HomeMy WebLinkAbout1470 ReuvennyIn Re: Debra Reuvenny,
Respondent
File Docket:
X -ref:
Date Decided:
Date Mailed:
Before: Louis W. Fryman, Chair
John J. Bolger, Vice Chair
Donald M. McCurdy
Paul M. Henry
Raquel K. Bergen
Nicholas A. Colafella
07 -031
Order No. 1470
7/21/08
8/5/08
This is a final adjudication of the State Ethics Commission.
Procedurally, the Investigative Division of the State Ethics Commission conducted
an investigation regarding possible violation(s) of the Public Official and Employee Ethics
Act ( "Ethics Act "), 65 Pa.C.S. § 1101 et seq., by the above -named Respondent. At the
commencement of its investigation, the Investigative Division served upon Respondent
written notice of the specific allegations. Upon completion of its investigation, the
Investigative Division issued and served upon Respondent a Findings Report identified as
an "Investigative Complaint." An Answer was filed and a hearing was requested. A
Stipulation of Findings and a Consent Agreement waiving an evidentiary hearing were
subsequently submitted by the parties to the Commission for consideration. The
Stipulated Findings are set forth as the Findings in this Order. The Consent Agreement
has been approved.
This adjudication of the State Ethics Commission is issued under the Ethics Act and
will be made available as a public document thirty days after the mailing date noted above.
However, reconsideration may be requested. Any reconsideration request must be
received at this Commission within thirty days of the mailing date and must include a
detailed explanation of the reasons as to why reconsideration should be granted in
conformity with 51 Pa. Code § 21.29(b). A request for reconsideration will not affect the
finality of this adjudication but will defer its public release pending action on the request by
the Commission.
The files in this case will remain confidential in accordance with the Ethics Act.
Reuvenny, 07 -031
Page 2
I. ALLEGATIONS:
That Debra Reuvenny, a public official /public employee in her capacity as Director
of Early Childhood Education of the Harrisburg School District, violated Sections 1104(a),
1104(d), and 1105(a) of the State Ethics Act (Act 93 of 1998), 65 Pa.C.S. § §1104(a),
1104(d), and 1105(a) when she failed to file a Statement of Financial Interests for the 2004
calendar year, and when she subsequently backdated the form to give the impression that
the form [was] timely filed.
II. FINDINGS:
1. Debra Reuvenny has been employed by the Harrisburg City School District as the
Director of Early Childhood Education since approximately April 2003.
2. As Director of Early Childhood Education, Reuvenny has [a] job description
outlining ... duties and responsibilities, some of [which] duties are listed below:
a. Professional development for caregivers working in community -based
childcare centers.
b. Education for infants and toddlers.
c. Oversee implementation of social /emotional learning curriculum.
3. As Director of Early Childhood Education, Reuvenny is annually required to file a
Statement of Financial Interests form by May 1 containing information for the prior
calendar year.
4. Statement of Financial Interests (SFI) forms filed by officials and employees of the
Harrisburg School District are required to be maintained by Board Secretary Julie
Ann Mackey.
a. As Board Secretary, Mackey is responsible for maintaining completed
Statement of Financial Interests forms filed by officials and employees of the
Harrisburg School District.
5. Once forms were received by the district, according to Julie Anne Mackey, she
distributed SFIs by interoffice mail or for employees working within the main office
building, she would put the form in their mail basket.
a.
b.
Mackey would mail blank forms for completion to former district officials and
employees.
Mackey also would generally send reminder notices out in the same fashion.
6. On March 8, 2005, correspondence was sent to Gerald Kohn, Superintendent,
Harrisburg School District, 2102 North Front Street, Building 2, Harrisburg, PA
17110, from the State Ethics Commission requesting copies of all Statements of
Financial Interests on file for calendar years 2000, 2001, 2002 and 2003.
a. This letter was sent to Superintendent Kohn via first class mail through the
United States Postal Service and not to the other officials from the
Harrisburg City School District.
7 No response was received by the State Ethics Commission from Superintendent
Kohn.
Reuvenny, 07 -031
Page 3
a. Mackey advised the State Ethics Commission representatives that the March
8, 2005, letter was never received by the Harrisburg School District.
