Standards Of Conduct
Mission and Values
OUR VISION:
To create a community where people of all abilities are beloved and respected.
OUR MISSION:
AABR is committed to fostering a beloved community to promote inclusivity, celebrate unique strengths, and ensure that all people with diverse abilities are treated with equity, dignity and respect.
OUR CORE VALUES:
Our impactful and thoughtful new visual identity through a refreshed logo, brand identity and reclaimed acronym where each corresponding letter represents a fundamental core value.
Intent
AABR INC.’s (sometimes referred to as “AABR Inc. ” or “the AABR Inc. “) Standards of Conduct (the Standards) apply to all Affected Individuals. The term “Affected Individuals” includes all employees including Chief Executive and senior leadership, managers, Board members, and corporate officers.
The Standards of Conduct were approved by AABR INC. ‘s Board of Directors. This document is a formal statement of the AABR Inc. ‘s commitment to the standards and rules of ethical conduct.
AABR INC. is committed to compliance with all applicable Federal and State laws and the prevention of unethical, improper or unlawful behavior or acts in the delivery and billing of services, and prevention and detection of fraud, waste and abuse. AABR INC. is committed to stopping such behavior as soon as possible after discovery, and to discipline those persons involved in such behavior or acts, including those who fail to report a violation.
All Affected Individuals, as defined above, must comply with the Standards of Conduct, immediately report any alleged violations of wrongdoing, and assist Management and the Compliance Officer in investigating allegations of wrongdoing.
While the standards addressed in this document are intended to guide Affected Individuals in their daily responsibilities, they do not replace any AABR INC. policies and procedures. There may be instances not addressed by the Standards of Conduct or existing policies and procedures, or there may be activities that seem to conflict with the Standards. Affected Individuals must seek direction from their supervisor, other Management staff, or the Compliance Officer in these instances.
Ethics
It is the policy of AABR INC. to comply with all laws and regulations applicable to its business and to conduct business with the highest degree of integrity. To accomplish this, all Affected Individuals must obey the laws and regulations that govern their work and always act in the best interest of those who receive services and their families {collectively referred to as service recipients) and the AABR Inc.
Guidelines for Affected Individuals: Ethics
- You are expected to keep Management staff informed of what you are doing; to document or record all services or transactions accurately; and to be honest and forthcoming with the AABR Inc. , regulatory agencies, and internal and external auditors.
- You are expected to comply with the AABR Inc. ‘s policies and procedures, accounting rules, and internal controls.
- You are expected to function with honesty in your work for the AABR Inc. and with service recipients, other providers, suppliers, and all others with whom the AABR Inc. does business.
Conflict of Interest
For purposes of this section on conflict of interest, an immediate family member is any person who is related by blood or marriage, or whose relationship with the Affected Individual is similar to that of persons who are related by blood or marriage. An immediate family member of a person includes:
- The person’s spouse;
- Natural or adoptive parent, child, or sibling;
- Stepparent, stepchild, stepbrother, or stepsister;
- Father-in-law, mother-in-law; son-in-law; daughter-in-law; brother-in-law; or sister-in-law;
- Grandparent or grandchild; and
- Spouse of a grandparent or grandchild.
Affected Individuals may not engage in any conduct that conflicts – or is perceived to conflict – with the best interest of the AABR Inc. You must not allow any outside financial interest or competing personal interest to influence your decisions or actions taken on behalf of the AABR Inc. This means that you or your immediate family should not personally benefit from doing business with the AABR Inc. should not have independent relationships with those who deal with the AABR Inc., should not use AABR Inc. property for personal benefit, and should not compete with the AABR Inc. You must avoid any situation where a conflict of interest exists or might appear between your personal interests or those of your family and the interest of the AABR Inc. . The appearance of a conflict of interest may be as serious as an actual conflict of interest.
Affected Individuals must disclose any circumstances where the employee or their immediate family member is an employee, consultant, owner, contractor, or investor in any entity that (i) engages in any business or maintains any relationship with the AABR Inc. ; (ii) provides to, or receives from, the AABR Inc. any referrals of service recipients; or (iii) competes with the AABR Inc..
If you have a potential conflict, you must make full disclosure to the Compliance Officer, members of Management and the Board, as appropriate. You will be provided with actions that may be necessary to address or prevent conflict of interest.
Guidelines for Affected Individuals: Conflict of Interest
It is a conflict of interest for you to personally take for yourself opportunities that are discovered through the use of the AABR Inc. ‘s property, information, or your position with the AABR Inc. ; to use the AABR Inc. ‘s property or information for personal gain; or to compete with the MBR Inc.
There are many types of situations where potential conflicts may arise. You must promptly report any actual or potential conflict of interest to your immediate supervisor or directly to the Compliance Officer.
