Disallowed Persons
A part of the Skills First contract that has always confused providers, the Disallowed Persons requirement states that a contracted RTO should not engage/employ/contact/deal with, a disallowed person. What actually constitutes a disallowed person has always been ambiguous, but the more common complaint by Skills First providers is the lack of a national register (or equivalent), making it very difficult to determine whether someone can be classified as a disallowed person.
The current fact sheet provides clarity on the definition. A disallowed person can be:
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- An individual; or
- An organisation
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Disallowed Organisations
Disallowed organisations must have been an RTO that was subject to one of the actions described in the definition of disallowed person. Those actions being:
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- Having had its registration status revoked, cancelled or suspended
- Having had restrictions imposed on its operations that would affect its ability to provide services equivalent to the “Training Services”
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So…what are Training Services you may ask
Training Services
Training services can include:
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- Student attraction activities (marketing and advertising)
- Provision of information to students (brokers, RTO delegates, etc.)
- Conducting PTR sessions
- Testing for eligibility
- Conducting enrolment sessions
- Developing or documenting the training plan
- Levying fees (including concessions, exemptions, waivers)
- Training/assessment delivery
- Collecting and maintaining evidence relating to all of the above points
- Data reporting activities (SVTS uploads, responding to SVTS enquiries)
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Disallowed Individuals
Disallowed individuals must have been a “relevant person” at an RTO that was subject to one of the above actions. By definition, a “relevant person” would be someone who:
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- Held a sufficiently high level within the disallowed organisation (determined as having exercised a material degree of control or influence over the management or direction of the organisation)
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Our Compliance Tips
To ensure that your organisation addresses the disallowed persons requirement of the contract, we recommend the following:
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- Ensure your employment process includes a requirement for you to conduct due diligence on the candidate’s employment history such as referencing public registers (like the one on the ASQA website)
- Ask your new employee to sign a declaration stating that they are not a disallowed person
- Retain evidence on the employee file demonstrating you undertook due diligence
- Ensure your staff understand the contractual requirements in relation to disallowed persons
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- Tags: Compliance, Skills First, vet
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