HomeMy WebLinkAbout2023-04-26 Policy & Services Committee Agenda PacketPOLICY AND SERVICES COMMITTEE
Special Meeting
Wednesday, April 26, 2023
Community Meeting Room & Hybrid
Meeting Location Changed
7:00 PM
Pursuant to AB 361 Palo Alto City Council meetings will be held as “hybrid” meetings with the
option to attend by teleconference/video conference or in person. To maximize public safety
while still maintaining transparency and public access, members of the public can choose to
participate from home or attend in person. Information on how the public may observe and
participate in the meeting is located at the end of the agenda. Masks are strongly encouraged if
attending in person. The meeting will be broadcast on Cable TV Channel 26, live on
YouTube https://www.youtube.com/c/cityofpaloalto, and streamed to Midpen Media
Center https://midpenmedia.org.
VIRTUAL PARTICIPATION CLICK HERE TO JOIN (https://cityofpaloalto.zoom.us/j/94618744621)
Meeting ID: 946 1874 4621 Phone: 1(669)900‐6833
PUBLIC COMMENTS
Public comments will be accepted both in person and via Zoom for up to three minutes or an
amount of time determined by the Chair. All requests to speak will be taken until 5 minutes
after the staff’s presentation. Written public comments can be submitted in advance to
city.council@CityofPaloAlto.org and will be provided to the Council and available for inspection
on the City’s website. Please clearly indicate which agenda item you are referencing in your
subject line.
PowerPoints, videos, or other media to be presented during public comment are accepted only
by email to city.clerk@CityofPaloAlto.org at least 24 hours prior to the meeting. Once received,
the Clerk will have them shared at public comment for the specified item. To uphold strong
cybersecurity management practices, USB’s or other physical electronic storage devices are not
accepted.
CALL TO ORDER
PUBLIC COMMENT
Members of the public may speak to any item NOT on the agenda.
ACTION ITEMS
1.Office of the City Auditor Presentation of the Remote and Flexible Work Study Report
2.Office of the City Auditor Presentation of the Electronic Payment Process and Controls
Audit Report
3.City Council Referral to Discuss and Recommend Council Protocols on International
Travel and other City Council referrals related to the City Council Procedures and
Protocols.
FUTURE MEETINGS AND AGENDAS
Members of the public may not speak to the item(s)
ADJOURNMENT
PUBLIC COMMENT INSTRUCTIONS
Members of the Public may provide public comments to teleconference meetings via email,
teleconference, or by phone.
1. Written public comments may be submitted by email to city.council@cityofpaloalto.org.
2. For in person public comments please complete a speaker request card located on the
table at the entrance to the Council Chambers and deliver it to the Clerk prior to
discussion of the item.
3. Spoken public comments using a computer or smart phone will be accepted through
the teleconference meeting. To address the Council, click on the link below to access a
Zoom‐based meeting. Please read the following instructions carefully.
You may download the Zoom client or connect to the meeting in‐ browser. If using
your browser, make sure you are using a current, up‐to‐date browser: Chrome 30 ,
Firefox 27 , Microsoft Edge 12 , Safari 7 . Certain functionality may be disabled in
older browsers including Internet Explorer. Or download the Zoom application onto
your smart phone from the Apple App Store or Google Play Store and enter in the
Meeting ID below.
You may be asked to enter an email address and name. We request that you
identify yourself by name as this will be visible online and will be used to notify you
that it is your turn to speak.
When you wish to speak on an Agenda Item, click on “raise hand.” The Clerk will
activate and unmute speakers in turn. Speakers will be notified shortly before they
are called to speak.
When called, please limit your remarks to the time limit allotted. A timer will be
shown on the computer to help keep track of your comments.
4. Spoken public comments using a phone use the telephone number listed below. When
you wish to speak on an agenda item hit *9 on your phone so we know that you wish to
speak. You will be asked to provide your first and last name before addressing the
Council. You will be advised how long you have to speak. When called please limit your
remarks to the agenda item and time limit allotted.
CLICK HERE TO JOIN Meeting ID: 946‐1874‐4621 Phone: 1‐669‐900‐6833
Americans with Disability Act (ADA) It is the policy of the City of Palo Alto to offer its public
programs, services and meetings in a manner that is readily accessible to all. Persons with
disabilities who require materials in an appropriate alternative format or who require auxiliary
aids to access City meetings, programs, or services may contact the City’s ADA Coordinator at
(650) 329‐2550 (voice) or by emailing ada@cityofpaloalto.org. Requests for assistance or
accommodations must be submitted at least 24 hours in advance of the meeting, program, or
service.
1 Regular Meeting April 26, 2023
Materials related to an item on this agenda submitted to the Board after distribution of the agenda packet are
POLICY AND SERVICES COMMITTEESpecial MeetingWednesday, April 26, 2023Community Meeting Room & HybridMeeting Location Changed7:00 PMPursuant to AB 361 Palo Alto City Council meetings will be held as “hybrid” meetings with theoption to attend by teleconference/video conference or in person. To maximize public safetywhile still maintaining transparency and public access, members of the public can choose toparticipate from home or attend in person. Information on how the public may observe andparticipate in the meeting is located at the end of the agenda. Masks are strongly encouraged ifattending in person. The meeting will be broadcast on Cable TV Channel 26, live onYouTube https://www.youtube.com/c/cityofpaloalto, and streamed to Midpen MediaCenter https://midpenmedia.org.VIRTUAL PARTICIPATION CLICK HERE TO JOIN (https://cityofpaloalto.zoom.us/j/94618744621)Meeting ID: 946 1874 4621 Phone: 1(669)900‐6833PUBLIC COMMENTSPublic comments will be accepted both in person and via Zoom for up to three minutes or anamount of time determined by the Chair. All requests to speak will be taken until 5 minutesafter the staff’s presentation. Written public comments can be submitted in advance tocity.council@CityofPaloAlto.org and will be provided to the Council and available for inspectionon the City’s website. Please clearly indicate which agenda item you are referencing in yoursubject line.
PowerPoints, videos, or other media to be presented during public comment are accepted only
by email to city.clerk@CityofPaloAlto.org at least 24 hours prior to the meeting. Once received,
the Clerk will have them shared at public comment for the specified item. To uphold strong
cybersecurity management practices, USB’s or other physical electronic storage devices are not
accepted.
CALL TO ORDER
PUBLIC COMMENT
Members of the public may speak to any item NOT on the agenda.
ACTION ITEMS
1.Office of the City Auditor Presentation of the Remote and Flexible Work Study Report
2.Office of the City Auditor Presentation of the Electronic Payment Process and Controls
Audit Report
3.City Council Referral to Discuss and Recommend Council Protocols on International
Travel and other City Council referrals related to the City Council Procedures and
Protocols.
FUTURE MEETINGS AND AGENDAS
Members of the public may not speak to the item(s)
ADJOURNMENT
PUBLIC COMMENT INSTRUCTIONS
Members of the Public may provide public comments to teleconference meetings via email,
teleconference, or by phone.
1. Written public comments may be submitted by email to city.council@cityofpaloalto.org.
2. For in person public comments please complete a speaker request card located on the
table at the entrance to the Council Chambers and deliver it to the Clerk prior to
discussion of the item.
3. Spoken public comments using a computer or smart phone will be accepted through
the teleconference meeting. To address the Council, click on the link below to access a
Zoom‐based meeting. Please read the following instructions carefully.
You may download the Zoom client or connect to the meeting in‐ browser. If using
your browser, make sure you are using a current, up‐to‐date browser: Chrome 30 ,
Firefox 27 , Microsoft Edge 12 , Safari 7 . Certain functionality may be disabled in
older browsers including Internet Explorer. Or download the Zoom application onto
your smart phone from the Apple App Store or Google Play Store and enter in the
Meeting ID below.
You may be asked to enter an email address and name. We request that you
identify yourself by name as this will be visible online and will be used to notify you
that it is your turn to speak.
When you wish to speak on an Agenda Item, click on “raise hand.” The Clerk will
activate and unmute speakers in turn. Speakers will be notified shortly before they
are called to speak.
When called, please limit your remarks to the time limit allotted. A timer will be
shown on the computer to help keep track of your comments.
4. Spoken public comments using a phone use the telephone number listed below. When
you wish to speak on an agenda item hit *9 on your phone so we know that you wish to
speak. You will be asked to provide your first and last name before addressing the
Council. You will be advised how long you have to speak. When called please limit your
remarks to the agenda item and time limit allotted.
CLICK HERE TO JOIN Meeting ID: 946‐1874‐4621 Phone: 1‐669‐900‐6833
Americans with Disability Act (ADA) It is the policy of the City of Palo Alto to offer its public
programs, services and meetings in a manner that is readily accessible to all. Persons with
disabilities who require materials in an appropriate alternative format or who require auxiliary
aids to access City meetings, programs, or services may contact the City’s ADA Coordinator at
(650) 329‐2550 (voice) or by emailing ada@cityofpaloalto.org. Requests for assistance or
accommodations must be submitted at least 24 hours in advance of the meeting, program, or
service.
2 Regular Meeting April 26, 2023
Materials related to an item on this agenda submitted to the Board after distribution of the agenda packet are
POLICY AND SERVICES COMMITTEESpecial MeetingWednesday, April 26, 2023Community Meeting Room & HybridMeeting Location Changed7:00 PMPursuant to AB 361 Palo Alto City Council meetings will be held as “hybrid” meetings with theoption to attend by teleconference/video conference or in person. To maximize public safetywhile still maintaining transparency and public access, members of the public can choose toparticipate from home or attend in person. Information on how the public may observe andparticipate in the meeting is located at the end of the agenda. Masks are strongly encouraged ifattending in person. The meeting will be broadcast on Cable TV Channel 26, live onYouTube https://www.youtube.com/c/cityofpaloalto, and streamed to Midpen MediaCenter https://midpenmedia.org.VIRTUAL PARTICIPATION CLICK HERE TO JOIN (https://cityofpaloalto.zoom.us/j/94618744621)Meeting ID: 946 1874 4621 Phone: 1(669)900‐6833PUBLIC COMMENTSPublic comments will be accepted both in person and via Zoom for up to three minutes or anamount of time determined by the Chair. All requests to speak will be taken until 5 minutesafter the staff’s presentation. Written public comments can be submitted in advance tocity.council@CityofPaloAlto.org and will be provided to the Council and available for inspectionon the City’s website. Please clearly indicate which agenda item you are referencing in yoursubject line.PowerPoints, videos, or other media to be presented during public comment are accepted onlyby email to city.clerk@CityofPaloAlto.org at least 24 hours prior to the meeting. Once received,the Clerk will have them shared at public comment for the specified item. To uphold strongcybersecurity management practices, USB’s or other physical electronic storage devices are notaccepted.CALL TO ORDERPUBLIC COMMENT Members of the public may speak to any item NOT on the agenda. ACTION ITEMS1.Office of the City Auditor Presentation of the Remote and Flexible Work Study Report2.Office of the City Auditor Presentation of the Electronic Payment Process and ControlsAudit Report3.City Council Referral to Discuss and Recommend Council Protocols on InternationalTravel and other City Council referrals related to the City Council Procedures andProtocols.FUTURE MEETINGS AND AGENDASMembers of the public may not speak to the item(s)
ADJOURNMENT
PUBLIC COMMENT INSTRUCTIONS
Members of the Public may provide public comments to teleconference meetings via email,
teleconference, or by phone.
1. Written public comments may be submitted by email to city.council@cityofpaloalto.org.
2. For in person public comments please complete a speaker request card located on the
table at the entrance to the Council Chambers and deliver it to the Clerk prior to
discussion of the item.
3. Spoken public comments using a computer or smart phone will be accepted through
the teleconference meeting. To address the Council, click on the link below to access a
Zoom‐based meeting. Please read the following instructions carefully.
You may download the Zoom client or connect to the meeting in‐ browser. If using
your browser, make sure you are using a current, up‐to‐date browser: Chrome 30 ,
Firefox 27 , Microsoft Edge 12 , Safari 7 . Certain functionality may be disabled in
older browsers including Internet Explorer. Or download the Zoom application onto
your smart phone from the Apple App Store or Google Play Store and enter in the
Meeting ID below.
You may be asked to enter an email address and name. We request that you
identify yourself by name as this will be visible online and will be used to notify you
that it is your turn to speak.
When you wish to speak on an Agenda Item, click on “raise hand.” The Clerk will
activate and unmute speakers in turn. Speakers will be notified shortly before they
are called to speak.