Outside Activities and Employment
- You may not conduct outside activities during work time. Such activities interfere with your regular duties and negatively impact the quality of your work.
- You are a representative of the AABR Inc. in your everyday life and must represent the AABR Inc. positively in the community.
- Outside employment must not conflict in any way with your responsibilities to the AABR Inc. or its service recipients. You may not compete against AABR INC., work for its competitors, or have any ownership interest in a competitor.
Use of AABR Inc. Funds and Resources
- The AABR Inc. ‘s assets are to only be used for the benefit of the AABR Inc. and its service recipients. Assets include not only funds, equipment, inventory, and office supplies, but also concepts, business plans and strategies, information about service recipients, financial information, computer property rights, and other business information about the AABR Inc..
- You may not use AABR Inc. assets for personal gain or give them to any other persons or entities, except in the ordinary course of business as part of an approved transaction.
- Property and resources of the AABR Inc. should only be used for the benefit of the AABR Inc. or its service recipients.
Maintenance of Records
Employees and independent contractors must record and report all information related to AABR INC. and its operations, its service recipients, and financial information fully, accurately, and honestly. Records include, but are not limited to, records of the service recipients, documentation of services, accounting books or records, financial statements, timesheets or records, expense reports, vouchers, bills, payroll, claims, payment records, correspondence, and any other method of communication. Employees and independent contractors must not omit or conceal any relevant information.
Guidelines for Employees and Independent Contractors: Recordkeeping
Many of the AABR Inc. forms are legal documents used to prove that a service was provided, to bill for a service, to record a job task, or to record specific happenings. You must document accurately and honestly, and only for those services that you provided or those events in which you were involved.
Employees and independent contractors are expected to maintain complete, accurate, and contemporaneous (timely) records as required by the AABR Inc.. The term “records” includes all documents, both written and electronic, that relate to the provision of AABR INC. services or provide support for the billing of AABR INC. services. Records must reflect the actual service provided.
Falsification of Records
- You must not make any false entries in any of the MBR Inc. ‘s records or in any public record for any reason.
- You may not alter any permanent entries in the MBR Inc. ‘s records. Any records to be appropriately altered must reflect the date of the alteration, the name, signature, and title of the person altering the document, and the reason for the alteration, if not apparent.
- You may not sign the name of another person to any document.
- Signature stamps may not be used.
- You may not create or participate in the creation of any records that are intended to mislead or to conceal anything that is improper.
- Backdating and predating documents is unacceptable.
Expense Records
- You must always charge expenses accurately and to the appropriate cost center or account, regardless of the financial status of the program, project, contract, or the budget status of a particular account or line item.
Retention of Records
- The retention, disposal, or destruction of records of or pertaining to the MBR Inc. must always comply with legal and regulatory requirements and AABR INC. policy.
- You may not destroy records pertaining to any legal action or government investigations or audit without written approval of the Compliance Officer.
Protection of Confidential Information
During your employment, contract, or association with the MBR Inc. , you may acquire confidential information about AABR INC. , its staff, and service recipients which must be handled in strict confidence and not discussed with outsiders. The protection of confidential business, employee, and service recipient information is very important. Violations may result in fines and penalties, legal action, or criminal charges.
The MBR Inc. has developed policies and procedures to assure that the confidentiality of AABR INC. information and information about service recipients is protected and released only with the appropriate authorization or for lawful reasons. All Affected Individuals are required to comply with AABR INC. ‘s Privacy Policy. If you have any questions concerning confidential information or the Privacy Policy, contact your immediate supervisor or the Compliance Officer.
Guidelines for Affected Individuals: Confidentiality
You must treat all the MBR Inc. ‘s records and information as confidential.
You may not release confidential information without the proper authorization. Confidential information includes not only information about service recipients and their families, but also nonĀ public information about the MBR Inc. that may be of use to the MBR Inc. ‘s competitors or harmful to the MBR Inc. or its service recipients if released.
You must protect the MBR Inc. ‘s information and avoid discussing or disclosing the MBR Inc. ‘s information, purposefully or inadvertently (through casual conversation), to any unauthorized person inside or outside the MBR Inc. Furthermore, staff may not share confidential information about the MBR Inc. with anyone, except where required for a legitimate business purpose. Ask your supervisor if you are not sure whether certain information is confidential.
The MBR Inc. ‘s information may not be removed from the MBR Inc. ‘s property without permission from a supervisor or administrator with proper authority over the information.
Termination of Employment or Contract
- You may not use any confidential information gained from your employment or contract with the MBR Inc. for your benefit or another MBR Inc. ‘s benefit. You may not take copies of any reports, documents, or any other property belonging to the MBR Inc.
