OMB 0970-0564 [valid through MM/DD/2024]
(Revised: 11/20/2020)
Staff Questionnaire – PSA Compliance Manager
Interview Details |
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Program Name: |
Past and Current Position(s) at Program: |
Level of Care: |
Date/Time of Interview: |
Full Name: |
Interviewer: |
*Note: Before beginning the interview and/or providing this questionnaire to staff, provide a brief introduction, including monitor’s role and purpose of monitoring visit, confidentiality of staff interview, and clarify any questions. See Introduction Prompt for Staff for additional guidance as needed.
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Tell me about your role and main responsibilities as a PSA Compliance Manager.
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What are the things that you love/enjoy about your job? What are the challenges you face in your job? |
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Do you feel that you receive adequate training from your program/and from ORR to perform your PSA duties? If not, please explain. What additional training from your program/and from ORR do you think a person in your position would benefit from?
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Describe your system to assess ongoing staff training needs and opportunities for development? How is this working?
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How do you keep up-to-date on current and new ORR policies and procedures?
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Describe the procedures when there is an allegation of sexual abuse/sexual harassment.
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When are UAC provided with orientation on topics related to preventing, detecting and responding to sexual abuse and harassment? Who provides this training? How often does your program provide UAC refresher orientations? How do you ensure orientation and refresher orientations have been completed? |
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How do you monitor the quality and timely reporting of SA/SIRs?
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How do you meet the state’s licensing requirements regarding significant incident reporting?
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Describe any concerns you have with how the program and staff are adhering to PSA compliance.
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What actions are taken when areas of non-compliance related to PSA issues are identified?
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What does trauma-informed care mean to you? How do you deliver trauma-informed care as part of the PSA team? |
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How do you ensure that all UAC disclosures during the Assessment for Risk are reported in accordance with ORR policies and procedures?
Examples: Information about sexual orientation and gender identity is kept confidential and is only shared when disclosure is necessary; the child’s self-identification of his or her gender and safety needs is taken into consideration when determining housing and other services. |
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Provide some examples of protection measures to ensure the safety and security of UAC victims of sexual abuse and sexual harassment.
Examples: Change housing assignments in the facility; transfers for UAC victim and/or perpetrator; provide emotional support services for UAC who fear retaliation for reporting sexual abuse or sexual harassment or cooperating with investigations; access to forensic examination. |
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How do you collaborate with other teams to ensure that UACs’ physical, mental health, developmental, social and educational needs are being met?
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Describe the program’s protocol for utilizing and reviewing the video monitoring system.
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Do you have any concerns about the treatment of UACs in care? Do you have concerns about any particular staff members (any staff members you think should NOT be working with UAC)? |
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What general recommendations do you have to strengthen the program?
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What recommendations do you have for ORR that I can take back to share with our headquarter teams?
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Enter Additional Notes.
THE
PAPERWORK REDUCTION ACT OF 1995 (Pub. L. 104-13) STATEMENT OF
PUBLIC BURDEN: The purpose of this information collection is to
allow ORR Monitoring Team staff to interview and document responses
from prevention of sexual abuse compliance managers during biennial
site visits. Public reporting burden for this collection of
information is estimated to average 1.0 hour per response (plus an
additional 1.0 hour if the site visit is performed by a contractor
monitor), including the time for reviewing instructions, gathering
and maintaining the data needed, and reviewing the collection of
information. This is a mandatory collection of information
(Homeland Security Act, 6 U.S.C. 279). An agency may not conduct or
sponsor, and a person is not required to respond to, a collection
of information subject to the requirements of the Paperwork
Reduction Act of 1995, unless it displays a currently valid OMB
control number. If you have any comments on this collection of
information please contact UCPolicy@acf.hhs.gov.
File Type | application/vnd.openxmlformats-officedocument.wordprocessingml.document |
Author | Almira, Ariadne (ACF) |
File Modified | 0000-00-00 |
File Created | 2023-08-20 |