When called, please limit your remarks to the time limit allotted. A timer will be
shown on the computer to help keep track of your comments.
4. Spoken public comments using a phone use the telephone number listed below. When
you wish to speak on an agenda item hit *9 on your phone so we know that you wish to
speak. You will be asked to provide your first and last name before addressing the
Council. You will be advised how long you have to speak. When called please limit your
remarks to the agenda item and time limit allotted.
CLICK HERE TO JOIN Meeting ID: 946‐1874‐4621 Phone: 1‐669‐900‐6833
Americans with Disability Act (ADA) It is the policy of the City of Palo Alto to offer its public
programs, services and meetings in a manner that is readily accessible to all. Persons with
disabilities who require materials in an appropriate alternative format or who require auxiliary
aids to access City meetings, programs, or services may contact the City’s ADA Coordinator at
(650) 329‐2550 (voice) or by emailing ada@cityofpaloalto.org. Requests for assistance or
accommodations must be submitted at least 24 hours in advance of the meeting, program, or
service.
3 Regular Meeting April 26, 2023
Materials related to an item on this agenda submitted to the Board after distribution of the agenda packet are
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Policy & Services Committee
Staff Report
From: Adriane McCoy, Interim City Auditor
Meeting Date: April 26, 2023
Report #: 2302-1019
TITLE
Office of the City Auditor Presentation of the Remote and Flexible Work Study Report
BACKGROUND
Baker Tilly, in its capacity serving as the Office of the City Auditor (OCA), performed a citywide
risk assessment that assessed a wide range of risk areas, including strategic, financial,
operational, compliance, technological, and reputation risks. The purpose of the assessment was
to identify and prioritize risks to develop the annual audit plan.
During the FY2022 risk assessment1 (ID#13914), the OCA identified recruitment and retention
challenges and need for a study of remote positions which affect recruitment and retention as
many people prefer remote positions.
DISCUSSION
The objectives of the review were to:
1) Evaluate the alignment of remote and flexible work policy and procedure to best
practices.
2) Identify position eligibility criteria for remote and flexible work schedules.
Through conversations with the Human Resources management staff, analysis of current
applicable remote work policies, and market research, Baker Tilly created a framework for the
implementation of a remote and flexible work study program. This framework includes the use
of a criteria tool and two potential options for the implementation of the framework. The tool
can be used to objectively evaluate City positions for remote and flexible work eligibility.
The report provides market trend research to inform future implementation for this
recommended framework and optional surveys to distribute to City employees for assistance in
the determination of remote and flexible work eligibility.
1 City Council Staff Report April 4, 2022 https://www.cityofpaloalto.org/files/assets/public/agendas-minutes-
reports/agendas-minutes/city-council-agendas-minutes/2022/20220404/20220404pccsmamendedlinked1.pdf
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FISCAL/RESOURCE IMPACT
The Office of the City Auditor worked primarily with Human Resources Department and
engaged with additional stakeholders, including the City Manager’s Office and the City
Attorney’s Office, as necessary. The timeline for implementation of corrective action plans is
identified within the attached report.
ATTACHMENTS
•Attachment A: Remote and Flexible Work Study Report
.
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j
City of Palo Alto
Office of the City Auditor
FY21/22 Remote and Flexible
Work Study
March 14, 2023
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Executive Summary
Purpose of the Audit
The purpose of this audit was to:
1) Evaluate the alignment of remote and flexible work policy and procedure to best practices
2) Identify position eligibility criteria for remote and flexible work schedules
Report Highlights
Category/Theme Page # Recommendation
Remote Work Policy Pg. 6
The City should revise the current policy to strengthen its teleworking risk
mitigation and further clarify the remote work arrangement between its
employees and departments. The City should also implement a periodic review
of its telework policy in annual intervals to ensure content is current and still
meeting department needs.
Remote Work
Procedures Pg. 7
The City should revise the current agreement form to include a more robust list
of employee obligations to improve the clarity of responsibilities for remote
workers and their departments. The City should also ensure that the agreement
form reflects the content of the current teleworking policy.
Position Eligibility Pg. 7
We recommend the development of a standardized criteria for position remote
and flex work eligibility. All positions should be evaluated for full remote, partial
remote/flex schedule, and ineligible remote work. Once position eligibility is
determined, the City should follow existing policy to review individual employee
eligibility for all eligible positions.
Opportunities
Remote Work
Best Practices
Pg. 8
We provide context to consider for future implementation of a remote and
flexible work policy to remain current and competitive in the hiring market and
considerations for executing a position eligibility assessment. Summarized by:
- Early Covid-19 Pandemic Workforce Response
- Sustaining Remote Workforce Responses
- Future Workforce Challenges
Position Eligibility
Framework Pg. 9-11
We recommend a six-step framework for position eligibility implementation:
- Creation of a framework
- Creation of a communication plan
- Selection of pilot departments
- Pilot department evaluation with two approaches
- Modification of the implementation plan
- Implementation of position evaluation
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Table of Contents
Executive Summary ........................................................................................................................................................... 2
Purpose of the Audit ..................................................................................................................................................... 2
Report Highlights ........................................................................................................................................................... 2
Objective........................................................................................................................................................................... 4
Background ..................................................................................................................................................................... 4
Scope................................................................................................................................................................................. 4
Methodology .................................................................................................................................................................... 4
Compliance Statement.................................................................................................................................................. 4
Organizational Strengths ............................................................................................................................................. 5
Category/Theme ............................................................................................................................................................. 6
Analysis on the Future of Remote Work ...................................................................................................................... 8
Appendices ........................................................................................................................................................................ 12
Appendix A: Sample Policy Modifications ............................................................................................................ 12
DEFINITIONS ..................................................................................................................................................................... 15
POLICY ................................................................................................................................................................................ 15
PROCEDURE ..................................................................................................................................................................... 16
ELIGIBILITY ........................................................................................................................................................................ 17
CONDITIONS ..................................................................................................................................................................... 17
Information Security and Protection ................................................................................................................................ 19
Ad Hoc Arrangements ....................................................................................................................................................... 19
Exceptions ........................................................................................................................................................................... 19
Appendix B: Hybrid Work Agreement Form ......................................................................................................... 20
Appendix C: Position Eligibility Criteria ................................................................................................................ 23
Appendix D: Management Response ..................................................................................................................... 24
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Introduction
1 Government auditing standards require an external peer review at least once every three (3) years. The last peer review of th e Palo
Alto Office of the City Auditor was conducted in 2017. The Palo Alto City Council approved a contract from October 2020 th rough
Objective
The purpose of this audit was to:
1) Evaluate the alignment of remote and flexible work policy and procedure to best
practices.
2) Identify position eligibility criteria for remote and flexible work schedules.
Background
The City of Palo Alto’s Human Resources Department states they "strive to recruit, develop,
and retain a diverse, well-qualified and professional workforce that reflects the high
standards of the community we serve. The department’s key responsibilities are:
Employment Recruitment & Selection, Employee Benefit Administration, Employee Training
& Development, Employee and Labor Relations, Compensation & Classification
Administration, Risk Management, Safety and Workers Compensation and
Volunteer Administration.
As part of the FY2022-2023 Audit Plan approved by the City Council, a Remote and Flexible
Work Study audit was authorized. Through conversations with the Human Resources
management staff, analysis of current applicable remote work policies, and market research,
Baker Tilly created a framework for the implementation of a remote and Flexible Work Study
Program. This framework includes the use of a criteria tool and two potential options for the
implementation of the framework. The tool can be used to objectively evaluate City positions
for remote and flexible work eligibility.
The report provides market trend research to inform future implementation for this
recommended framework and optional surveys to distribute to City employees for assistance
in the determination of remote and flexible work eligibility.
More details on this framework are included in the Methodology and Detailed Testing
Results section.
Scope The scope of this engagement includes remote work policies, procedures, and eligibility
effective as of June, 2021.
Methodology
The Baker Tilly team conducted the following audit activities to meet the engagement
objectives:
• Interviewed Human Resources staff to understand the current state, benefits, and
barriers of remote work,
• Reviewed relevant policies and procedures,
• Identified industry-relevant criteria to be used for evaluation,
• Researched best practices, as well as remote work trends and challenges.
Compliance
Statement
This audit activity was conducted from May 2022 to July 2022 in accordance with generally
accepted government auditing standards, except for the requirement of an external peer
review1. Those standards require that we plan and perform the audit to obtain sufficient,
appropriate evidence to provide a reasonable basis for our findings and conclusions based
on our audit objectives. We believe that the evidence obtained provides a reasonable basis
for our findings and conclusions based on our audit objectives.
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June 2022 with Baker Tilly US, LLP (Baker Tilly) and appointed Kyle O’Rourke, Senior Consulting Manager in Baker Tilly's Public Sector
practice, as City Auditor. Given the transition in the City Audit office, a peer review was not conducted in 2020 a nd will be conducted
after the third year of Baker Tilly’s contract.
Organizational
Strengths
During this audit activity, we observed certain strengths of the City. Key strengths include:
Dedicated Human Resources staff committed to the organization.
A commitment to providing excellent service delivery in the community while
balancing the needs and safety of City employees.
Staff awareness regarding the ever-changing landscape of the remote work
environment in a post-covid workplace.
The Office of the City Auditor greatly appreciates the support of the Human Resources
Department in conducting this audit activity.
Thank you!
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Testing Results
During our assessment, we identified three key documents of improvement for Palo Alto to implement related to remote
work practices. The areas assessed, results of each assessment, and our recommendations for improvement are shown
below.
Policy and procedure criteria were based upon Society for Human Resources best practice documents:
• SHRM Telecommuting Policy and Procedure
• SHRM Short Term Telecommuting Agreement
• International Public Management – Human Resources Association remote work best practices
Category/Theme
Document name
Finding
# Finding Recommendation
Remote Work
Policy
2-38/HRD Remote
Work Policy
1
The City last updated the Remote Work
policy in June of 2021 in consultation with
City management, modifying the original
to accommodate telework modification
required as a result of the COVID-19
pandemic. The City's Remote Work
Policy is missing components that will
strengthen and clarify the remote work
arrangement between employees, their
departments, and the City. Some
components were recommended by
Human Resources during the most recent
revisions, but discussions with City
management resulted in their omission
from the final policy. The current policy
leaves the City susceptible to holding
employees accountable for attendance
and performance issues, City property
inventory discrepancies, and dependent
care responsibilities.
The City should revise the current
policy to strengthen its teleworking
risk mitigation and further clarify the
remote work arrangement between
its employees and departments. The
City should also implement a periodic
review of its telework policy in annual
intervals to ensure content is current
with best practices and meets
department needs.
A sample policy revision, based upon
The Society for Human Resources
Management and the International
Public Management – Human
Resources Association best practices
and sample policies, is provided in
Appendix A.
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Category/Theme
Document name
Finding
# Finding Recommendation
Remote Work
Procedures
Hybrid Work
Agreement Form
(FY23)
2
The City's Hybrid Work Agreement Form
omits obligations of a remote worker that,
if present, would better define employee
responsibilities and commitments. As is,
the form leaves the City susceptible to
employee attendance and performance
issues, unclear accountability standards
with regard to City property and policy,
and an inability to modify the remote work
agreement as needed. The City last
updated the teleworking agreement form
June 2021, modifying the original to
accommodate remote work modification
required as a result of the COVID-19
pandemic. However, the revised form
does not comprehensively reflect
components of the City’s teleworking
policy. The Society for Human Resources
Management, with a thorough sample
agreement form for teleworking, frames
content that addresses these common
remote work risks.
The City should revise the current
agreement form to include a more
robust list of employee obligations to
improve the clarity of responsibilities
for remote workers and their
departments. The City should also
ensure that the agreement form
reflects the content of the current
teleworking policy.
A sample revision of the form is
provided in Appendix B.
Remote Work
Position
Eligibility
n/a
3
The City does not have a standardized
approach to determine position eligibility
for remote or flex work schedules.
Department directors approve eligibility
on a case-by-case basis as employees
request it, with a strong consideration of
department norms and supervisor
preferences. This creates inconsistent
eligibility across departments for positions
with similar essential duties. Department
requirement of in-person work when
essential job duties do not require the
position to be on-site or in the office
damages the City’s ability to retain
employees and attract new talent.
The City should development
standardized criteria for position
remote and flex work eligibility. All
positions should be evaluated for full
remote, partial remote/flex schedule,
and ineligible remote work. Once
position eligibility is determined, The
City should follow existing policy to
review individual employee eligibility
for all eligible positions.
