WVPP. In cases where questions are left unanswered or there is confusion, it is equally important that managers and supervisors are able to provide a pathway for success, including providing other resources and assistance to the employee per the WVPP.

 

EMPLOYEE ACTIVE INVOLVEMENT SAFETY PROGRAMS

CMC utilizes the following practices to help ensure active involvement of employees in maintaining a safe workplace environment, including employee involvement in developing and implementing this Plan and identifying, evaluating, and correcting workplace violence hazards specific to CMC:

  • Provide multiple reporting channels such as hotlines, online forms, email, or in-person reporting to accommodate different preferences and needs.
  • Safety Committees
  • Staff and Faculty Meetings
  • Focus Groups
  • Surveys and Questionnaires
  • Training and Workshops
  • Safety Audits and Inspections
  • Policy Review Committees
  • Simulation Exercises
  • Feedback Mechanisms
  • Recognition and Rewards relating to reporting or correcting workplace hazards
  • Workplace Site Assessments
SAFETY PROCEDURES AVAILABLE TO EMPLOYEES

CMC provides many options to employees to increase their safety while on campus, such as:

  • Safety applications and platforms to provide additional quick communication safety tools, and encouraging other community members to do the same (i.e. LiveSafe App)
  • CMC Public Safety escorts; normalizing this community safety and security option
  • A secure, 24/7 dispatch option to reach TCCS Campus Safety or CMC Public Safety

Campus Phone | Ext 7-2000 or 7-7233 (7-SAFE)
Cell Phone or Off-Campus Phone |
(909) 607-2000 or (909) 607-7233 (SAFE)
Email | dispatch@claremont.edu

OTHER MEASURES THAT CONTRIBUTE TO A SAFER CMC COMMUNITY
  • CMC Public Safety Department maintains written Incident Reports

- CMC Public Safety Officers document all interactions with all persons providing information related to any type of conflict or potential violence situation which becomes a part of the CMC Public Safety Daily Log for follow-up investigation

  • A secure, 24/7 dispatch option to reach TCCS Campus Safety or CMC Public Safetey
  • Established protocols for immediate notification of supervisors, managers, or designated response teams in the event of a workplace violence incident

All instances of workplace violence shall be reported to TCCS Campus Safety who will dispatch and assign the incident to the CMC Office of Public Safety and Emergency Management Department for follow up

Incidents that present a potential threat to the CMC campus community will be directed to the appropriate individuals in accordance with the CMC Incident Operations Plan (IOP)

  • Established protocols for immediate notification of supervisors, managers, or designated response teams in the event of a workplace violence incident

All instances of workplace violence shall be reported to TCCS Campus Safety who will dispatch and assign the incident to the CMC Office of Public Safety and Emergency Management Department for follow up

Incidents that present a potential threat to the CMC campus community will be directed to the appropriate individuals in accordance with the CMC Incident Operations Plan (IOP)

  • Established protocols for immediate notification of supervisors, managers, or designated response teams in the event of a workplace violence incident

All instances of workplace violence shall be reported to TCCS Campus Safety who will dispatch and assign the incident to the CMC Office of Public Safety and Emergency Management Department for follow up

Incidents that present a potential threat to the CMC campus community will be directed to the appropriate individuals in accordance with the CMC Incident Operations Plan (IOP)

  • Emergency communication systems, alarms, or notification chains to alert relevant personnel quickly

CMC has multiple robust communication delivery systems. For non-emergency communication the institution utilizes outbound email correspondence via INFORM and DL platforms, with the ability to notify all or specific focused groups such as students, faculty and staff

For incidents that present a potential safety/security threat to the CMC community, messaging is sent via emergency notifications and timely warnings, in accordance with federal guidance (The Clery Act) via the Everbridge platform. TCCS Campus Safety generally has this responsibility, as the possibility exists that due to close proximity, incidents at one Claremont College campus may impact other Claremont Consortium institutions. CMC does have the ability as well, to send segmented notifications to the CMC community via Everbridge

  • Interviews with employees involved in, or witnesses to an incident to gather first-hand accounts and details, while insuring not to interfere with any investigation when Public Safety, Campus Safety and/or law enforcement might be present