8. Due to the lack of response, Investigators from the State Ethics Commission (SEC)
were physically dispatched to obtain SFIs from the Harrisburg School District.
a. On October 23, 2006, SEC Investigators obtained Statement of Financial
Interests forms filed with the Harrisburg City School District from Christine
Anderson, Administrative Assistant, Superintendent's Office.
b. Anderson photocopied all SFIs which could be located in Mackey's office.
9. On October 27, 2006, Mackey submitted additional copies of SFIs for calendar
years 2000, 2001, 2002, 2003 and 2004 to the State Ethics Commission.
10. Between September 25, 2006, and October 23, 2006, Mackey met with Kohn to
discuss the September 25, 2006, letter from the State Ethics Commission.
a. Mackey advised Kohn that the district files were missing completed
Statement of Financial Interests forms for district officials and employees for
various calendar years, including 2003, 2004 and 2005.
b. Mackey informed Kohn that upper level district employees, including
Reuvenny, did not have completed SFI forms on file in the board secretary's
office.
c. Mackey advised Kohn that she believed that the SFI forms may have been
timely filed but were now missing.
11. Reuvenny asserts that she timely filed SFIs, with Mackey, for 2004.
12. Between September 25, 2006, and October 23, 2006, Superintendent Kohn and
Mackey discussed ways in which statements not on file could be provided to the
Ethics Commission.
a. According to Mackey, Kohn directed Mackey to "replace and restore" the
missing SFIs.
b. Kohn asserts that he was under the belief that the State Ethics Commission
wanted the forms filed as they would have originally appeared.
c. Kohn asserts that he formed this belief as a result of conversations with
Mackey and the belief that Mackey had been told such by the State Ethics
Commission.
13. To comply with Superintendent Kohn's directive, Mackey obtained blank SFI forms
which contained a revision date of SEC -1 Rev. 1/06 to distribute to select district
administrators.
a. Mackey selected the district administrators to whom she distributed
replacement forms.
14. Mackey used white -out to cover over the revision date on the SEC -1 Rev. 1/06
form.
a. Mackey covered the 2006 revision date because forms for the 2003 and
2004 calendar years would not contain that revision date.
Reuvenny, 07 -031
Page 4
b. Mackey then photocopied the white -out version of the form prior to
distribution to district officials and employees.
15. Reuvenny was not involved in the activities described in paragraphs six (6) through
fourteen (14).
16. Mackey distributed copies of SFIs with the SEC -1 Rev. 1/06 revision date whited
out to the following district officials.
a. Debra Ferguson, Curriculum Director
Barbara Ford, Assistant Business Administrator
William Gretton, Assistant Superintendent of Business Affairs
Robert Hilinski, Director of Information
Stewart Kermes, Director of Alternative Education
Debra Reuvenny, Director of Early Childhood Development
Gail Tapper, Assistant Superintendent
Mark Holman, Director of Human Resources
b. Forms were not given to either Superintendent Kohn or Deputy
Superintendent Julie Botel.
1. Mackey filled out forms on their behalf.
c. Forms were distributed to these district employees /officials to complete for
the 2003, 2004 and /or 2005 calendar years, depending upon what was
missing for a particular employee.
17. Statements of Financial Interests forms for Reuvenny provided to the State Ethics
Commission for calendar year 2004 included the following:
a. Calendar Year 2004
Form - SEC Form information whited out
Date Listed as Being Filed: 02/15/05
Position: Director of Early Childhood Education
Creditors: None
Direct /Indirect Income: Harrisburg School District
All other financial Interests: None
b. The form listed a Superintendent's Office date stamp of 02/15/05 to give the
appearance of a timely filing.
c. The above filing was on a form with a revision date of 1/06.
18. Reuvenny's SFI filing for calendar year 2004 was on an SFI form for calendar year
2005 with the (SEC -1 Rev. 1/06) whited out.
a. This form was not distributed to the school district until December 19, 2005.
b. Reuvenny completed her calendar year 2004 filing after the May 1, 2005,
filing deadline, while Mackey backdated the date stamp to reflect a filing date
of February 15, 2005.
c. Reuvenny signed the form.