A sample criteria is provided in
Appendix C.
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Analysis on the Future of Remote Work
This section provides market and industry context to consider for future implementation to remain current and competitive
in the hiring market and considerations for executing a position eligibility assessment.
2 Public Sector Telework Trends During the Coronavirus Pandemic | IPMA -HR
3 Public Sector Telework Trends During the Coronavirus Pandemic | IPMA -HR
4 Quick Steps to Prepare a Remote Work Policy for Your Local Government | icma.org
5 The Future of Remote Work in the Public Sector - Government Technology Insider
Remote Work Best Practices and Research
Governments and public sector organizations have continued to leverage remote work as a necessary alternative to
traditional in-person work. Forecast trends predict public sector reliance on remote work will continue and likely expand.
Standardized implementation of remote work will allow the City of Palo Alto to remain competitive as well as modernize
and expand the quality services its residents expect.
Early Covid-19 Pandemic Workforce Response
Prior to the Covid-19 Pandemic and government issued shutdowns, remote work was uncommon within the public
sector. The U.S. Bureau of Labor Statistics 2019 National Compensation Survey found flexible workplace benefits were
available to 4 percent of state and local government workers and 5 percent of management level positions. An
International Public Management Association for Human Resources (IPMA-HR) survey of local government members
found that 70 percent of public sector organizations did not have established remote work programs in early 2020 when
the Pandemic began.
During Covid, among the 30 percent of public sector organizations surveyed by IPMA-HR which already had remote
work programs, the percentage of remote workers increased to 63 percent after closures began. Among organizations
that did not have established programs, survey participants reported an average of 1 percent of their workforce worked
remotely before the Pandemic. Their share of remote workers grew to 41 percent by April 2020, representing an
increase of 4,000 percent and indicating industry-wide adoption of remote work flexibility.2
Sustaining Remote Workforce Responses
IPMA-HR reports 69 percent of the respondents at public sector organizations that already had established remote
work policies prior to February 2020 reported plans to continue allowing more remote work after reopening their offices.
Maintained remote work programs were lower, at 45 percent, among survey respondents whose organizations lacked
remote work programs prior to the Covid-19 Pandemic.3
Currently, local government policies and approaches address primarily four areas:
1) Employee eligibility for remote work,
2) Necessary forms and policy development,
3) Accessing communication channels, and
4) IT practices, procedures, and security.4
Government Technology Insider notes that investments made to enhance and maintain network architecture are
needed for continued support of remote work. Services, such as streamlined support tickets and an IT service desk, are
important to support remote end-users. Additionally, agencies should establish a business continuity plan (BCP) to train
workers on secure network practices while remotely working.5
The reported ability to work remote varies widely depending on the industry. Government, public administration, and
military organizations fall in the middle of this list with 46 percent of workers reporting most daily job functions can be
performed remotely.
According to the FlexJobs online trends database, The State of California has the most remote job listings of any state.
In terms of remote worker populations, The City of Palo Alto is among the top five cities in the State, with 9.3% of the ir
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6 Remote Job Market Map - Trends, Companies, & Facts by State | FlexJobs
7 Amid public sector hiring challenges, researchers highlight telework, flexibility as path forward - American City and County
8 Public Sector Remote Work Challenges - Exisor, California Transportation Commission, 2021, “Effects of COVID-19-Related Telework Policies
on the Transportation System”
9 Work remotely – Employees | telework.govops.ca.gov
total working population remote. Neighboring cities Mountain View, Sunnyvale, and Redwood, also make th is list of the
top 50 California cities for remote work with 6.2 percent, 5.3 percent, and 4.6 percent, remote populations,
respectively.6
Future Workforce Challenges
As the public sector rebounds from the demands incurred from the Covid-19 Pandemic, hiring challenges, vacancies,
and burnout are impeding return to pre-pandemic workforce levels. Approximately 90 percent of jobs lost in the private
sector have returned as of April 2022, while only 53 percent of jobs lost have returned for the public sector. Pandemic
job loss and pre-pandemic hiring challenges have made quality talent recruiting and succession planning the highest
priority staffing challenges government organizations face.7 Burnout and stress have caused 44 percent of public sector
employees to experience decline in mental-emotional health. In California, other remote work challenges include public
sector work culture, high paper dependenc ies, and cybersecurity concerns according to the California Transportation
Commission.8
Remote work is likely preceding a future of public service performed by a network of workers across integrated
geographies, making “remoteability” a key metric for a public sector organization’s success. A ddressing motivation and
the intrinsic value of public sector work is one strategy to retain devoted public servants. Increasing resources through
benefits and salary to match the increased demands placed on large City and County employees will further encourage
public sector participation.
We anticipate California will continue various resources, programs, and benefits that enable employers and local
governments to support their remote work segments. The California Government’s “telework.govops.ca.gov” is one
resource providing best practices and helpful tips for governments like Palo Alto. We encourage use of these resources
and others to achieve ideal remoteability.9
Position Eligibility Framework
Below is a sample framework to consider implementing for evaluating position eligibility for remote work and modifying
the position eligibility in context of the remote work policy at the City of Palo Alto:
1. Human Resources makes a framework for position eligibility assessment deployment
a. HR evaluates the positions first and solicits director feedback on potential eligible positions
b. HR collaborates with department directors to evaluation eligibility for all positions
2. Human Resources creates a communication plan for the evaluation framework
3. Human Resources selects pilot departments to evaluation position eligibility
4. Human Resources runs the pilot department evaluation
5. Human Resources modifies implementation plan using lessons learned from the pilot
6. Human Resources implements position evaluation with remaining departments
1. Creation of framework
a. Human Resources evaluates the positions first to eliminate positions for department review that are
ineligible to work remotely
The benefits of this method:
Creates a top-down efficient approach using the knowledge and expertise of the Human Resources
staff and reducing the volume of department position review.
The negatives of this method:
Reduced position review transparency for department leadership and employees
b. Department directors review all positions
The benefits of this method:
Illustrates to employees the desire to intimately understand positions when determining eligibility.
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Increases the volume of positions for department directors and employees to review.
The negatives of this method:
Increased review and implementation time-frame
2. Creation of a communication plan
Change management plan standards suggest the use of comprehensive and clear communications to all
affected parties. Human Resources will need to identify the target audience for each communication and the
intended purpose/goal of the communication. The City may consider a communication approach as follows:
- Notify all City employees of the position review. In the notification, state the pilot departments, phased
approach for additional department position reviews, roles and responsibility for Human Resources,
department supervisors, and employees.
- Provide regular updates during executive team meetings
- Provide updates to department directors of when phases are complete and next steps
- Provide written communication to all employee participants at each phase. Hold a townhall meeting
introducing the project, communicating the purpose, approach and outcome
- Communicate position eligibility to the executive team and directors when all positions are evaluated
The methods and delivery for the communication plan should also be outlined, considering a formalized
message to staff and informal channels. Human Resources should be prepared for the responses they will
receive to the communication plan – both negative and positive - and appropriate response channels.
Human Resources should be clear and repeatedly communicate throughout the process that the assessment is
to determine position eligibility to equitably apply consideration across the City. Individuals who hold eligible
positions should continue to be assessed for approval and continued eligibility per the City’s policy.
3. Selection of pilot departments
When selecting the two departments for the pilot, consider the following:
- A department that performs administrative functions for the City (e.g. Legal, City Clerk and Information
Technology)
- A department that has positions performing some elements of fieldwork/operations
- Departments that are collaborative in nature and willing to adapt to changes in City policy
- Departments that are well respected within the City as they will serve as advocates for the future rollout of
the Remote and Flexible Work program
- Departments with a high volume of hard-to-fill positions or key positions with a high vacancy rate
Running the pilot
- Human Resources should consider the length of the pilot program, any changing needs of the community
and potential changes in service delivery requiring a stop or pause to the pilot, and any changing needs of
the department that may require a stop or pause.
- Develop a re-start plan to continue the pilot to keep staff engaged and invested in the pilot program.
Feedback from piloted departments should be solicited and factored into future implementation for improved
deployment. The pilot should be self-evaluated by all participants and ‘lessons learned’ documented when
providing feedback to Human Resources. The feedback provided in this phase will inform steps 5 and 6.
4. Pilot department evaluation
Human Resources outlines the approach needed for the evaluation of the pilot department program. Steps may
include:
- Department director meeting:
o Kick-off
o Project timeline/purpose
o Confirm approach and scope
- Employee kick-off meeting
o Kick-off
o Project timeline/purpose
o Confirm approach and scope
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The approach will differ and is dependent on if Human Resources will provide the first assessment of positions
or initiate preliminary assessment at the employee level.
1a Approach. Human Resources evaluates positions using essential duties from the job descriptions and
designates positions ineligible to work remotely. Human Resources reviews the assessment with department
directors. For all remaining positions, employees self-evaluate their position eligibility, directors review the self-
assessment and Human Resources analyzes the responses to find an average question score for each
position. Human Resources should review all results with Managers/Directors for their input and approval of the
results.
1b Approach. All employees self-evaluate their position eligibility, directors review the self-assessment and
Human Resources analyzes the responses to find an average question score for each position. Human
Resources should review all results with Managers/Dir ectors for their input and approval of the results.
From this analysis, Human Resources can designate positions as eligible for options of fully remote, flexible
hours/day schedules, or ineligible for remote work.
All results of the analysis should be shared with both Directors and Employees and include any next steps.
For Directors, considerations for next steps to accommodate employee requests going forward:
- Technology needs
- Scheduling needs
- Ebbs and flows of services in their department
For Employees, considerations for next steps going forward:
- A review of essential duties for similar positions would result in an equitable approach amongst all
employees and improve program deployment
5. Modification of the implementation plan
Using the feedback received in Phase 3, Human Resources should adjustment the implementation plan.
Considerations of adjustments should include t he ability to adapt the plan to a changing environment within the
City (e.g. at different times of the year different needs may arise where staff may need a more frequent
presence in the office)
6. Implementation of position evaluation
Human Resources will need to prioritize the remaining City departments. Considerations on prioritizing should
include:
- High turnover or high vacancy rate departments
- Departments with a balance of administrative and non-administrative functions
- Seasonality of work and City milestones (e.g. budget planning, Capital infrastructure planning, hig h
volumes of outdoor functions for summer and spring activities)
Consider developing a phased deployment. A potential implementation approach includes:
- Phase 1: common positions across all departments (e.g. administrative assistants, Directors, etc.)
- Phase 2: Departments with common functionality (e.g. operations and fieldwork functions)
- Phase 3: Departments with common functionality (e.g. administrative and internal shared services
positions).
As mentioned in Phase 2, elements of a change management plan can assist Human Resources in this
implementation. In addition to the communication plan, a Change Management Approach implementation
strategy includes a training plan, business systems plan and resistance plan.
Having a plan to address any resistance from employees will assist with a successful program. A possible tool
to consider is a Resistance Assessment Survey. This survey identifies areas of possible resistance, and
provides a space for rating (1-5 from strongly disagree to strongly agree). Human Resources could deploy this
survey and aggregate the scores as they did for the evaluation tool to find pockets of resistance and approval.
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Appendices
Appendix A: Sample Policy Modifications
SHRM Telecommuting Policy and Procedure
Blue highlighted text indicates content recommended to include in City Policy
Objective
Telecommuting allows employees to work at home, on the road or in a satellite location for all or part of their workweek.
[Organization Name] considers telecommuting to be a viable, flexible work option when both the employee and the job are
suited to such an arrangement. Telecommuting may be appropriate for some employees and jobs but not for others.
Telecommuting is not an entitlement, it is not a companywide benefit, and it in no way changes the terms and conditions
of employment with [Organization Name].
Procedures
Telecommuting can be informal, such as working from home for a short -term project or on the road during business travel,
or a formal, set schedule of working away from the office as described below. Either an employee or a supervisor can
suggest telecommuting as a possible work arrangement.
Any telecommuting arrangement made will be on a trial basis for the first three months and may be discontinued at will
and at any time at the request of either the telecommuter or the organization. Every effort will be made to provide 30 days’
notice of such change to accommodate commuting, child care and other issue s that may arise from the termination of a
telecommuting arrangement. There may be instances, however, when no notice is possible.
Eligibility
Individuals requesting formal telecommuting arrangements must be employed with [Organization Name] for a minimum of
12 months of continuous, regular employment and must have a satisfactory performance record.