Convene CMC Threat Assessment Team (TAT) and 7C Threat Assessment Group (TAG) as needed

Maintenance of detailed records of workplace violence incidents, investigations, and corrective actions taken

Office of Public Safety and Emergency Management maintains these written reports, investigations and corrective actions

CMC Public Safety reports are reviewed daily by the WVPP Administrator, Executive Director of Public Safety and Emergency Management, Executive Vice President and COO, and Vice President of Student Affairs

  • Appropriate employees participate in post-incident debriefings and discussions to identify lessons learned and implement changes to enhance safety and security
  • Conduct root cause analysis to identify underlying factors contributing to workplace violence incidents and implement corrective actions as warranted, and document investigation findings, conclusions, and recommendations for future prevention efforts
  • Appropriate employees, participate in training sessions on recognizing the warning signs of potential violence, de-escalation techniques, and conflict resolution skills
  • Management will ensure that all workplace violence policies and procedures are clearly communicated to all employees
  • All employees will follow all workplace violence prevention plan directives, policies, and procedures, and assist in maintaining a safe work environment

*Generally, department heads serve as employee representatives, ensuring two-way communication between subordinates, assuring them that they have a voice in the process and ensuring that all feedback encompassing suggestions, as well as questions and concerns are elevated to WVPP administrators and the appropriate decisionmakers.

*All managers and supervisors are responsible for implementing and maintaining the WVPP in their work areas and for answering employee questions about the WVPP.

EMPLOYEE COMPLIANCE

Our system to ensure that employees comply with the rules and work practices that are designed to make the workplace more secure and do not engage in threats or physical actions which create a security hazard for others in the workplace, include:

  • Training employees, supervisors, and managers in the provisions of CMC’s WVPP
  • Effective procedures to ensure that supervisory and nonsupervisory employees comply with the WVPP through training and education, providing a copy of the WVPP to all employees through employee handbooks, policy manuals, or intranet portals, regular communication and reinforcement, providing multiple reporting channels, and investigation and follow-up
  • Provide retraining to employees whose safety performance is deficient under the WVPP guidelines
  • Recognizing employees who demonstrate safe work practices that promote the WVPP in the workplace through verbal recognition, employee awards, and internal communications such as a department newsletter, and/or other employee recognition venues
  • Discipline employees for failure to comply with the WVPP through verbal warnings, written warnings, probationary periods, or suspensions/termination of employment
  • Employees will not be prevented from accessing their mobile or other communication devices to seek emergency assistance, assess the safety of a situation, or communicate with a person to verify their safety.
COMMUNICATION WITH EMPLOYEES

Open communication between CMC’s leadership team and CMC’s employees about workplace violence is essential to a safe and productive workplace. The following communication plan is designed to facilitate a flow of workplace violence prevention information in a manner that is readily understandable by all employees, and consists of one or more of the following:

  • New employee orientation includes workplace violence prevention policies and procedures
  • Workplace violence prevention training programs
  • Periodic meetings to address security issues and potential workplace violence hazards
  • Effective communication between employees and supervisors about workplace violence prevention and violence concerns with open door policies, regular meetings, confidential or anonymous reporting systems, safety committees, employee surveys, regular communication channels, and Employee Assistance Programs (EAP’s)
  • Posted or distributed workplace violence prevention information

Employees’ concerns will be investigated in a timely manner, and they will be informed of the results of the investigation and any corrective actions to be taken through the following methods. Updates on the status of investigations and corrective actions are provided to employees through email and at safety meetings. These updates could include information about the progress of investigations, the results of investigations, and any corrective actions taken.

COORDINATION WITH OTHER EMPLOYERS

CMC will implement the following procedures to coordinate implementation of its plan with external service providers and vendors who place their employees at CMC to ensure that those employers and employees understand their respective roles, as provided in the plan.

