The
stakeholders of PeopleStreme have enjoyed over twenty years of successful business ventures. They attribute their business success to the significant
contribution of their staff. Their experience with the PeopleStreme team is consistent with their experience with other teams in their previous
ventures. They have, and continue, to enjoy the assistance of a broad
range of staff without regard to any personal features, preferences or
capability.
Indeed, the largest differentiating aspect of our staff is
a single minded willingness to succeed as professionals and as individuals
in the world community. Our staff belief in themselves as individuals
and in their capacity to interact effectively with all people is what
sets PeopleStreme employment policy apart from our competitors. PeopleStreme
can help our staff achieve extraordinary success but we believe that only
by employing people who deeply believe in EEO will we exceed our customers
expectations and meet our long term goals.
PeopleStreme
complies with the appropriate legislation and this is reflected in PeopleStreme's
EEO policy in all our processes. The EEO policy has been implemented and
is complemented by the PeopleStreme Personal Privacy . The following principles
apply to our internal processes :
- We expect
all of our staff to comply with our EEO policies
- We apply
these EEO principles in all our internal employment practices including
recruitment, training, promotion, disciplining and all other terms and
conditions of employment
- Our advertising
reflects equality
- We seek
specific evidence and data when employing new staff
- Individual
bias and prejudicial tendencies are minimised through training and double
checking
We regard
discrimination as the act of treating people less favorably or prejudicially
because of :
- their
past or present status or private life in the same or similar circumstances
- characteristics
which apply, or are thought to apply, to persons of a particular status
or private life
- the imposition
of a condition which is not reasonable in the circumstances
From the
perspective of employment, discrimination relates to:
- Who is
considered for an employment opportunity
- Who is
offered employment
- Denying
a person access to training and development opportunities
- Denial
of promotion or transfer
- Dismissal
- Any other
detriment
PeopleStreme
will not discriminate against any person on the grounds of status or private
life by denying our services or by prejudicially dealing with any person.
How Discrimination
is Identified
Essentially,
discrimination is individually determined. It does not matter whether
the person causing the discrimination acted intentionally or not, it is
the impact of that persons behaviour that is the key. This means that
any person who is discriminated against as a result of subconscious stereotyping
and prejudices, has the same rights of redress as a person who is discriminated
against intentionally.
A single,
isolated incident of sexual harassment is sufficient to constitute discrimination.
It is not necessary for a disadvantaged person to prove that he or she
was disadvantaged by the action. All that is required is that he or she
felt offended, humiliated or intimidated and that a reasonable person
would have expected that reaction given their conduct.
Legislative
and Political Environment
The recent
introduction of the Privacy Amendment Act serves to reinforce EEO policy
by giving ordinary people control over all information which is kept on
them. In fact, it is now possible to request that copies of personal records
be provided and even destroyed if so requested by an individual.
PeopleStreme EQUAL EMPLOYMENT OPPORTUNITY STATEMENT
Statement
of EEO Compliance
PeopleStreme
complies with all legislation relating to unlawful discrimination in employment,
and affirmative action regulations.
Specifically:
- Human
Rights and Equal Opportunity Commission Act 1986
- Affirmative
Action (Equal Employment Opportunity for Women) Act 1986
- Disability
Discrimination Act 1992
- Racial
Discrimination Act 1975
- Sex Discrimination
Act 1984
- Equal
Opportunity Act 1984 (Victoria)
PeopleStreme Policy
Statement
Except where
a certain characteristic is an appropriate and bone fide occupational
qualification, the Company does not condone, and regards as unfair, all
forms of unlawful discrimination or vilification including that which
relates to:
- age
- race
- colour
- national
or ethnic origin
- descent
- nationality
- gender
- marital
status
- state
of being a parent, childless or defacto
- pregnancy
- sexual
preference
- sex
- criminal
record
- medical
record and/or intellectual disability
- psychiatric
disability
- religious
and/or political beliefs
- family
responsibilities
- trade
union activity
All our staff
are held accountable in order to prevent unlawful discrimination.
The alignment
of staff output with our organisational goals form the basis for performance
assessment, training needs and development opportunities as well as promotions.
Training
and education programs for staff are mapped to fit the PeopleStreme
organisational goals. They are designed to maximise the performance of
PeopleStreme staff in a competitive and changing global environment.
All PeopleStreme
staff are required to immediately advise their management and executives
of possible breaches of this policy in order to create and execute an
action plan with the greatest sense of urgency.
PROCEDURE FOR DEALING WITH BREACHES OF EEO POLICY
Statement
of Purpose
To document
the process of managing EEO breaches so that PeopleStreme staff understand
what behaviour is expected of them with regard to EEO policy.
Aim
The aim of
this disciplinary policy is to:
- Provide
guidelines for expected behaviour of employees with regard to EEO policy.
- Motivate
PeopleStreme staff to meet and exceed EEO policy standards whenever
possible.
- Detail
the procedure for dealing with breaches of EEO policy.
- Create
consistent procedures for dealing
with EEO policy breaches.
Procedure
Any staff
who believe they are being unfairly discriminated against must immediately
raise the matter with their immediate manager or a director.
The employee
may request a formal or informal investigation of the matter, at their
own discretion. The manager or director will determine the nature of the
complaint and the outcomes the desired by the complainant. In all cases,
if the manager or director feels that it is warranted, the company has
the discretion to start a formal investigation.
If either
the employee or the company decides to start a formal investigation then
the managers and directors must consult with each other on the process
to be used.
During the
investigation, the following guidelines must be followed:
- treat
the complaint seriously, with prompt, confidential attention
- identify
complainants wishes as to outcome
- explain
and consult with employee regarding next action
If investigation
is not requested and does not appear warranted:
- act promptly,
while the issue is current
- maintain
confidentiality through restricted discussion
- ensure
a manager or director is advised ASAP
- keep notes
of key points
If investigation
is agreed:
- always
involve a director if a director is not already aware
- interview
all directly concerned, separately
- interview
witnesses, separately
- keep separate
and secure written records of investigation (not on personnel file)
- The
only data to be recorded on personnel files are the fact that the
accusation was made, the conclusion of any investigation, and any
action taken which concerns the persons involved. Records of investigation
are to include at least the names and work locations of those involved,
the relationship between them, and information collected regarding
the complaint. This data must be maintained for three years.
- no assumptions
of guilt are to be made
- confidentiality,
wherever possible, minimise disclosure
- determine
appropriate action, generally by consultation with the complainant and
possibly the person accused
- outcomes
as they affect the complainant should be discussed with the complainant
to ensure that needs are met.
- check
to ensure the outcome meets the needs of the complainant and the
Company
- the
manager or director involved is responsible for ensuring that any
relevant action is initiated.
All the involved
managers and directors are responsible for conducting a review of complaints.
The outcome of any actions must also be reviewed in order to seek improvements
in workplace behaviours and resolution processes. Confidentiality must
be maintained as effectively as possible during these processes.