19. Although Mackey whited out the revision date on the replacement form, the form
contained other unique revisions that identified it as the form printed and distributed
Reuvenny, 07 -031
Page 5
for 2006 (SEC -1 Rev. 1/06).
20. Reuvenny asserts that she was told by Mackey that the forms were to be replicated
to appear as they would have appeared at the time they were originally required to
be filed.
III. DISCUSSION:
As Director of Early Childhood Education for the Harrisburg School District since
approximately April 2003, Debra Reuvenny (hereinafter also referred to as "Respondent,"
"Respondent Reuvenny," or "Reuvenny ") has been a public official /public employee
subject to the provisions of the Public Official and Employee Ethics Act ( "Ethics Act "), 65
Pa. C. S. § 1101 et seq.
The allegations are that Reuvenny violated Sections 1104(a), 1104(d), and 1105(a)
of the Ethics Act when she failed to file a Statement of Financial Interests for the 2004
calendar year, and when she subsequently backdated the form to give the impression that
the form was timely filed.
Section 1104(a) of the Ethics Act provides that each public official /public employee
must file a Statement of Financial Interests for the preceding calendar year, each year that
he holds the position and the year after he leaves it.
Section 1104(d) of the Ethics Act provides that no public official shall be allowed to
take the oath of office, enter or continue upon his duties, or receive compensation from
public funds unless he has filed a Statement of Financial Interests as required by the
Ethics Act.
Section 1105(a) of the Ethics Act provides that the Statement of Financial Interests
shall be filed on the form prescribed by this Commission; that all information requested on
the form shall be provided to the best of the knowledge, information and belief of the filer;
and that the form shall be signed under oath or equivalent affirmation.
As noted above, the parties have submitted a Consent Agreement and Stipulation of
Findings. The parties' Stipulated Findings are set forth above as the Findings of this
Commission. We shall now summarize the relevant facts as contained therein.
Since approximately April 2003, Respondent Reuvenny has been employed by the
Harrisburg School District ( "School District ") as the Director of Early Childhood Education.
Pursuant to Section 1104(a) of the Ethics Act, Reuvenny, as the School District's Director
of Early Childhood Education, is required to annually file a Statement of Financial Interests
(SFI) form by May 1 containing information for the prior calendar year.
SFIs filed by School District officials and employees are maintained by Board
Secretary Julie Ann Mackey ( "Mackey "). Reuvenny asserts that she timely filed SFI(s) with
Mackey for 2004.
On March 8, 2005, a Division of this Commission issued correspondence via first
class mail through the United States Postal Service to Gerald Kohn, Superintendent of the
School District, requesting copies of all SFIs on file for calendar years 2000, 2001, 2002
and 2003. No response to the March 8, 2005, letter was received from Superintendent
Kohn. Mackey advised Commission representatives that the aforesaid March 8, 2005,
letter was never received by the School District.
On October 23, 2006, Investigators from the Investigative Division of this
Commission obtained SFI forms filed with the School District from Christine Anderson, an
Administrative Assistant in the Superintendent's Office. Anderson photocopied all SFIs
Reuvenny, 07 -031
Page 6
that could be located in Mackey's office.
On October 27, 2006, Mackey submitted additional copies of SFIs for calendar
years 2000, 2001, 2002, 2003 and 2004 to this Commission.
Between September 25, 2006, and October 23, 2006, Mackey advised Kohn that
the School District files were missing completed SFI forms for School District officials and
employees for various calendar years, including 2003, 2004 and 2005. Mackey informed
Kohn that upper level School District employees, including Reuvenny, did not have
completed SFI forms on file in the Board Secretary's office. Mackey advised Kohn that she
believed that the SFI forms might have been timely filed but were missing. Superintendent
Kohn and Mackey discussed ways in which SFIs not on file could be provided to the Ethics
Commission. According to Mackey, Kohn directed Mackey to "replace and restore" the
missing SFIs. Kohn asserts that he was under the belief that the State Ethics Commission
wanted the forms filed as they would have originally appeared. Kohn asserts that he
formed this belief as a result of conversations with Mackey and the belief that Mackey had
been told such by the State Ethics Commission.