- Upon termination of employment or contract with the MBR Inc., you must return all the MBR Inc. ‘s property including, but not limited to, copies of documents, notes, and other records containing confidential information; computer disks; your ID and keys; and credit cards.
Information Security
Guidelines for Affected Individuals: Information Security and Technology
- You are responsible for properly using information stored and produced by all the MBR Inc. ‘s computer systems.
- Computers, internet access, email, or other office communication systems are intended for business-related purposes only and not for uses that may be disruptive, offensive, harassing, or harmful to others.
- Do not share your system username or password with another person or allow another to access the computer with your password or log-on information.
- All Affected Individuals are required to comply with AABR INC. ‘s technology Acceptable Use Policy. If you have any questions concerning information security, contact your immediate supervisor or Compliance Officer.
Fair Dealing
Business Dealings and Referrals
AABR INC. will not be inappropriately influenced with goods or services from any business in which Affected Individuals and their immediate family members have a substantial interest.
Conducting business with providers, contractors, suppliers, service recipients, and competitors may pose ethical, and sometimes legal, problems. Affected Individuals are expected to deal fairly with providers, contractors, service recipients and competitors.
As defined in the Conflict of Interest Policy, and for purposes of these Standards of Conduct, an immediate family member is any person who is related by blood or marriage, or whose relationship with the Affected Individual is similar to that of persons who are related by blood or marriage. An immediate family member of a person includes:
- The person’s spouse;
- Natural or adoptive parent, child, or sibling;
- Stepparent, stepchild, stepbrother, or stepsister;
- Father-in-law, mother-in-law; son-in-law; daughter-in-law; brother-in-law; or sister-in-law;
- Grandparent or grandchild; and
- Spouse of a grandparent or grandchild.
Guidelines for Affected Individuals: Fair Dealing
The Standards of Conduct and the following guidelines are intended to help you make appropriate, responsible, and correct decisions in these and all matters:
Kickbacks and Rebate
- Kickbacks and rebates in cash, credit, or other forms are prohibited. They are not only unethical, but also in many cases illegal.
Gifts and Gratuities and Entertainment
- Affected Individuals may not without permission of the Compliance Officer accept, solicit, or offer anything of value from anyone doing business with the AABR Inc.
- Under no circumstances may an employee or immediate family member of an employee accept a cash gift or gratuity from a service recipient, a family member or friend of a service recipient, or a vendor or potential vendor. Any Affected Individual who gives or accepts such a cash gift or gratuity will be subject to disciplinary action, including termination of contract, assignment or engagement with AABR INC.
- You may not solicit money, gifts, gratuity, or any other personal benefits or favors of any kind from providers, contractors, accounts, or service recipients and their families.
- You must not offer or accept entertainment that is not a reasonable addition to a business relationship but is primarily intended to gain favor or to influence a business decision.
Agreements with Contractors and Vendors
The AABR Inc. must ensure that any agreements with contractors and vendors clearly and accurately describe the services to be performed or items to be purchased. Performance standards and the applicable compensation, if any, must be reasonable in amount, not be excessive in terms of industry practice, and must equal the value of the service(s) rendered or items purchased.
Improper Use of Funds or Assets
Use of the AABR Inc. ‘s funds or assets for any improper purpose is strictly prohibited. If you are aware of or have reason to believe that funds or assets are being improperly used, you must report this immediately to your supervisor or the Compliance Officer.
You may only approve payments or receipts on behalf of the MBR Inc. that are described in documents supporting the transaction. “Slush funds” or similar off-book accounts, where there is no accounting for receipts or expenditures on the MBR Inc. ‘s books, are strictly prohibited.
Federal and State Programs
AABR INC. is committed to complying with the laws and regulations that govern the Federal and State programs that it administers. The Compliance Program, these Standards of Conduct, and policies and procedures are developed to provide guidance in your day-to-day work and activities you perform on behalf of the MBR Inc. You must abide by the policies and procedures and the Standards set by the MBR Inc.
AABR INC. ‘s programs and services are largely funded by Federal and State healthcare programs, including Medicaid and Medicare. AABR INC. is committed to full compliance with all Federal and State healthcare program requirements. AABR INC. must also comply with laws and regulations designed to combat fraud, waste, and abuse and the submission of inaccurate or false claims.
AABR INC. has put in place procedures and practices to ensure that:
- All service documentation, records, and reports are prepared timely, accurately, and honestly;
- All documentation supporting claims for service is complete and maintained in accordance with regulatory requirements and the MBR Inc. ‘s policies;
- All claims submitted to any government or private healthcare program are accurate and comply with all Federal and State laws and regulations and payer requirements;
- Claims are only submitted for medically necessary services provided by eligible providers;
- All claims are properly documented and accurately coded; and
- Billing errors are promptly identified and any payments received in error are promptly returned to the payer.