Before entering into any telecommuting agreement, the employee and manager, with the assistance of the human
resource department, will evaluate the suitability of such an arrangement, reviewing the following areas:
⎯ Employee suitability. The employee and manager will assess the needs and work habits of the employee,
compared to traits customarily recognized as appropriate for successful telecommuters.
⎯ Job responsibilities. The employee and manager will discuss the job responsibilities and determine if the job is
appropriate for a telecommuting arrangement.
⎯ Equipment needs, workspace design considerations and scheduling issues. The employee and manager will
review the physical workspace needs and the appropriate location for the telework.
⎯ Tax and other legal implications. The employee must determine any tax or legal implications under IRS, state and
local government laws, and/or restrictions of working out of a home-based office. Responsibility for fulfilling all
obligations in this area rests solely with the employee.
If the employee and manager agree, and the human resource department concurs, a draft telecommuting agreement will
be prepared and signed by all parties, and a three-month trial period will commence.
Evaluation of telecommuter performance during the trial period will include regular interaction by phone and e-mail
between the employee and the manager, and weekly face-to-face meetings to discuss work progress and problems. At
the end of the trial period, the employee and manager will each complete an evaluation of the arrangement and make
recommendations for continuance or modifications. Evaluation of telecommuter performance beyond the trial period will
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be consistent with that received by employees working at the office in both content and frequency but wil l focus on work
output and completion of objectives rather than on time-based performance.
An appropriate level of communication between the telecommuter and supervisor will be agreed to as part of the
discussion process and will be more formal during the trial period. After conclusion of the trial period, the manager and
telecommuter will communicate at a level consistent with employees working at the office or in a manner and frequency
that is appropriate for the job and the individuals involved.
Equipment
On a case-by-case basis, [Organization Name] will determine, with information supplied by the employee and the
supervisor, the appropriate equipment needs (including hardware, software, modems, phone and data lines and other
office equipment) for each telecommuting arrangement. The human resource and information system departments will
serve as resources in this matter. Equipment supplied by the organization will be maintained by the organization.
Equipment supplied by the employee, if deemed appropriate by the organization, will be maintained by the employee.
[Organization Name] accepts no responsibility for damage or repairs to employee-owned equipment. [Organization Name]
reserves the right to make determinations as to appropriate equipment, subject to change at any time. Equipment
supplied by the organization is to be used for business purposes only. The telecommuter must sign an inventory of all
[Organization Name] property received and agree to take appropriate action to protect the items from damage or theft.
Upon termination of employment, all company property will be returned to the company, unless other arrangements have
been made.
[Organization Name] will supply the employee with appropriate office supplies (pens, paper, etc.) as deemed necessa ry.
[Organization Name] will also reimburse the employee for business -related expenses, such as phone calls and shipping
costs, that are reasonably incurred in carrying out the employee’s job.
The employee will establish an appropriate work environment within his or her home for work purposes. [Organization
Name] will not be responsible for costs associated with the setup of the employee’s home office, such as remodeling,
furniture or lighting, nor for repairs or modifications to the home office space.
Security
Consistent with the organization’s expectations of information security for employees working at the office, telecommuting
employees will be expected to ensure the protection of proprietary company and customer information accessible from
their home office. Steps include the use of locked file cabinets and desks, regular password maintenance, and any other
measures appropriate for the job and the environment.
Safety
Employees are expected to maintain their home workspace in a safe manner, free from safety hazards. [Organization
Name] will provide each telecommuter with a safety checklist that must be completed at least twice per year. Injuries
sustained by the employee in a home office location and in conjunction with his or her regular work duties are normally
covered by the company’s workers’ compensation policy. Telecommuting employees are responsible for notifying the
employer of such injuries as soon as practicable. The employee is liable for any injuries sustained by visitors to his or her
home worksite.
Telecommuting is not designed to be a replacement for appropriate child care. Although an individual employee’s
schedule may be modified to accommodate child care needs, the focus of the arrangement must remain on job
performance and meeting business demands. Prospective telecommuters are encouraged to discuss expectations of
telecommuting with family members prior to entering a trial period.
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Time Worked
Telecommuting employees who are not exempt from the overtime requirements of the Fair Labor Standards Act will be
required to accurately record all hours worked using [Organization Name]’s time-keeping system. Hours worked in excess
of those scheduled per day and per workweek require the advance approval of the telecommuter’s supervisor. Failure to
comply with this requirement may result in the immediate termination of the telecomm uting agreement.
Ad Hoc Arrangements
Temporary telecommuting arrangements may be approved for circumstances such as inclement weather, special projects
or business travel. These arrangements are approved on an as-needed basis only, with no expectation of ongoing
continuance.
Other informal, short-term arrangements may be made for employees on family or medical leave to the extent practical for
the employee and the organization and with the consent of the employee’s health care provider, if appropriate.
All informal telecommuting arrangements are made on a case-by-case basis, focusing first on the business needs of the
organization.
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POLICY AND PROCEDURE 2-38/HRD
Revised: June 2021
Blue highlighted text indicates content recommend to include from SHRM policy.
Green highlighted text indicates Baker Tilly language based upon review of current state and federal reimbursement
requirements. Baker Tilly does not provide legal advice. We recommend the City consult with their employment law
counsel prior to any sample form or policy adoption.
REMOTE WORK POLICY
PURPOSE
The purpose of this Policy is to provide guidance for administering remote work.
DEFINITIONS
Remote Work is the practice of working from an alternative worksite on either a voluntary (Remote Work
Arrangement) or assigned (Remote Work Assignment) on a regular basis. Occasional remote work is when an
employee is approved to work remotely on an infrequent or project basis. Occasional remote work does not
require a formal remote work agreement.
Remote Work Agreement is the formal agreement between a supervisor and an employee which defines the
employee’s regular remote work schedule and details any City -owned resources the employee will use in the
alternative worksite.
Alternative Worksite is a location where the employee works other than at a City facility.
POLICY
It is the policy of the City of Palo Alto to allow and/or assign employees to work remotely when it is consistent with the
City’s operational needs.
When the employee and their position are eligible and well-suited for remote work, Department Directors are strongly
encouraged to allow remote work.
Remote work can be advantageous to the employee, department and the community. Research and numerous sources
have identified that remote work:
• Reduces air pollutants and decreases traffic, parking congestion and overcrowding of public transportation.
• Improves the City’s ability to maintain services during an emergency when the regular worksite is inaccessible.
• Enhances the ability to recruit and retain quality employees, improves job satisfaction, supports work -life balance,
and may increase productivity.
While remote work is typically a voluntary arrangement, the City may require work to be performed remotely based on
operational needs or in emergency circumstances. Remote work is a service delivery model that can be used to meet
operational needs, and is not to be viewed as an entitlement, reward or benefit. All City employees who are working
remotely on a regular basis must have an approved Remote Work Agreement under this Policy. Occasional Remote Work
must be documented and approved in advance by the employee’s supervisor, but no formal Remote Work Agreement is
required.
Remote work does not alter duties, obligations, responsibilities and conditions of employment for the employee who is
approved and/or assigned to work remotely. Employees working remotely remain obligated to comply with all City rules,
regulations, policies, procedures, and state and federal laws.
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Remote Work is not designed to be a replacement for appropriate child care. Although an individual employee’s schedule
may be modified to accommodate child care needs, the foc us of the arrangement must remain on job performance and
meeting business demands. Prospective remote workers are encouraged to discuss expectations of remote work with
family members prior to entering a trial period
PROCEDURE
All employees must have a Remote Work Agreement in order to work remotely on a regular basis.
Any Remote Work arrangement made will be on a trial basis for the first three months and may be discontinued at will and
at any time at the request of either the telecommuter or the organization. Every effort will be made to provide 30 days’
notice of such change to accommodate commuting, child care and other issues that may arise from the termination of a
remote work arrangement. There may be instances, however, when no notice is possible.
Evaluation of telecommuter performance during the trial period will include regular interaction by phone and e -mail
between the employee and the manager, with recommended bi-weekly meetings to discuss work progress and problems.
At the end of the trial period, the employee and manager will each complete an evaluation of the arrangement and make
recommendations for continuance or modifications. Evaluation of telecommuter performance beyond the trial period will
be consistent with that received by employees working at the office in both content and frequency but will focus on work
output and completion of objectives rather than on time-based performance.
An appropriate level of communication between the telecommuter and supervisor will be agreed to as part of the
discussion process and will be more formal during the trial period. After conclusion of the trial period, the manager and
telecommuter will communicate at a level consistent with employees working at the office or in a manner and frequency
that is appropriate for the job and the individuals involved.
Remote Work Request Initiated by Employee (Remote Work Arrangements)
Employees who believe they may be eligible for Remote Work as defined in this Policy mus t first discuss their desire to
work remotely with their direct supervisor. At that time, the supervisor and employee can discuss eligibility, schedule,
equipment needs, work hours, and other items that are part of the Remote Work Agreement and this Policy .
The employee must then submit the Remote Work Agreement to their supervisor for approval. If the supervisor approves
the Remote Work Agreement, they will submit the agreement to the Department Director or designee for consideration.
The Department Director or designee will either approve, deny, or modify the agreement. A copy of the final signed
agreement must be provided to the employee, their supervisor, and submitted to Human Resources.
Should an employee’s remote work request be denied, the decision is final and not subject to the grievance procedure or
any other appeal. The employee may request to meet with the Human Resources Director or their designee to discuss
their denial.
As part of an employee’s annual performance appraisal, the Remote Work Agreement should be evaluated by the
employee and supervisor to determine if the arrangement is successful and if it should continue. The Remote Work
Agreement should be updated with any changes and submitted for approval by the Department Director or designee.
The Department Director or designee can suspend or cancel the Remote Work Agreement with at least five business
days’ written notice when possible. In the event operational necessity does not allow for five business days’ notice, the
Department Director or designee may suspend or cancel the Remote Work Agreement with less notice. General
considerations for terminating the agreement include, but are not limited to, operational need, performance, conduct,
safety, and violation of the Remote Work Policy and other City policies. Termination of the agreement is administrative
and not considered discipline. The decision is not be subject to the grievance procedure nor can it be appealed.
Remote Work Required by the City (Remote Work Assignment)
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If operational needs require remote work for continuity of City services, or in cases of emergency, managers and the
Department Director will evaluate each position for remote work. The requirement to perform work remotely will be
assigned in consultation with the City Manager’s Office and Human Resources. Employees assigned to work remotely
must complete a Remote Work Agreement. Remote Work Assignments may be discontinued at any time at the sole
discretion of the City pursuant to the procedures outlined above.
ELIGIBILITY
Not all positions or employees are eligible for remote work. When determining whether an employee requesting remote
work is eligible, employees must meet both the position eligibility criteria and performance eligibility criteria. When a
position is being required to work remotely due to operational necessity and continuity of service or emergency
circumstances, City management will evaluate the eligibility of the position and follow any local, state or federal guidance.
Individuals requesting Remote Work arrangements must maintain a satisfactory performance record.
*** Eligibility requirements may need to be revised based on the final outcome of the Remote and Flexible Work Study***
Position Based Eligibility:
Criteria for establishing eligibility of a position:
⎯ In-person interaction or physical presence on a daily basis is not essential to the performance of job duties and may
be scheduled or conducted virtually to permit Remote Work.
⎯ Some or all the job duties are able to be performed from an alternative worksite without diminishing the quality and
timeliness of the work.
⎯ Appropriate equipment must be available or can be made available in the alternative worksite to perform job duties
and assigned tasks.
⎯ Remote Work must not unduly disrupt or create problems for projects, staff, the community or other stakeholders.
⎯ When performed remotely, job duties can be completed in compliance with all applicable IT, Security, Privacy and
Confidentiality policies and procedures.
Performance Based Eligibility:
Criteria for establishing eligibility of an employee:
⎯ Employee is adaptable, with a proven ability to work independently.
⎯ Employee demonstrates good time-management skills by completing quality assignments on time.
⎯ Employee communicates information efficiently with leadership, coworkers, support staff and customers.
⎯ Employee sets appropriate priorities, changes priorities as needed, and maintains a suitable workspace.
⎯ Employee possesses computer and other necessary skills sufficient to work independ ently at an alternate worksite.
CONDITIONS
Schedule and Work Hours:
The actual time worked by the employee, as established by the Remote Work Agreement, must be accurately recorded
on the timesheet.
⎯ Employees FLSA status as exempt or non-exempt will not be altered as a result of the employee working
remotely.