  • All employees will be trained in workplace violence prevention.
  • Workplace violence incidents involving any employee are reported, investigated, and recorded by CMC pursuant to this Plan.
WORKPLACE VIOLENCE INCIDENT REPORTING PROCEDURE

CMC’s workplace violence incident reporting procedure(s) are the following:

  • All threats or acts of workplace violence shall be reported to TCCS Campus Safety Dispatch, who will then, per existing Memorandum of Understanding (MOU), dispatch a CMC Public Safety Officer to the incident location or to the reporting party’s location to respond and further investigate.
  • Direct reporting to an on-duty CMC Public Safety Officer on CMC’s campus is also acceptable, wherein addition to immediate response, the CMC Public Safety Officer will also contact TCCS Campus Safety Dispatch to advise of the direct reported incident and the specifics of their subsequent response, in accordance with existing protocols and procedures.
    • In all cases, when possible, where a CMC Public Safety Officer(s) is provided information or dispatched to a threat or act of workplace violence, officers will contact the Executive Director of Public Safety and Emergency Management., The Executive Director will assess and address the immediate threat. In addition to communicating the workplace violence information to the WVPP Administrator, dependent on the situation, the CMC Threat Assessment Team (TAT) leadership may be contacted to determine if the TAT should be convened.
  • While notification to TCCS Campus Safety and CMC Public Safety are always the best option to ensure resources are immediately provided to the concerned party, it is recognized that in some cases, a community member might have a worry or concern that has not yet been verified or vetted and may be reluctant to share information about another incident or person possibly of concern. In these situations, employees have the option to share that information with a supervisor or manager, knowing that follow- up will be conducted.
  • All threat or acts of workplace violence that are reported to an employee’s supervisor or manager shall be reported to the WVPP administrator. This will be accomplished by contacting them immediately in- person, through email, or phone.
  • All employees can also utilize CMC’s anonymous or confidential reporting website, “Report a Concern” to report concerns regarding someone’s conduct, wellbeing or campus conditions, and specifically workplace violence.
    • Employees can also utilize telephonic help lines. Workplace Violence Reporting Hotline:

Call 800-461-9330 in the U.S.; or
call 702-514-4400 collect if outside the U.S.

STATEMENT OF NON-RETALIATION

A strict non-retaliation policy is in place, and any instances of retaliation are dealt with swiftly and decisively. Any employee who retaliates against another employee for reporting an incident could be subject to disciplinary action (verbal warning, written warning, probation and up to termination)

EMERGENCY RESPONSE PROCEDURES

CMC has in place the following specific measures to handle an actual or potential workplace violence emergency:

  • CMC maintains a robust Public Safety Team that is available on-campus 24 hours a day/seven days a week. The Team actively patrols the campus and will respond within minutes to all calls for assistance . There is also a TCCS Campus Safety Department that provides 24/7 dispatch services and provides backup to CMC’s Public Safety team as outlined in an MOU.
  • Effective means to alert employees of the presence, location, and nature of workplace violence emergencies by the following:
  • Alarm systems and announcements sent via email and text messages to mobile subscribed devices are used to alert employees of emergencies.
  • Evacuation or sheltering plans such as evacuation maps with routes and assembly areas, emergency bags/kits in designated areas, signs on all emergency exits and clear guidance on next steps for any type or emergency situation.
  • How to obtain help from CMC Public Safety, law enforcement or other CMC resources
    • If there is an immediate threat or danger, call TCCS Campus Safety for expeditious emergency assistance.

Contact Campus Safety
Campus Phone |
Ext 7-2000 or 7-7233 (7-SAFE)
Cell Phone or Off-Campus Phone |
(909) 607-2000 or (909) 607-7233 (SAFE)
Email | dispatch@claremont.edu

Once all persons are safe and no longer in danger, notify the WVPP Administrator.

In the event of an Emergency, including a workplace violence Emergency, after all parties and the scene are completely safe and secure, contact should be made with the following Public Safety and Emergency Management resource:

Responsible Person(s)    

Job Title/Position

WVPP Responsibilities

Phone /#Email

Brian Weir

Executive Director of Public Safety and Emergency Management

Respond to reports or occurrences of workplace violence and provide aid during emergencies.

(909) 621-8816

Brian.Weir@claremontmckenna.edu  

WORKPLACE VIOLENCE HAZARD IDENTIFICATION AND EVALUATION

The following policies and procedures are established and required to be conducted by CMC to ensure that workplace violence hazards are identified and evaluated:

  • Inspections shall be conducted when the plan is first established, after each workplace violence incident, and whenever the employer is made aware of a new or previously unrecognized hazard. In addition, all reported concerns of potential hazards will be evaluated in real time.