To comply with Superintendent Kohn's directive, Mackey obtained blank SFI forms
which contained a revision date of "SEC -1 Rev. 1/06" to distribute to various School
District administrators. Mackey used "white -out" to cover over the revision date on the
SEC -1 Rev. 1/06 form. Mackey covered the 2006 revision date because forms for the 2003
and 2004 calendar years would not have contained that revision date. (The form with the
2006 revision date was not distributed to the School District until December 19, 2005 —well
after the May 1, 2005, filing deadline for calendar year 2004 forms.) Mackey then
photocopied the white -out version of the form and distributed copies to School District
officials /employees including Respondent.
The SFI form for Reuvenny that was provided to this Commission for calendar year
2004 listed the date of filing as February 15, 2005. The form included a Superintendent's
Office date stamp of 02/15/05 to give the appearance of a timely filing. The filing was on
the SFI form used for calendar year 2005, but with the 2006 revision date whited out.
Reuvenny completed the aforesaid calendar year 2004 SFI in late 2006, after the May 1,
2005, filing deadline. Mackey backdated the date stamp to reflect a filing date of February
15, 2005. Reuvenny signed the form.
Reuvenny asserts that she was told by Mackey that the forms were to be replicated
to appear as they would have appeared at the time they were originally required to be
filed.
Having highlighted the Stipulated Findings and issues before us, we shall now apply
the Ethics Act to determine the proper disposition of this case.
The parties' Consent Agreement sets forth a proposed resolution of the allegations
as follows:
3. The Investigative Division will recommend the following in relation to
the above allegations:
a. That an unintentional violation of Section 1104(a) of the
Public Official and Employee Ethics Act, 65 Pa.C.S.
§1104(a) occurred when a Statement of Financial
Interests was not on file for Reuvenny.
b. That an unintentional violation of Section 1104(a) of the
Public Official and Employee Ethics Act, 65 Pa.C.S.
§1104(a) occurred when Reuvenny signed, in
Reuvenny, 07 -031
Page 7
compliance with purported instructions from the School
District Secretary, Statements of Financial Interests for
the 2004 calendar year with a date representing the
time period when the form, as Reuvenny asserts was
previously filed, should have been filed rather than
when it was actually filed.
4. Reuvenny agrees to file an accurate and complete Statement of
Financial Interests for calendar year 2004, if such has not already
been done, within thirty (30) days of the date of the issuance of the
final adjudication of the matter. Copies of such forms must also be
forwarded to the State Ethics Commission.
5. The Investigative Division will recommend that the State Ethics
Commission take no further action in this matter; and make no
specific recommendations to any law enforcement or other authority
to take action in this matter. Such, however, does not prohibit the
Commission from initiating appropriate enforcement actions in the
event of Respondent's failure to comply with this agreement or the
Commission's order or cooperating with any other authority who may
so choose to review this matter further.
Consent Agreement, at 1 -2.
We shall first consider the parties' recommendation that this Commission find that
an unintentional violation of Section 1104(a) of the Ethics Act occurred when an SFI was
not on file for Reuvenny.
As the School District's Director of Early Childhood Education, Reuvenny is required
to annually file with the School District an SFI form by May 1 containing information for the
prior calendar year. By law, SFIs are public records and are kept on file for five (5) years
from the date of filing. 65 Pa.C.S. § 1107(9). At or about September- October 2006, there
was no SFI form on file with the School District for Reuvenny for calendar year 2004.
Although intent is not a requisite element of a violation of the Ethics Act, see,
Yocabet v. State Ethics Commission, 531 A.2d 536 (Pa. Cmwlth. 1987), it would appear
that the aforesaid violation was unintentional.
Accordingly, we hold that an unintentional violation of Section 1104(a) of the Ethics
Act occurred when an SFI was not on file with the School District for Reuvenny for
calendar year 2004.
The parties have additionally recommended that this Commission find that an
unintentional violation of Section 1104(a) of the Ethics Act occurred when Reuvenny
signed, in compliance with purported instructions from the School District Secretary, SFI(s)
for the 2004 calendar year with a date representing the time period when the form - -which
Reuvenny asserts was previously filed -- should have been filed rather than when it was
actually filed.