⎯ The number of hours worked by the employee will not change because the employee is working at an alternative
worksite.
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⎯ Employees eligible for overtime may work overtime only when directed to do so and approved in advance by the
supervisor.
⎯ Employees must obtain approval to use vacation, sick, or other leave in the same manner as departmental
employees who do not work remotely.
⎯ Employees working remotely will maintain accessibility via email, phone, or as otherwise agreed to by their
supervisor during agreed upon work hours.
⎯ Employees must follow all regular timecoding requirements.
Employees working at an alternate worksite may be required to report to a City facility on a remote workday. Supervisors
should give at least 24 hours’ notice of this change, unless an unforeseeable immediate need should arise. An employee
who is required to report to a City facility instead of their alternative worksite is not eligible for travel reimbursement. When
an employee is required to report to a City Facility on the same day, then travel time to the City facility shall be considered
hours worked.
Occasional requests by employees to change their schedule should be accommodated by the supervisor if possible.
Occasional changes (such as working remotely on a different day in the same week) do not constitute a change in the
underlying agreement. A permanent schedule change would require an employee to resubmit an approved Remote Work
Agreement.
Remote Worksite & Equipment
It is the responsibility of the employee to create a safe and ergonomically suitable environment for work. Employees shall
make all reasonable efforts to ensure their remote work area meets the ergonomic standards of the City. Upon request,
the City will provide an ergonomic evaluation for the employee’s alternative worksite.
Employees working remotely must work in an environment that allows them to perform their duties safely and efficiently.
Employees are responsible for ensuring their work areas comply with health and safety requirements . Employees are
covered by workers’ compensation laws when performing work duties at their designated alternate locations during their
regular work hours. Employees who suffer a work-related injury or illness while remote working must notify their
supervisor and complete any required forms immediately in accordance with the City’s Workers’ Compensation Policy.
In order to work remotely, employees and supervisors must identify the equipment, software, and supplies required to
successfully work at an alternate location. The employee will not be eligible for Remote Work if the required equipment is
not available. IT will serve as resources to assist employees and supervisors determine appropriate equipment needs.
The remote worker must sign an inventory of all City property received and agree to take appropriate action to protect the
items from damage or theft
City Equipment:
Any equipment and software shall remain the property of the City and is limited to use for purposes relating to City
business only. Employees working remotely must keep City -owned equipment in good working order, report any problems
or malfunctions immediately, and must promptly return equipment upon completion or termination of their Remote Work
Agreement, or separation from the City.
Basic office supplies that normally are available at the City worksite for the employee's use (e.g., pens, binders, notepads,
Post-its, etc., but not including printer ink cartridges) may be used at the employee’s remote worksite in accorda nce with
the same policies that govern their use at the City worksite. Employees working remotely will not be reimbursed for
additional office supplies unless approval to purchase supplies is given in advance. City issued supplies must be used for
City work purposes only. Any other costs may be incurred only with prior approval by the Department Director.
City-issued laptops or other required computer equipment and repairs will be provided based on need and availability. To
ensure hardware and software security, all software used for remote work must be approved by the department and IT
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before installation. Networking can only be established using compatible hardware and software. All remote work must be
done through the City VPN or approved applications.
Personal Equipment:
When not provided by the City, employees under a Remote Work Agreement are expected to use personal office
equipment including, but not limited to, furniture, seating, internet access, scanners, calculators, ink cartridges, etc., u sed
while working remotely.
Employees working remotely are responsible for the maintenance and repair of their office equipment and are required to
install and maintain personal office equipment at no expense to the City. The employee is responsible fo r ensuring that
software used on non-City premises is compatible with City standards.
Business-related Expenses:
Employees voluntarily working remotely are responsible for all business expenses incurred. Should the City require
employees to work remotely, the City will supply the employee with “necessary” and “reasonable” expenses10. Employees
may not incur expenses before receiving written approval from a department supervisor.
Information Security and Protection
Remote workers, like all City employees, are expected to protect confidential, proprietary, and business information from
unauthorized or accidental access, destruction, or disclosure. Employees may not disclose confidential or private files,
records, materials, or information, and may not allow access to
City networks or databases to anyone who is not authorized to have access.
Employees who work remotely shall comply with the City’s Information Security Policy, Information Security Standards,
Information Privacy Policy and ensure the protection of the City’s protected information.
Ad Hoc Arrangements
Temporary remote work arrangements may be approved for circumstances such as inclement weather, special projects or
business travel. These arrangements are approved on an as-needed basis only, with no expectation of ongoing
continuance.
Other informal, short-term arrangements may be made for employees on family or medical leave to the extent practical for
the employee and the organization and with the consent of the employee’s health care provider, if appropriate.
All informal remote work arrangements are made on a case-by-case basis, focusing first on the business needs of the
organization.
Exceptions
The City is not liable for loss or destruction of the employee’s home or personal property while working remotely. The City
is not liable for injury to the employee that occurs outside of remote work hours or while not conducting City work. The City
is not liable for injury to the employee’s family members, visitors, or invitees within or around the remote worker’s home.
10 California Labor Code 2802
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Appendix B: Hybrid Work Agreement Form
Baker Tilly does not provide legal advice. We recommend the City consult with their employment law counsel prior to any
sample form or policy adoption.
Hybrid Work Agreement
Sample teleworking agreement modified from the SHRM and other industry samples. Blue text indicates added content
from SHRM template.
Definition
For purposes of this agreement, “telework” means an agreed-upon regular, modified work location outside of City
premises or standard work location (e.g., home office, community workspace. etc.)
Employee Information
Name: ____________________________________ Hire date: __________________
Employee ID: _________________________________________________________
Job title: _____________________________________________________________
Department: ___ ______________________________________________________
Supervisor’s Title: _____________________________________________________
Is your supervisor the Department Director (Y/N) ______________________________
Department Director’s email address: ______________________________________
FLSA status: Exempt Nonexempt
This telework agreement will begin and end on the following dates:
Start date: _______________ End date: _______________
Primary work location: ________________________________________________
Employee Telework Schedule - Mark “X” where applicable
Remote
Work
Onsite
Work
Remote/Onsite
Combination
Regular
Day Off
Monday
Tuesday
Wednesday
Thursday
Friday
Saturday
Sunday
The employee agrees to the following conditions:
The employee will remain accessible and productive during scheduled work hours.
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Nonexempt employees will record all hours worked and meal periods taken in accordance with regular t imekeeping
practices.
Nonexempt employees will obtain supervisor approval prior to working unscheduled overtime hours.
The employee will report to the employer’s work location as necessary upon directive from his or her supervisor and notify
the supervisor in advance of work location modifications.
The employee will communicate regularly with his or her supervisor and co-workers, with a cadence and format
established by the supervisor.
The employee will comply with all City rules, policies, pract ices and instructions that would apply if the employee were
working at the employer’s work location.
The employee will maintain satisfactory performance standards.
The employee will make arrangements for regular dependent care and understands that telework is not a substitute for
dependent care. In pandemic or natural disaster circumstances, exceptions may be made for employees with caregiving
responsibilities.
The employee will maintain a safe and secure work environment at all times.
The employee will allow the employer to have access to the telework location for purposes of assessing safety and
security, upon reasonable notice by the City.
The employee will report work-related injuries to his or her supervisor as soon as practicable.
City will provide the following equipment: __________________________
______________________________________________________________________
The employee will provide the following equipment : ____________________________
______________________________________________________________________
The employee agrees that City equipment will not be used by anyone other than the employee and only for business -
related work. The employee will not make any changes to security or administrative settings on City equipment. The
employee agrees to promptly install all technology security upgrades to ensure network security. The employee
understands that all tools and resources provided by the City shall remain the property of the City at all times.
The employee agrees to protect City tools and resources from theft or damage and to report theft or damage to his or her
supervisor immediately.
The employee agrees to comply with City’s policies and expectations regarding information security. The employee will be
expected to ensure the protection of confidential and customer information accessible from their home offices.
The employee understands that telework is a privilege, subject to position eligibility and performance review requirements .
The employee understands that reomote eligibility may be revoked based upon performance reviews, non-compliance of
this agreement and/or position essential duty modifications.
Palo Alto will reimburse employee for the following expenses:
________________________________________________________________
Employee will submit expense reports with attached receipts in accordance with City expense reimbursement policy.
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The employee understands that all terms and conditions of employment with the City remain un changed, except those
specifically addressed in this agreement.
The employee understands that management retains the right to modify this agreement on a temporary or permanent
basis for any reason at any time.
The employee agrees to return City equipment and documents within five days of termination of employment.
Employee signature: ______________________________ Date: ____________________
Manager signature: _______________________________ Date:______________________
Human resources signature: ________________________ Date: ______________________
Hybrid Work Agreement Form (FY23)
All workers who are assigned to Telework, including those who partially Telework, should complete this
form. Telework minimizes the number of employees at City facilities, while allowing essential work to
continue.
By submitting this Telework Agreement you acknowledge and agree to the following: While on this
telework arrangement, you are expected to fully engage in your job and to work in a manner that is
safe, efficient and responsible. Telework requires that you take extra care to remain in close
communication with your supervisor and co-workers. When you telework, you have the same
responsibilities as when you work at your normal worksite. Responsibilities include being immediately
available during work time, following work policies and protocols; protecting the confidentiality of
sensitive data; maintaining a safe work area and reporting any injury; protecting government property;
and reporting your absences accurately. In addition, if you are in a classification that allows for
overtime or comp time you are required to obtain prior approval from your supervisor.
If you have any questions regarding telework arrangements please contact HR at (650)329-2376 or
HR@CityofPaloAlto.org (mailto:HR@CityofPaloAlto.org)
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Appendix C: Position Eligibility Criteria
Key
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Appendix D: Management Response
Summary Statement:
The Palo Alto City Administration thanks the City Auditor’s Office for their work on this important and timely topic. As requested by the Administration, this
study provides an independent perspective on one of the most widely discussed and rapidly evolving contemporary workplace issues. The study affirms that
the City’s efforts, initiated pre-pandemic, continue to reflect a progressive and balanced approach to ensuring worker productivity in delivering services to t he
community while continuing to model an “employer of choice.” This will continue to guide and inform future decision making and strategic opportunities for
revision of hybrid working practices.
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Recommendation Responsible
Department(s)
Agree, Partially Agree, or Do Not Agree and Target Date and Corrective Action
Plan
Finding 1: Remote Work Policy
The City should revise the current policy to strengthen its teleworking
risk mitigation and further clarify the remote work arrangement between
its employees and departments. The City should also implement a
periodic review of its telework policy in annual intervals to ensure
content is current with best practices and meets department needs.
A sample policy revision, based upon The Society for Human Resources
Management and the International Public Management – Human
Resources Association best practices and sample policies, is provided in
Appendix A.
Human
Resources
Concurrence: Partially agree
Target Date: March 2023
Completion Date: To be determined during the OCA’s follow-up review
Action Plan:
Currently the City’s policy includes Position Based and Performance Based
Eligibility criteria for the Department Director to consider their employee’s
request for a hybrid work schedule. City equipment, is tracked by the
Information Technology department therefore incorporating an additional
equipment tracking component into the hybrid work policy would be duplicative
and could lead to confusing and contradictory practices.
In regards to excluding employees on probation, the City did not include this
provision as providing hybrid work as an option may offer flexibility candidates
are seeking.
The City’s policy update has been updated to reflect the workforce transition to
“hybrid work”, now titled the Hybrid Work Policy, and will be reviewed
periodically or at minimum, annually as recommended.
Finding 2: Remote Work Procedures
The City should revise the current agreement form to include a more
robust list of employee obligations to improve the clarity of
responsibilities for remote workers and their departments. The City
should also ensure that the agreement form reflects the content of the
current teleworking policy.
A sample revision of the form is provided in Appendix B.
Human
Resources
Concurrence: Partially Agree
Target Date: March 2023
Completion To be determined during the OCA’s follow-up review
Action Plan:
The City provides regular and consistent training to supervisors and managers
on how to effectively communicate performance feedback, use progressive
discipline, targeted development plans, and leave of absence tracking to
ensure efficient and effective delivery of City services. Changes to the Hybrid
Policy and agreement form that infer disciplinary results or actions would
detract from the City’s established performance management processes and
cause meet and discuss obligations with the City’s different impacted labor
groups. Authority of managers and supervisors is clearly articulated in the
City’s merit rules to document expectations of an employee to perform their
assigned tasks. An employee performing their assigned tasks remotely does
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not impact the supervisor’s responsibility to complete the performance
management process.