Periodic Inspections

Periodic inspections of workplace violence hazards will identify unsafe conditions and work practices. This may require assessment for more than one type of workplace violence. Periodic Inspections shall be conducted by CMC Public Safety Officers while on regular shifts and patrols, and employees in the Facilities and Campus Services department during their regular shifts. In addition, CMC Executive Director of Public Safety and Emergency Management (or designee) and the AVP for Facilities and Campus Services, will conduct an annual campus walk to evaluate potential workplace violence hazards.

Periodic inspections to identify and evaluate workplace violence and hazards will be performed by the following designated personnel in the following areas of the workplace:

Specific Person Name/Job Title

Area/Department/Specific location

Employees in Facilities and Campus Services Department

Campus-wide

Employees in CMC Public Safety and Emergency Management Department

Campus-wide

Executive Director of CMC Public Safety and Emergency Services (Brian Weir), and Assistant Vice President for Facilities and Campus Services (Michelle Barlow)

 Campus-wide

 Chemical Health Officer (Joseph Galeno)

 Robert Day Science Center

 Manager Emergency Management and EHS     (Kristi Anttila)

 Campus-wide

Inspections for workplace violence hazards include assessing:

  • The exterior and interior of the workplace for its security vulnerabilities and attractiveness to criminal actors
  • The need for surveillance measures, such as mirrors and cameras
  • Procedures for employee response during a robbery or other criminal act, including our policy prohibiting employees, who are not security guards, from confronting violent persons or persons committing a criminal act
  • Procedures for reporting suspicious persons or activities
  • Effective location and functioning of emergency buttons and alarms
  • Posting of emergency telephone numbers for law enforcement, fire, and medical services
  • Whether employees have access to a telephone with an outside line
  • Whether employees have effective escape routes from the workplace
  • Whether employees have a designated safe area where they can go to in an emergency
  • Adequacy of workplace security systems, such as door locks, entry codes or badge readers, security windows, physical barriers, and restraint systems
  • Frequency and severity of threatening or hostile situations that may lead to violent acts
  • Employees’ skill in safely managing threatening or hostile community and/or non-community members, extensively covering Types 1-4 workplace violence categories
  • Effectiveness of systems and procedures that warn others of actual or potential workplace violence danger or that summon assistance, e.g., alarms or panic buttons
  • The use of work practices such as the “buddy” system for specified emergency events
  • How well CMC’s management and employees communicate with each other
  • Access to and freedom of movement within the workplace by non-employees, including recently discharged employees or persons with whom one of CMC’s employees is having a dispute
  • Frequency and severity of employees’ reports of threats of physical or verbal abuse by managers, supervisors, or other employees
  • Any prior violent acts, threats of physical violence, verbal abuse, property damage or other signs of strain or pressure in the workplace
WORKPLACE VIOLENCE HAZARD CORRECTIONS

Workplace violence hazards will be evaluated and corrected in a timely manner.

  • CMC implementation measures that may be utilized to address identified workplace violence hazards and improve the general safety of the campus environment:
    • Ensure adequate lighting around and at the workplace.
  • CMC senior leadership conducts annual lighting inspections.
  • CMC Public Safety and FACS employees assess and report daily observations of any lighting deficiencies for correction.
  • Post signs that cameras are monitoring the area/facility.
  • Utilize surveillance measures, such as cameras and mirrors, to provide information as to what is going on outside and inside the workplace and to dissuade criminal activity.
  • CMC Public Safety Officers patrol the workplace interior and perimeter.
  • Security surveillance cameras are installed in and around the workplace.
  • Workplace violence deterrence systems, such as access control/door locks, secured windows, physical barriers, and emergency alarms are in place.
  • Post emergency telephone numbers for Campus Safety/Public Safety and law enforcement, fire, and medical services.
  • Emergency blue lights phones with direct access to TCCS Campus Safety Dispatch are placed throughout the campus for easy access/utilization when community members have concerns/are in danger, enabling them to immediately have officers dispatched to them to provide assistance.
  • Control access to, and freedom of movement within, the workplace by non-employees, including recently discharged employees or persons with whom one of our employees is having a dispute.
  • Install effective systems to warn others of a violence danger or to summon assistance, e.g., alarms or panic buttons. Duress/panic alarms are positioned at identified locations throughout the campus for requesting immediate assistance for any threat or danger to community members, and continue to be evaluated/assessed for data collection/strategic short term and long-term planning.
  • Ensure employees have access to a telephone with an outside line.
  • Provide employee training on the WVPP.
  • Reinforce existing procedures for reporting suspicious persons, activities, and packages.
  • Ensure that employee disciplinary and discharge procedures address the potential for workplace violence.
  • Remind employees of existing policies for prohibited practices (ex. no-weapons policy).
  • Limit the amount of cash on hand and use time access safes for large bills.
  • Provide procedures for a “buddy” system for specified emergency events.
PROCEDURES FOR POST WORKPLACE VIOLENCE INCIDENT RESPONSE AND INVESTIGATION