Per the Stipulated Fact Findings, the SFI form for Reuvenny that was provided to
this Commission for calendar year 2004 was completed and filed in late 2006. It was
backdated as having been filed with and received by the Superintendent's Office on
February 15, 2005, to give the appearance of a timely filing. Reuvenny asserts that she
was told by Mackey that the forms were to be replicated to appear as they would have
appeared at the time they were originally required to be filed. Reuvenny signed the form
with the inaccurate date. Mackey backdated the date stamp.
Reuvenny, 07 -031
Page 8
Accordingly, we hold that an unintentional violation of Section 1104(a) of the Ethics
Act occurred when Reuvenny signed, in compliance with purported instructions from the
School District Secretary, SFI(s) for the 2004 calendar year with a date representing the
time period when the form - -which Reuvenny asserts was previously filed -- should have
been filed rather than when it was actually filed.
As part of the Consent Agreement, Reuvenny has agreed to file an accurate and
complete SFI for calendar year 2004, if such has not already been done, within thirty (30)
days of the date of the issuance of the final adjudication of this matter. Reuvenny has
agreed to provide copies of such form(s) to this Commission.
As for the portions of the allegations involving Section 1104(d) and Section 1105(a)
of the Ethics Act, it appears that the Investigative Division in the exercise of its
prosecutorial discretion has elected to non pros those allegations.
We determine that the Consent Agreement submitted by the parties sets forth the
proper disposition for this case, based upon our review as reflected in the above analysis
and the totality of the facts and circumstances. Accordingly, to the extent Reuvenny has
not already done so, Reuvenny is directed to file an accurate and complete SFI for
calendar year 2004 with the School District within thirty (30) days of the date of the
issuance of this adjudication and Order, with a copy of such filing forwarded to this
Commission for compliance verification purposes. Reuvenny is instructed that the SFI is to
be dated with the date Reuvenny actually files it, not the date by which the original form
should have been filed or the date any other forms were filed.
Compliance with the foregoing will result in the closing of this case with no further
action by this Commission. Noncompliance will result in the institution of an order
enforcement action.
IV. CONCLUSIONS OF LAW:
1. As Director of Early Childhood Education for the Harrisburg School District ( "School
District ") since approximately April 2003, Debra Reuvenny ( "Reuvenny ") has been a
public official /public employee subject to the provisions of the Public Official and
Employee Ethics Act ( "Ethics Act "), 65 Pa.C.S. § 1101 et seq.
2. An unintentional violation of Section 1104(a) of the Ethics Act occurred when a
Statement of Financial Interests ( "SFI ") was not on file with the School District for
Reuvenny for calendar year 2004.
3. An unintentional violation of Section 1104(a) of the Ethics Act occurred when
Reuvenny signed, in compliance with purported instructions from the School District
Secretary, SFI(s) for the 2004 calendar year with a date representing the time
period when the form - -which Reuvenny asserts was previously filed -- should have
been filed rather than when it was actually filed.
In Re: Debra Reuvenny,
Respondent
ORDER NO. 1470
File Docket: 07 -031
Date Decided: 7/21/08
Date Mailed: 8/5/08
1 An unintentional violation of Section 1104(a) of the Public Official and Employee
Ethics Act ( "Ethics Act "), 65 Pa.C.S. § 1104(a), occurred when a Statement of
Financial Interests ( "SFI ") for calendar year 2004 was not on file with the Harrisburg
School District ( "School District ") for Debra Reuvenny ( "Reuvenny "), Director of
Early Childhood Education for the School District.
2. An unintentional violation of Section 1104(a) of the Ethics Act occurred when
Reuvenny signed, in compliance with purported instructions from the School District
Secretary, SFI(s) for the 2004 calendar year with a date representing the time
period when the form - -which Reuvenny asserts was previously filed -- should have
been filed rather than when it was actually filed.
3. Per the Consent Agreement of the parties, to the extent Reuvenny has not already
done so, Reuvenny is directed to file an accurate and complete SFI for calendar
year 2004 with the School District within thirty (30) days of the date of the issuance
of this Order, with a copy of such filing forwarded to this Commission for compliance
verification purposes.
a. Compliance with the foregoing will result in the closing of this case with no
further action by this Commission.
b. Non - compliance will result in the institution of an order enforcement action.
BY THE COMMISSION,
Louis W. Fryman, Chair