The City closely reviewed sample documents from the Society for Human
Resources Management in developing the revision to the Remote Work Policy
and Agreement form currently utilized. The City’s Hybrid Work agreement
form has been updated to reference the Hybrid Work policy and include link.
Finding 3: Remote Work Position Eligibility
The City should development standardized criteria for position remote
and flex work eligibility. All positions should be evaluated for full remote,
partial remote/flex schedule, and ineligible remote work. Once position
eligibility is determined, The City should follow existing policy to review
individual employee eligibility for all eligible positions.
A sample criteria is provided in Appendix C.
Human
Resources
Concurrence: Partially Agree
Target Date: February 2023
Completion Date: February 28, 2023
Action Plan:
The Hybrid Work Policy clearly outlines and distinguishes the difference between
position eligibility and employee eligibility creating a two-step process for
approving hybrid work. Fully remote is not articulated as an option going forward
as no longer mandated by public health conditions, except as a special
exemption authorized by the City Manager’s Office. A survey tool such as
discussed during the audit, using criteria tailored to City operational
requirements, will be placed on the HR website as a resource that can be
incorporated into future use by supervisors and managers when reviewing a new
position for hybrid work eligibility.
Opportunities
We provide context to consider for future implementation of a remote and
flexible work policy to remain current and competitive in the hiring market
and considerations for executing a position eligibility assessment.
Summarized by:
- Early Covid-19 Pandemic Workforce Response
- Sustaining Remote Workforce Responses
- Future Workforce Challenges
We recommend a six-step framework for position eligibility implementation:
- Creation of a framework
- Creation of a communication plan
- Selection of pilot departments
Human
Resources
The process outlined above was very similar to that utilized prior to the pandemic
to test the revised changes to an earlier version of the City’s policy. Two city
divisions were selected to pilot the new policy with surveys of employees being
conducted at the beginning, middle, and end of the pilot process. This feedback
was then incorporated into the final version of the policy adopted in June 2021.
We believe it is consistent with existing practice to follow this similar framework
if/when significant additional changes are needed to the framework of the hybrid
work policy. An additional pilot is not necessary to accomplish the minor updates
being pursued at this time. However the critical position assessment suggested
can be used when new positions are submitted for Annual Budget in support of
providing flexible work options.
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- Pilot department evaluation with two approaches
- Modification of the implementation plan
- Implementation of position evaluation
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Policy & Services Committee
Staff Report
From: Adriane McCoy, Interim City Auditor
Meeting Date: April 26, 2023
Report #: 2302-1020
TITLE
Office of the City Auditor Presentation of the Electronic Payment Process and Controls Audit
Report
BACKGROUND
In 2021, the City of Palo Alto (City) was subject to multiple attempts to misdirect wire payments.
Given the importance of the topic, the Office of the City Auditor (OCA) obtained an approval to
start a recommended audit activity, Wire Payment Process and Controls Review project, in
February 20221 (ID#13891) before finalizing the FY2022-2023 Audit Plan that included the Wire
Payment Process and Controls Review project and was subsequently approved by the City Council
in April 20222 (ID#13914).
DISCUSSION
The objectives of the review were to:
1) Determine whether adequate controls are in place and working effectively to ensure
that all disbursements are valid and properly processed in compliance with City’s
policies and procedures
2) Determine whether end user security awareness training is sufficient to prevent
erroneous payments
The original scope to review wire payments was changed to review electronic payments that
include both wire and Automated Clearing House (ACH) payments due to the similar risks
against ACH payments. The OCA’s review included the ACH and wire disbursement processes by
the Accounts Payable and Treasury teams, banking information addition and modification, and
the user security awareness training to evaluate the design of internal controls. Additionally,
1 City Council Staff Report February 7, 2022 https://www.cityofpaloalto.org/files/assets/public/agendas-minutes-
reports/agendas-minutes/city-council-agendas-minutes/2022/20220207/20220207pccsm-revised-final.pdf
2 City Council Staff Report April 4, 2022 https://www.cityofpaloalto.org/files/assets/public/agendas-minutes-
reports/agendas-minutes/city-council-agendas-minutes/2022/20220404/20220404pccsmamendedlinked1.pdf
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the OCA’s testing was conducted by reviewing the selected disbursement transactions to
determine whether the controls are operating effectively.
The attached report summarizes the analysis, audit findings, and recommendations.
FISCAL/RESOURCE IMPACT
The Office of the City Auditor worked primarily with Administrative Services Department and
engaged with additional stakeholders, including the City Manager’s Office and the City
Attorney’s Office, as necessary.
The timeline for implementation of corrective action plans is identified within the attached
report.
ATTACHMENTS
•Attachment A: Report on Electronic Payment Process and Controls
.
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City of Palo Alto
City Auditor’s Office
Electronic Payment Process and
Controls
March 14, 2023
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Executive Summary
Purpose of the Audit
Baker Tilly US, LLP (Baker Tilly), in its capacity serving as the Office of the City Auditor (OCA) for the City of
Palo Alto (the City), conducted an audit of the electronic payment process and controls based on the approved
Task Order 4.12. The objectives of this review were to:
1) Determine whether adequate controls are in place and working effectively to ensure that all electronic
payments are valid and properly processed in compliance with City’s policies and procedures.
2) Determine whether end user security awareness training is sufficient to prevent erroneous payments
caused by phishing.
Report Highlights
Finding 1: Electronic Payment Instructions
(Page 11) In August 2021, management implemented an internal control by formalizing the existing
verbal verification process of all new electronic payment instructions and modifications. This is
an important control to prevent wire and ACH fraud, as noted in the Best Practices section of
this report. However, the City’s Policy and Procedures 1-06/ ASD, Payment Procedures, has
not been revised to include the new requirement.
The OCA reviewed the supporting documents and approvals for two wire templates and 10
randomly selected vendors for ACH and noted that the control activity performed is not
documented to evidence a review of changes made to vendor records. This review is not
currently included in the policy. An independent person who did not enter the information in
the system should review the vendor record added or changed in the system using the
supporting documents for validity and accuracy. The review should be evidenced as defined in
the policy. In the absence of control activities and requirements defined in the policy, the City
cannot ensure that key internal controls are implemented properly and operate effectively.
Key Recommendations
The Administrative Services Division (ASD) management should review and update the City’s
Policy and Procedures 1-06/ ASD, Payment Procedures, to ensure that an adequate internal
control system is in place to mitigate a risk of potential loss resulting from wire and ACH
frauds. The control activities and requirements should be clearly defined and communicated to
employees to ensure that controls are implemented properly and executed effectively. The
ASD management should also train the appropriate employees on the required control
activities to ensure that they execute the controls properly.
Finding 2: ACH Payments
(Page 12) There are three employees in the ADP AP team. The OCA noted that all three AP team
members have access to post invoices and process payments in the SAP ERP system and in
the bank online portal. The access allows the employees to update the vendor records in the
SAP ERP system as well. Because of this lack of segregation of duties issue, effective
operation of mitigating controls is important to ensure that all electronic payments are valid and
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properly processed. The mitigating control currently in place is dual authentication of ACH
payment batches and bank transactions in the bank online portal.
For one of 25 ACH payments reviewed, the actual ACH bank account number used for this
payment was different from the ACH bank account number shown on the vendor invoice. This
discrepancy was not identified during the payment process, and the payment was made to an
incorrect account. The control to prevent erroneous payments did not operate effectively for
this payment although there was no financial loss and all supporting documents and approvals
were well documented. The quality and effectiveness of independent reviews are especially
crucial due to the existing segregation of duties issue, where all AP team members have the
same system access.
The ACH payments are made from the bank online portal. The OCA determined that the
application control requiring dual authorization was in place. However, as the City currently
does not require the employees to save the reports that are available in the bank portal only
for a month, the audit trails evidencing that the dual authorization control is working effectively
are not maintained.
Although the mitigating controls such as secondary approver, dual authorization, and bank
account reconciliation are in place, ineffective execution of any of the key mitigating controls
may lead to invalid and/or inaccurate AP ACH payments.
Key Recommendations
The ASD management should review segregation of duties among creating/updating vendor
records, processing vendor invoices, and processing payments and evaluate risks associated
with conflicts. The ASD management should work with IT management to identify the ways to
improve segregation of duties and mitigate risks.
Until the segregation of duties conflicts are resolved, the ASD management should strengthen
mitigating controls over the AP payment process by ensuring that the controls are designed to
mitigate risks adequately and operating effectively. The City’s Policy and Procedures 1-06/
ASD, Payment Procedures should be updated to clearly define the controls and communicate
to the employees.
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Table of Contents
Executive Summary ........................................................................................................................................................... 2
Purpose of the Audit ..................................................................................................................................................... 2
Report Highlights ........................................................................................................................................................... 2
Introduction ......................................................................................................................................................................... 5
Objective........................................................................................................................................................................... 5
Background ..................................................................................................................................................................... 5
Scope................................................................................................................................................................................. 6
Methodology .................................................................................................................................................................... 7
Compliance Statement.................................................................................................................................................. 7
Organizational Strengths ............................................................................................................................................. 7
Detailed Analysis ............................................................................................................................................................... 8
Policies and Procedures .............................................................................................................................................. 8
User Security Awareness Training ............................................................................................................................ 8
Best Practices ................................................................................................................................................................. 9
Audit Results ..................................................................................................................................................................... 11
Finding 1: Electronic Payment Instructions ......................................................................................................... 11
Recommendation ......................................................................................................................................................... 11
Finding 2: ACH Payments .......................................................................................................................................... 12
Recommendation ......................................................................................................................................................... 13
Appendices ........................................................................................................................................................................ 14
Appendix A: Electronic Payments Process and Controls ................................................................................ 15
Appendix B: Management Response ..................................................................................................................... 16
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Introduction
1 ACH Costs are a Fraction of Check Costs for Businesses, AFP Survey Shows | Nacha
2022 AFP Payments Cost Benchmarking Survey (afponline.org)
Objective The objectives of this review were to:
1) Determine whether adequate controls are in place and working effectively to
ensure that all electronic payments are valid and properly processed in
compliance with City’s policies and procedures.
2) Determine whether end user security awareness training is sufficient to prevent
erroneous payments caused by phishing.
Background The City disburses its funds using electronic payments and paper checks. Electronic
payments consists of wire transfers and the Automated Clearing House (ACH)
payments. During the period between September 1, 2021, and March 15, 2022, the
City recorded 3.8K disbursement transactions totaling $430M in the general ledger
cash account. The charts below show the following:
• Wire transfers are only 4% of all disbursement transactions but 29% of total
disbursement amount.
• ACH payments processed by the Accounts Payable (AP) team for vendors
and employees are just 1% of all disbursement transactions, due to weekly
batch processing, but 11% of total disbursement amount.
ACH payments cost much less than checks, according to the 2022 Payment Cost
Benchmarking Survey 1. A cost for initiating a wire payment can vary widely and
generally higher than checks. Similarly, the City’s average costs per unit, not
including staff time and processing costs, are approximately $0.22, $0.07, and $4.02
for checks, ACH, and wires, respectively, based on the OCA’s calculation using the
Chart 1-A: Payment Methods by Transaction
Chart 1-B: Payment Methods by Amount
¹ ACH payments are processed in batches from one bank to another through the Automated Clearing
House (ACH) system and often used for payroll, vendor payments, recurring payments, etc.
² Wire payments are electronic interbank payments made through a wire system such as FedWire and
typically used for higher value, lower volume, time-sensitive transactions.
³ Automatic Withdraws include automatic bank transfers to the City’s three zero balance accounts and
other charges withdrawn such as bank and credit card fees based on agreements.
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2 Attachment A US Bank and Elavon Contract Extension Agreement and Related Documents (cityofpaloalto.org)
3 2021_IC3Report.pdf by Internet Crime Complaint Center (IC3) - IC3 receives complaints on cyber crimes from the American public and tracks the
trends and threats.
4 Suspected Business Email Compromise Ringleader Busted (bankinfosecurity.com)
estimated monthly unit volume shown in the existing banking and merchant services
agreement 2.