After a workplace violence incident, the WVPP Administrator or their designee will implement the following post- incident procedures:

  • ​Visit the scene of an incident as soon as safe and practicable.
  • Interview involved parties, such as employees, witnesses, law enforcement, and/or security personnel.
  • Review available security footage.
  • Examine the workplace for security risk factors associated with the incident, including any previous reports of inappropriate behavior by the perpetrator.
  • Determine the cause of the incident.
  • Take corrective action to prevent similar incidents from occurring.
  • Record the findings and ensure corrective actions are taken.
  • Obtain any reports completed by law enforcement.
  • The Violent Incident Log will be used for every workplace violence incident and will include information, such as: (See attached Violent Incident Log)
    • The date, time, and location of the incident
    • The workplace violence type or types involved in the incident
    • A detailed description of the incident
    • A classification of who committed the violence, including whether the perpetrator was a client or customer, family or friend of a client or customer, stranger with criminal intent, coworker, supervisor or manager, partner or spouse, parent or relative, or another perpetrator
    • A classification of circumstances at the time of the incident, including, but not limited to, whether the employee was completing usual job duties, working in poorly lit areas, rushed, working during a low staffing level, isolated or alone, unable to get help or assistance, working in a community setting, or working in an unfamiliar or new location.
    • A classification of where the incident occurred, such as in the workplace, parking lot or other area outside the workplace, or other area
    • The type of incident, including, but not limited to, whether it involved any of the following:
      • Physical attack without a weapon, including, but not limited to, biting, choking, grabbing, hair pulling, kicking, punching, slapping, pushing, pulling, scratching, or spitting
      • Attack with a weapon or object, including, but not limited to, a firearm, knife, or other object
      • Threat of physical force or threat of the use of a weapon or other object
      • Sexual assault or threat, including, but not limited to, rape, attempted rape, physical display, or unwanted verbal or physical sexual contact
      • Animal attack
      • Other
    • Consequences of the incident, including, but not limited to:
      • Whether security or law enforcement was contacted and their response
      • Actions taken to protect employees from a continuing threat or from any other hazards identified as a result of the incident
      • Information about the person completing the log, including their name, job title, and the date completed
  • Reviewing all previous incidents​​​
  • ​Provide information regarding Employee Assistant Program (EAP)-Optum (Support and resources, such as counseling services, are provided to affected employees).

Ensure that no personal identifying information is recorded or documented in the Workplace Violence Log. This includes information which would reveal identification of any person involved in a violent incident, such as the person’s name, address, electronic mail address, telephone number, social security number, or other information that, alone or in combination with other publicly available information, reveals the person’s identity.

TRAINING AND INSTRUCTION

All employees, including managers and supervisors, will have training and instruction on general and job-specific workplace violence hazards and this Plan. These sessions could involve presentations, discussions, and practical exercises. Training and instruction will be provided as follows:

  • When the WVPP is first established
  • Annually to ensure all employees understand and comply with the Plan
  • Whenever a new or previously unrecognized workplace violence hazard has been identified and when changes are made to the plan
  • The additional training may be limited to addressing the new workplace violence hazard or changes to the Plan.