Employees and independent contractors responsible for the documentation, charging, coding, billing, and accounting of services must comply with all applicable State and Federal regulations and AABR INC. policies and procedures.
It is against the law and AABR INC. ‘s policies to knowingly or carelessly submit a false claim. Submitting a false claim includes using false records, using the wrong code, double billing, or billing or causing to be billed services that are not provided or fully documented, and billing for services that are not medically necessary.
All Affected Individuals have a responsibility to notify the Compliance Officer promptly if they are charged with a criminal offense related to healthcare or are proposed or found to be subject to exclusion from Federal or State healthcare programs.
Governmental Investigations
There may be times that the AABR Inc. is asked to cooperate with an investigation by a Federal or State governmental agency, or to respond to a request for information. A request may be formally addressed to the AABR Inc. or to an individual employed by or associated with the AABR Inc.. All Affected Individuals must report any requests for information or cooperation with an investigation to the Chief Executive and Compliance Officer immediately.
Employment Environment
AABR INC. is committed to creating a safe and professional workplace where employees and others are treated with respect and without regard to their race, sex, age, religion, national origin, color, marital status, disability, or other protected characteristics. Business integrity, teamwork, trust, and respect are the AABR Inc. ‘s most important values. Unlawful discrimination or harassment of any sort violates these values. All Affected Individuals must exhibit and promote respect, integrity, trust, and teamwork in the workplace and must comply with the AABR Inc. ‘s policies prohibiting discrimination and harassment in all facets of the AABR Inc. ‘s work.
All Affected Individuals are required to support the AABR Inc. ‘s commitment to a safe and professional work environment and to demonstrate appropriate behavior in the workplace.
All Affected Individuals are prohibited from joking about another person’s race, sex, age, religion, national origin, color, marital status, disability, or other protected characteristics.
All employees are prohibited from considering someone’s race, color, religion, sex, national origin, age, disability, or other protected characteristic in making decisions about hiring, placement, assignment of duties, training, promotion, termination, compensation, benefits, and other work terms.
Sexual harassment is prohibited. Sexual harassment includes any form of unwelcome sexual advance, request for sexual favors, or other verbal or physical conduct of a sexual or sex-based nature.
Affected Individuals are responsible for understanding the AABR Inc. ‘s policy prohibiting discrimination and sexual harassment. You should consult with an appropriate supervisor, administrator, or Human Resources if you have questions about your right to a workplace free from unlawful harassment or discrimination or if you have questions about your duty to avoid discrimination.
Seeking Guidance and Reporting Violations
All Affected Individuals must report any suspected fraud, waste, and abuse; illegal or unethical acts; actual or suspected violations of Federal or State laws and regulations; actual or suspected violations of the Standards of Conduct, the Compliance Program and AABR INC. ‘s policies and procedures; improper acts in the delivery or billing of services; and other wrongdoing (collectively referred to as “compliance concerns”) to their immediate supervisor, member of Management, Compliance Committee member or the Compliance Officer. A Compliance Hotline/email address is also available for confidential or anonymous reporting of such issues. The Compliance Hotline number is 1-866-330-0579.
When actual or suspected noncompliance is reported to any Affected Individual, it must be promptly referred to the Compliance Officer. Steps will be taken to protect the confidentiality and anonymity of the reporters. The AABR Inc. will not tolerate any form of retaliation or intimidation against a person who makes a good-faith report in accordance with the Standards of Conduct and its Compliance Program.
All Affected Individuals must cooperate fully and honestly in any investigation into reported noncompliance.
Corrective Action and/or Discipline
Affected Individuals found to have engaged in non-compliant activity or wrongdoing addressed in these Standards of Conduct will be subject to appropriate disciplinary action, up to and including termination of employment, contract, assignment, or association with AABR INC.
Affected Individuals who knowingly fail to report compliance concerns are subject to appropriate disciplinary action, up to and including termination of employment, contract, assignment, or association with the AABR Inc..
Employees may face disciplinary action ranging from a verbal warning to suspension or termination, depending on the incident and the relevant surrounding circumstances. A more significant level of discipline will be taken for intentional or reckless behavior.
Your Responsibilities
Attend required training, and read and understand AABR INC. ‘s Compliance Plan, Compliance Program Policies and Procedures, and Standards of Conduct.
Follow AABR INC. ‘s Standards of Conduct and abide by all policies and procedures, guidelines, and Federal and State laws and regulations.
Be alert to any situation that could violate AABR INC. ‘s Standards of Conduct, Compliance Program, policies and procedures, guidelines, and/or Federal and State laws and regulations.
Promptly report any questions, issues, compliance concerns, wrongdoing, violations, or suspected violations to your supervisor, another member of Management, a member of the Compliance Committee, or the Compliance Officer.