Electronic payments are more secure method of payments than checks as paper
checks are more susceptible to physical loss and check frauds such as forgery and
theft. However, no payment method is completely secure. According to the FBI’s
2021 Internet Crime Report 3, Business Email Compromise (BEC)/Email Account
Compromise (EAC) “is a sophisticated scam targeting both business and individual
performing transfers of funds” and “is frequently carried out when a subject
compromises legitimate business email accounts through social engineering or
computer intrusion techniques to conduct unauthorized transfers of funds.” This FBI’s
report states that BEC schemes are among the top incidents reported in 2021 and
resulted in almost 20K complaints with losses of nearly $2.4B in total (an increase
from approximately $1.8B in 2019). The report also shows California had the most
victims and losses (67K, $1.2B, respectively) among all states, American Territory,
and the District of Columbia.
There was a significant arrest in May 2021 when Interpol received the intelligence
from private sector partners including Unit 42 at Palo Alto Networks 4, but a threat of
BEC remains. In June 2021, the City became a victim of a BEC scam, resulting in a
wire payment of approximately $43K to a fraudster. This incident was identified in late
July 2021 when the legitimate vendor inquired about a payment they never received
from the City.
The City management subsequently reviewed the wire and ACH payments and
vendor record changes made between June 2021 and August 2021 and noted no
other similar incident. They also formalized an internal control to verbally confirm the
new and modified banking information with a payee to prevent similar incidents,
which, in August 2021, actually prevented a loss from a similar scheme called Vendor
Impersonation Fraud that is often used for public sector entities as the contracting
information is a public record.
Scope The original scope to review wire payments was changed to review electronic
payments that include both wire and ACH payments due to the similar risks against
ACH payments. The OCA’s review included the ACH and wire disbursement
processes by the AP and Treasury teams, banking information addition and
modification, and the user security awareness training to evaluate the design of
internal controls. Additionally, the OCA’s testing was conducted by reviewing the
selected transactions processed between September 1, 2021, and March 15, 2022,
to determine whether the controls are operating effectively.
The OCA reviewed the City employees’ access to the bank online portal during this
audit. However, for the access to the City’s SAP ERP system, the OCA’s recent
assessment results of the segregation of duties in the City’s SAP ERP system (Task
Order 4.3), was utilized. A review of cybersecurity risks is covered in a separate
cybersecurity audit that is already underway (Task Order 4.14).
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5 Government auditing standards require an external peer review at least once every three (3) years. The last peer review of the Palo
Alto Office of the City Auditor was conducted in 2017. The Palo Alto City Council approved a contract from October 2020 through
June 2022 with Baker Tilly US, LLP (Baker Tilly) and appointed Kyle O’Rourke, Senior Consulting Manager in Baker Tilly's Public Sector
practice, as City Auditor. Given the transition in the City Audit office, a peer review was not conducted in 2020 and will be conducted
after the third year of Baker Tilly’s contract.
Methodology To achieve the audit objectives, the OCA performed the following procedures:
• Reviewed the policies and procedures related to the ACH and wire payment
processing.
• Interviewed the appropriate individuals within the Administrative Services Division
(ASD), including the Treasury (for wires), Accounts Payable (for ACH payments),
and General Ledger teams, to discuss the process and controls for electronic
payments, including vendor record creation and modification.
• Reviewed the approvals and supporting documents for randomly selected samples
of electronic payments as well as new and modified vendor records.
• Reviewed the access and controls related to the bank online portal.
• Interviewed the key process owners of the electronic payment processes to
understand the security awareness training they received.
• Inquired with the Information Technology Department and the Human Resources
Department regarding the user security awareness training the City offers to the
employees.
• Reviewed the employees’ completion status of the latest user security awareness
training the City provided.
• Identified the best practices related to electronic payment processing to mitigate
risks of wire and ACH frauds.
Compliance
Statement
This audit activity was conducted from March 2022 to July 2022 in accordance with
generally accepted government auditing standards, except for the requirement of an
external peer review5. Those standards require that we plan and perform the audit to
obtain sufficient, appropriate evidence to provide a reasonable basis for our findings
and conclusions based on our audit objectives. We believe that the evidence
obtained provides a reasonable basis for our findings and conclusions based on our
audit objectives.
Organizational
Strengths
During this audit activity, we observed certain strengths of the City. Key strengths
include:
• Approvals of payments are well documented using e-signature software called
DocuSign
• Supporting documents are consistent and well organized
• The staff members are devoted and professional and were responsive to the
OCA’s questions and requests
The Office of the City Auditor greatly appreciates the support of the Administrative Services
Department in conducting this audit activity.
Thank you!
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Detailed Analysis
Policies and
Procedures
The City has the Policy and
Procedures 1-06/ ASD, Payment
Procedures (Revised: February
2007). The Policy Statement of this
policy is that the “functionality of
Accounts Payable is to ensure that
all payment requests are properly
authorized, accurately recorded
and promptly disbursed in
accordance with City policies and
contractual terms.”
The City’s nine-page Policy and
Procedures include the sections
shown in the box on this page. The
policy does not include the
following related processes and
controls:
• A verbal verification process of all new electronic payment instructions and
modifications that was formalized in August 2021
• The controls and requirements for ACH payments including the vendor
record creation and modification
• The controls and requirements for wire payments including the creation and
modification of wire templates for recurring payments and the situation where
free-form (non-recurring) wire payments are used
• The processes and controls for the bank online portal
There is also a six-page document titled “Internal Controls on Cash Disbursement
Cycle” that was updated in May 2021. This Cash Disbursement document contains
the similar sections as the City’s policy but provides additional descriptions of
procedures for payment requests and ACH payments.
The OCA documented an overview of the wire and ACH processes and controls,
based on the understanding obtained during this audit (Appendix A).
User Security
Awareness
Training
The City required all City employees to complete a cybersecurity awareness training
by November 25, 2020. This was the latest training provided by the Information
Technology (IT) and Human Resources (HR) departments, using a well-established,
leading vendor who provides the large library of security awareness training content
as well as a simulated phishing campaign tool. The training was delivered through
the City’s learning system managed by HR.
The employees’ completion status generated from the City’s learning system shows
that over 98% of all employees completed the training by December 31, 2020.
Although all 10 ASD employees who process electronic payments completed this
Policy and Procedures 1-06/ ASD*
Payment Procedures
Contents
A. Purchasing Authorization
B. Change Order Process
C. Routine Accounts Payable Payment Process
D. Department Approvals
E. Accounts Payable Editing and Posting
F. Check Printing, Reversal and Re-issuance,
and Wire Transfer
G. Year-end Accruals
H. Reconciliations
I. Quarterly sales tax reporting
* Administrative Services Department
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training, some of them did not complete by the due date set by HR. The City does
not require those 10 ASD employees to receive additional fraud training courses that
are more directly related to AP and cash disbursement. According to the AP and
Treasury teams, they share news and articles related to fraud incidents among team
members and have taken fraud-related training courses on their own.
Table 1: 2020 Security Awareness Training Completed in 2020-2022
Best Practices As people increasingly conduct business online and communicate digitally, fraud
attempts such as phishing are growing. Electronic payments are susceptible to fraud
schemes due to the speedy and irrevocable transaction. Fraudsters gather
information on target organizations, take advantage of a weak internal control
system, and take money from victims using compromised or impersonated methods.
Therefore, an effective internal control system is key to protect an organization from
becoming a victim of fraud schemes. Through researches around wire and ACH
frauds and best practices to prevent them, the OCA compiled the following best
practices.
Practices to guard against wire and ACH fraud
• Educate and train employees on fraud schemes to ensure they recognize red
flags and take appropriate actions such as:
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o Do not click on links and attachments in an unsolicited e-mail or text
message or respond to them before verifying the legitimacy.
o Cautiously inspect the e-mail address, URL, and spelling in a
message to identify the slightly modified address/URL.
o Be watchful if there is a sense of urgency.
o Do not use “reply” for e-mail communication. Instead, use “forward”
and add the correct e-mail address.
• Implement a verbal verification process that uses a phone number used
previously or obtained independently from the information provided in the
current request.
o Conduct an internet search or compare against reputable databases.
o Do not call a phone number provided with a request
o Use a script to verify both the existing account information and the
information to be changed.
• Process payments using dual control (two people authorization).
• Work with the IT department to ensure that appropriate cybersecurity
controls are implemented.
• Review the insurance policy for an appropriate coverage of financial losses
due to cybersecurity fraud.
• Periodically review all control procedures to keep them current and relevant
to current threats.
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Audit Results
Finding 1:
Electronic
Payment
Instructions
In August 2021, the ASD management implemented an internal control by
formalizing the existing verbal verification process of all new electronic payment
instructions and modifications. The formalized verification process involves the
following steps:
1) Calling a phone number independently obtained from the sources such as
the signed original instructions and the company website
2) Confirming the banking and relevant information
3) Writing down on the new or modified instructions the name of an individual
who confirmed, date, the information verified, and the initials of the staff
member who performed the verification.
This is an important control to prevent wire and ACH fraud, as noted in the Best
Practices section of this report. However, the City’s Policy and Procedures 1-06/
ASD, Payment Procedures, has not been revised to include the new requirement.
Between September 1, 2021, and March 15, 2022, ASD had two new or modified
wire templates (the payee banking information stored in the bank online portal) for
the payees with recurring wire payments. ASD also added or changed records for
2,057 vendors, 32 of which had new or modified ACH banking information. The
OCA reviewed the supporting documents and approvals for two wire templates and
10 randomly selected vendors for ACH and noted the following:
• The City receives a request to update various payee information such as tax
number, payment method, and name. The current practice is that not all
changes require documentation of the verbal verification performed. Only
the verbal verification of the changes to the banking information is
documented, which should be defined in the policy.
• AP Senior Accountant runs a "display changes to vendor" report and review
banking changes listed in the report prior to approving a weekly ACH batch.
However, a supervisory review of changes made in the system is not
documented, or a report used for a supervisory review is not included in the
ACH payment packet that AP Senior Accountant signs off on. Therefore, the
control activity performed is not documented to evidence a review of
changes made to vendor records. This review is not currently included in the
policy.
An independent person who did not enter the information in the system should
review the vendor record added or changed in the system using the supporting
documents for validity and accuracy. The review should be evidenced as defined in
the policy. In the absence of control activities and requirements defined in the
policy, the City cannot ensure that key internal controls are implemented properly
and operate effectively.
Recommendation The ASD management should review and update the City’s Policy and Procedures
1-06/ ASD, Payment Procedures, to ensure that an adequate internal control
system is in place to mitigate a risk of potential loss resulting from wire and ACH
frauds. The control activities and requirements should be clearly defined and
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communicated to employees to ensure that controls are implemented properly and
executed effectively.
The ASD management should also train the appropriate employees on the required
control activities to ensure that they execute the controls properly. Additionally, the
ASD management should implement a mechanism (such as periodic meetings,
training, e-mail communications, etc.) that is a little more proactive than the current
practice to keep appropriate employees informed on wire and ACH fraud schemes
and trends in addition to the user security awareness training provided by the City.
Finding 2: ACH
Payments
There are three employees in the ASD AP team. The OCA noted that all three AP
team members have access to post invoices and process payments in the SAP
ERP system and in the bank online portal. The access allows the employees to
update the vendor records in the SAP ERP system as well. The AP segregation of
duties issue was reported in the ERP Planning: Separation of Duties audit report
dated October 17, 2018. Recently, the SAP Functionality and Internal Control
Assessment revealed that:
1) “Process Vendor Invoices” and “AP Payments” are the two of three
processes with the most conflicts out of 12 business processes that are part
of the SAP Finance and Accounting (FI) module
2) “AP Payments and Process Vendor Invoices” is one of top 10 SAP FI
conflicts.
Because of the existing conflicts, effective operation of mitigating controls is
important to ensure that all electronic payments are valid and properly processed.
The mitigating control currently in place is dual authentication of ACH payment
batches and bank transactions in the bank online portal.
Between September 1, 2021, and March 15, 2022, ASD AP team processed 31
weekly ACH batches totaling approximately $45M. The OCA reviewed approvals for
10 ACH batches and the supporting documents for 25 individual ACH payments
selected from those 10 batches.