CMC will provide its employees with training and instruction on the definitions of this Plan and the requirements listed below:

The employer’s WVPP, how to obtain a copy of the Plan at no cost, and how to participate in development and implementation of the Plan

How to report workplace violence incidents or concerns to CMC or law enforcement without fear of reprisal

Workplace violence hazards specific to the employees’ jobs, the corrective measures CMC has implemented, how to seek assistance to prevent or respond to violence, and strategies to avoid physical harm

  • The Violent Incident Log and how to obtain copies of records pertaining to hazard identification, evaluation and correction, training records, and violent incident logs
  • Opportunities for interactive questions and answers with a person knowledgeable about the WVPP
  • Strategies to avoid/prevent workplace violence and physical harm, such as:
    • How to recognize workplace violence hazards including the risk factors associated with the four types of workplace violence
    • Ways to defuse hostile or threatening situations
  • How to recognize alerts, alarms, or other warnings about emergency conditions and how to use identified escape routes or locations for sheltering
  • Employee routes of escape
  • Emergency medical care provided in the event of any violent act upon an employee
  • Post-event trauma counseling for employees desiring such assistance

Note: Employers must use training material appropriate in content and vocabulary to the educational level, literacy, and language of employees.

EMPLOYEE ACCESS TO THE PLAN

CMC ensures that the WVPP plan will be in writing and will be available and easily accessible to employees, and representatives of Cal/OSHA at all times. This will be accomplished by:

  • Upon request by an employee or their designated representative, CMC will furnish a printed copy of the Plan unless they opt to receive an electronic version
  • CMC will provide unobstructed access through a company server or website, which allows an employee to review, print, and email the current version of the Plan. Unobstructed access means that the employee, as part of their regular work duties, predictably and routinely uses the electronic means to communicate with management or co-employees.
RECORDKEEPING

CMC will:

  • Create and maintain records of workplace violence hazard identification, evaluation, and correction, for a minimum of five (5) years.
  • Create and maintain training records for a minimum of one (1) year and include the following:
    • Training dates
    • Contents or a summary of the training sessions
    • Names and qualifications of person(s) conducting the training
    • Names and job titles of all person(s) attending the training sessions Maintain Violent Incident Logs for minimum of five (5) years
  • Maintain Violent Incident Logs for minimum of five (5) years
  • Maintain records of workplace violence incident investigations for a minimum of five (5) years
  • The records shall not contain medical information per subdivision (j) of section 56.05 of the California Civil Code.
  • All records of workplace violence hazard identification, evaluation, and correction; training, incident logs and workplace violence incident investigations required by California Labor Code section 6401.9(f), shall be made available to Cal/OSHA upon request for examination and copying.
EMPLOYEE ACCESS TO RECORDS

The following records shall be made available to employees and their representatives, upon request to the WVPP Administrator and without cost, for examination and copying within 15 calendar days of a request:

  • Records of workplace violence hazard identification, evaluation, and correction
  • Training records
  • Violent incident logs
REVIEW AND REVISION OF THE WVPP

CMC’s WVPP will be reviewed for effectiveness:            

  • At least annually
  • When a deficiency is observed or becomes apparent
  • After a workplace violence incident
  • As needed

Review and revision of the WVPP will include the procedures listed in the EMPLOYEE ACTIVE INVOLVEMENT section of this WVPP, as well as the following procedures to obtain the active involvement of employees and authorized employee representatives in reviewing the plan’s effectiveness:

  • Review of CMC’s WVPP should include, but is not limited to:
  • Review of incident investigations and the Violent Incident Log
  • Assessment of the effectiveness of security systems, including alarms, emergency response, and safety and security personnel availability (if applicable)
  • ​Review that violence risks are being properly identified, evaluated, and corrected. Any necessary revisions are made promptly and communicated to all employees.
EMPLOYER REPORTING RESPONSIBILITIES

As required by California Code of Regulations (CCR), Title 8, Section 342(a). Reporting Work-Connected Fatalities and Serious Injuries, CMC will immediately report to Cal/OSHA any serious injury or illness (as defined by CCR, Title 8, Section 330(h)), or death (including any due to Workplace Violence) of an employee occurring in a place of employment or in connection with any employment.

Violent Incident Log

This log must be used for every workplace violence incident that occurs in our workplace. At a minimum, it will include the information required by California Labor Code section 6401.9(d).

The information that is recorded will be based on:

  • Information provided by the employees who experienced the incident of violence
  • Witness statements
  • All other investigation findings

All information that personally identifies the individual(s) involve will be omitted from this log, such as:

  • Name(s)
  • Address(s) - (physical and electronic)
  • Telephone number(s)
  • Social security number

Enter the date the incident occurred (Day, Month, Year) and the time (or approximate time) that the incident occurred, a.m./p.m.

Location(s) of Incident

Workplace Violence Type (Indicate which type(s) (Type 1, 2,3,4)

Enter location(s) where the incident occurred

Enter the workplace violence type(s)

Check which of the following describes the type(s) of incident, and explain in detail:

Note: It’s important to understand that “Workplace Violence Type” and “Type of Incident” have separate requirements. For this part of the log, “Type of Incident” specifically refers to the nature or characteristics of the incident being logged. It does not refer to the type of workplace violence.

  • Physical attack without a weapon, including, but not limited to, biting, choking, grabbing, hair pulling, kicking, punching, slapping, pushing, pulling, scratching, or spitting
  • Attack with a weapon or object, including, but not limited to, a firearm, knife, or other object
  • Threat of physical force or threat of the use of a weapon or other object
  • Sexual assault or threat, including, but not limited to, rape, attempted rape, physical display, or unwanted verbal or physical sexual contact
  • Animal attack
  • Other

Explain: Provide a detailed description of the incident and any additional information on the violence incident type and what it included. Continue on separate sheet of paper if necessary

___________________________________________________________________________________________________________________________________________________
___________________________________________________________________________________________________________________________________________________
___________________________________________________________________________________________________________________________________________________
___________________________________________________________________________________________________________________________________________________
___________________________________________________________________________________________________________________________________________________

Workplace violence committed by: For confidentiality, only include the classification of who committed the violence, including whether the perpetrator was a client or customer, family or friend of a client or customer, stranger with criminal intent, coworker, supervisor or manager, partner or spouse, parent or relative, or another perpetrator.

Circumstances at the time of the incident: Write/type what was happening at the time of the incident, including, but not limited to, whether the employee was completing usual job duties, working in poorly lit areas, rushed, working during a low staffing level, isolated or alone, unable to get help or assistance, working in a community setting, or working in an unfamiliar or new location.

Where the incident occurred: Where the incident occurred, such as in the workplace, parking lot or other area outside the workplace, or other area.

Consequences of the incident, including, but not limited to:

  • Whether Campus Safety/Public Safety or law enforcement was contacted and their response.
  • Actions taken to protect employees from a continuing threat or from any other hazards identified as a result of the incident.

Include information on what the consequences of the incident were.

____________________________________________________________________________________________________________________________________________________
____________________________________________________________________________________________________________________________________________________
____________________________________________________________________________________________________________________________________________________

  • Were there any injuries? Yes or No. Please explain:

Indicate here if there were any injuries, if so, provide description of the injuries

____________________________________________________________________________________________________________________________________________________
____________________________________________________________________________________________________________________________________________________
____________________________________________________________________________________________________________________________________________________

  • Were emergency medical responders other than law enforcement contacted, such as a Fire Department, Paramedics, On-site First-aid certified personnel? Yes or No. If yes, explain below:

____________________________________________________________________________________________________________________________________________________
____________________________________________________________________________________________________________________________________________________
____________________________________________________________________________________________________________________________________________________

Did the severity of the injuries require reporting to Cal/OSHA? If yes, document the date and time this was done, along with the name of the Cal/OSHA representative contacted.

____________________________________________________________________________________________________________________________________________________
____________________________________________________________________________________________________________________________________________________
____________________________________________________________________________________________________________________________________________________

A copy of this violent incident log needs to be provided to the employer. Indicate when it was provided and to whom.

____________________________________________________________________________________________________________________________________________________
____________________________________________________________________________________________________________________________________________________
____________________________________________________________________________________________________________________________________________________
 

This violent incident log was completed by:

 

________________________________                                             ___________________________
   Name (person completing this log)                                                   Job Title

 

 

_________________________________                                          ___________________________
   Signature (person completing this log)                                            Date