Each ACH batch payment packet is signed by the following three individuals using
DocuSign:
• Preparer (AP Account Specialist) who creates the batch file in the SAP ERP
system, assembles a payment packet containing the supporting documents
approved by the applicable departments for the batch, and uploads the
batch file to the bank online portal
• First Approver (AP Senior Accountant) who reviews and approves a
payment packet and approves the uploaded batch file in the bank online
portal
• Second Approver (Treasury Manager) who reviews and approves a payment
packet
Then OCA compared the bank information in the SAP ERP system to the bank
information shown in the supporting documents. For one of 25 ACH payments
reviewed, the actual ACH bank account number used for the payment was different
from the ACH bank account number shown on the vendor invoice. This discrepancy
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was not identified during the payment process, and the payment was made to an
incorrect account. There was no financial loss since the bank returned the payment
that was made to the closed account, and the City was able to issue a check to the
vendor. However, if the wrong account had not been closed, the error would have
gone unnoticed without the vendor’s notification. The control to prevent erroneous
payments did not operate effectively for this payment although all supporting
documents and approvals were well documented. The quality and effectiveness of
independent reviews are especially crucial due to the segregation of duties issue as
noted above. The ineffective execution of internal control (a thorough review to
detect errors and irregularities) may result in erroneous payments, financial loss,
and/or inefficient use of resources.
The ACH payments are made from the bank online portal. The access to this
account is limited but all three AP team members can initiate and approve ACH
payment batches. According to Manager of Treasury, Debt, Investment, he set the
dual authorization requirement in the account setting in the bank online portal
around October 2018 so that the same individual cannot approve the transaction
he/she initiated. The OCA determined that the application control requiring dual
authorization currently in place. The names of the individuals who initiated and
approved each ACH batch are listed in the ACH Audit Report and ACH Daily Batch
Detail. However, these audit trails are available in the portal only for a month unless
a report is generated and saved offline by a user. As the City currently does not
require the employees to save the reports, the audit trails evidencing that the dual
authorization control is working effectively are not maintained. It took a week for the
City to receive the information after submitting a request to the bank’s customer
service department. Audit trails are detailed records of financial transactions and
are used to verify and track transactions. It is necessary for the City to maintain a
complete audit trail to be able to trace back any irregularities and investigate them
when they happen.
Although the mitigating controls such as secondary approver, dual authorization,
and bank account reconciliation are in place, ineffective execution of any of the key
mitigating controls may lead to invalid and/or inaccurate AP ACH payments.
Recommendation The ASD management should review segregation of duties among
creating/updating vendor records, processing vendor invoices, and processing
payments and evaluate risks associated with conflicts. The ASD management
should work with IT to identify the ways to improve segregation of duties and
mitigate risks.
Until the segregation of duties conflicts are resolved, the ASD management should
strengthen mitigating controls over the AP payment process by ensuring that the
controls are designed to mitigate risks adequately and operating effectively. The
City’s Policy and Procedures 1-06/ ASD, Payment Procedures should be updated to
clearly define the controls and communicate to the employees.
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Appendices
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Appendix A: Electronic Payments Process and Controls
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Appendix B: Management Response
Recommendation Responsible
Department(s)
Agree, Partially Agree, or Do Not Agree and Target Date and Corrective Action
Plan
Finding: Electronic Payment Instructions
The ASD management should review and update the City’s Policy and
Procedures 1-06/ ASD, Payment Procedures, to ensure that an
adequate internal control system is in place to mitigate a risk of
potential loss resulting from wire and ACH frauds. The control
activities and requirements should be clearly defined and
communicated to employees to ensure that controls are implemented
properly and executed effectively.
Administrative
Services
Concurrence: Agree
Target Date: February 2023
Completion Date: February 22, 2023
Action Plan: ASD has drafted revisions to Policy and Procedures 1-
06/ASD, Payment Procedures to align the policy document with staff’s
current practices for electronic payments through ACH and wire
transfer. Controls already in practice and added to the updated policy
include:
ACH Payments
• AP staff verbally confirms bank information on the ACH
enrollment form by calling an independently obtained phone
number from the company website and/or master vendor
record in SAP.
• ACH batches are signed by three individuals before the batch is
processed: preparer (A/P Accounting Specialist); first approver
(A/P Senior Accountant); and second approver (Manager,
Treasury, Debt & Investments).
Wire Transfers
• The Manager, Treasury, Debt & Investments, confirms bank
information from the ACH enrollment form by calling an
independently obtain phone number from the company
website and/or master vendor record in SAP.
• Wire transactions are entered in U.S. Bank’s online portal. The
wire is initiated by the Manager, Treasury, Debt & Investments;
a second approval is required to execute the wire.
The revised policy was distributed to City employees in February 2023.
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The ASD management should also train the appropriate employees on
the required control activities to ensure that they execute the controls
properly. Additionally, the ASD management should implement a
mechanism (such as periodic meetings, training, e-mail
communications, etc.) that is a little more proactive than the current
practice to keep appropriate employees informed on wire and ACH
fraud schemes and trends in addition to the user security awareness
training provided by the City.
Administrative
Services
Concurrence: Partially Agree
Target Date: March 2023
Completion Date: To be determined during the OCA’s follow-up review
Action Plan: Key ASD employees (Finance Manager; AP Senior
Accountant, Manager; Treasury, Debt & Investments; and Assistant
Director, ASD) stay current control environment and activities through
continuing education requirements, government association training
opportunities, and news articles on the subject. ASD staff are members
of the Government Finance Officers Association and the California
Society of Municipal Finance Offers and have access to email
distribution lists and discussion groups on these topics. As discussed in
Management’s Response, Policy and Procedures 1-06/ASD, Payment
Procedures has been revised to the City’s practice of verbally
confirming payment information through contact information that is
independently obtained through the company’s website or the vendor
record in SAP; this is a control activity best practice implemented by
staff as a result of cybersecurity and control environment training.
In addition, the City requires cyber security training biennially. Key ASD
Staff will continue to actively pursue training opportunities to remain
informed of new control environment practices, fraud schemes, and
user security awareness.
Finding: ACH Payments
The ASD management should review segregation of duties among
creating/updating vendor records, processing vendor invoices, and
processing payments and evaluate risks associated with conflicts. The
ASD management should work with IT to identify the ways to improve
segregation of duties and mitigate risks.
Administrative
Services
Concurrence: Partially Agree
Target Date: March 2023
Completion Date: To be determined during the OCA’s follow-up review
Action Plan: As noted previously, ASD has revised Policy and
Procedures 1-06/ASD, Payment Procedures to describe mitigating
controls that ASD has in place over ACH and wire payments. ASD is
aware of the system configuration in the ERP and has implemented
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internal controls to mitigate the risk the system configuration could
present. Staff continually to reviews segregation of duties and the
internal control structure that is in place with the goal of maximizing
use of staff resource and balancing with risk mitigation.
Staff agrees that a technology solution to improve segregation of duties
is ideal. As part of phase two of the ERP upgrade, staff will evaluate the
cost benefit of system configuration modifications.
Until the segregation of duties conflicts in the City’s ERP system are
resolved, the ASD management should strengthen mitigating controls
over the AP payment process by ensuring that the controls are
designed to mitigate risks adequately and operating effectively. The
City’s Policy and Procedures 1-06/ ASD, Payment Procedures should be
updated to clearly define the controls and communicate to the
employees.
Administrative
Services
Concurrence: Partially Agree
Target Date: February 2023
Completion Date: February 22, 2023
Action Plan: Staff agrees that updates to the City’s Policy and
Procedures 1-06/ASD, Payment Procedures will provide clear
communication to employees and memorialize the control practices
already in place. As listed below, segregation of duties and mitigating
control practices exist in the ACH and wire payment process, and
updates to 1-06/ASD, Payment Procedures, will ensure clear definition
of these controls. Staff believes that the following controls are designed
to mitigate risk effectively and operate effectively:
• Verbally confirm vendor banking information through
independently obtained contact information and/or the master
vendor record in SAP.
• Invoices cannot be parked and posted by the same AP
employee. In addition, invoices cannot be parked and process
by the same AP employee
• Although all three AP employees can post and process ACH
batch payments, this control risk it mitigated by requiring three
approvers to process the payment. The third approver,
Manager, Treasury, Debt & Investments, has no authorization
to park, post, or process payments. Independent review of all
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ACH payments is done by verifying the vendor, dollar amount,
and authorized signature(s).
• The AP Senior Accountant reviews banking changes made in the
SAP system before approving ACH batch. Documentation of
these banking changes began in May 2022.
• The ACH batch cannot be uploaded and approved by the same
person in the City’s bank online portal (U.S. Bank).
• AP staff do not have authority to enter goods receipts in SAP
(MIGO). Goods receipt is required for all PO related payments.
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Policy & Services Committee
Staff Report
From: City Manager
Report Type: ACTION ITEMS
Lead Department: City Manager
Meeting Date: April 26, 2023
Report #:2304-1249
TITLE
City Council Referral to Discuss and Recommend Council Protocols on International Travel and
other City Council referrals related to the City Council Procedures and Protocols.
RECOMMENDATION
Staff recommends that the Policy and Services Committee discuss the referral from the City
Council related to City Council international travel and make a recommendation to the Council
for inclusion in the City Council Procedures and Protocols Handbook. If time allows, the
Committee can also discuss any other referral related to the City Council Procedures and
Protocols Handbook.
BACKGROUND AND ANALYSIS
The City Council discussed the City Council Procedures and Protocols Handbook on January 30
and March 20, 2023 and referred a few discussion topics to the Policy and Services Committee.
The referrals included the following:
1. Procedures Section 1.1: Annual Organization of City Council
2. Procedures Section 5.1a(4): Video Participation for Public Comment. As an alternative,
staff included text in the revised Handbook to simply note that if feasible this will be
implemented. If Council is not satisfied with this clause, this text can be deleted and the
item fully evaluated at committee.
3. Procedures Section 8.2: Censure language was referred to committee for review.
4. Protocols Section 2.2: Refrain from Lobbying Board and Commission Members.
5. Protocols Section 2.8: The Role of Council Liaison to Boards or Commissions. Council
recommended involving the Board/Commission Chairs in this process.
6. Protocols Section 4: International Travel
7. Protocols Section 4.1: Miscellaneous Expenditures. Council referral for the committee to
discuss the establishment of appropriate parameters for Council discretionary
expenditures and whether to allocate $2,000 annually from the Council contingency
fund for each Council member to decide its purpose.
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These topics will be scheduled throughout the year at the Committee to balance workload. The
first topic is highlighting for Committee discussion is: Councilmember international travel. If
time allows, the Committee can discuss any other of the referral topics listed above. Regarding
Council member international travel, the Council asked the Committee to consider this topic
especially with the following sub-questions:
•Should Councilmember international travel be approved for reimbursement.
•Should certain international travel expenses for the Mayor or Councilmembers
related to Sister Cities be covered by the City.
Additionally, Neighbors Abroad, the nonprofit organization that engages with the City‘s Sister
Cities on behalf on the City of Palo Alto, has raised a question related to expenses for
Sister/Sibling City visits. Often when Palo Alto has a delegation visiting a Sister/Sibling City, the
Sister/Sibling Cities will arrange for expenses to be covered for the delegations airport
transportation to the actual Sister/Sibling City (not the flight itself) and sometimes for other
expenses throughout the visit (such as meals or hotel stay). When delegations visit Palo Alto,
the City and Neighbors Abroad typically only fund expenses related to organized meals and will
sometimes arrange for travel to and from meetings in and around Palo Alto.
Historically, most Sister/Sibling Cities have not asked about reciprocity for their visits (asking
Palo Alto to cover a comparable amount of expenses during delegation visits to Palo Alto).
However, this topic has come up more recently and discussion of international travel protocols
provides an opportunity to clarify expectations of City expenditures for Sister/Sibling City
delegation visits to Palo Alto. The Committee may wish to consider recommending the
establishment of clear expectations around what expenses will be covered by Palo Alto for
visiting Sister/Sibling City delegations, what frequency will they be covered (e.g., annually or
every 5 years), and which delegates will be covered (e.g., a number but not the entire
delegation). The expenses in question include to hotel/lodging and transportation, but
discussion could extend to meals and other expenses. The Committee can recommend a policy
to the City Council for the Handbook that includes what to cover and a source of funds for
those expenses.
FISCAL/RESOURCE IMPACT
Depending on the recommendations from the Policy and Services Committee, there could be
the need to increase the City Council travel budget. Staff will be able to assess the costs based
on the Committee recommendation. Currently the Council also has a $125,000 annual
contingent account that could be recommended for these ad hoc purposes.
STAKEHOLDER ENGAGEMENT
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The City Council began this discussion related to the travel section of the Handbook on March
20, 2023. Staff reached out to Neighbors Abroad since that time. No additional engagement has
been done to date.
ENVIRONMENTAL REVIEW
This is not a project.
APPROVED BY:
Chantal Cotton Gaines, Deputy City Manager
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