CLIENT

See service recipient.
 
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  SERVICE

One or more organization-operated programs or activities that have a common general objective and deploy the organization's material and human resources in a planned and systematic manner. An organization that publicly promotes or identifies itself in writing as offering a service, is licensed to deliver a service, assigns personnel and/or space to a service, or allocates financial resources to a service is considered to offer that service.
 
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  MANAGEMENT

See ADMINISTRATION
 
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  POLICY

A written statement of principles, values, or intent that provides a basis for consistent decision making and guides the actions of staff, management, and board of trustees. A policy is intentionally broad in its language and application. The following is an example of an anti-discrimination policy:

"[Organization Name] shall not discriminate on the basis of race, color, religion (creed), gender, age, national origin (ancestry), disability, marital status, sexual orientation, or military status, in any of its activities or operations. These activities include, but are not limited to, hiring and firing of staff, selection of volunteers, selection of vendors, and provision of services."

In contrast, a procedure is a detailed, step-by-step description of a process. It tells the reader how to do something. Generally, policies are implemented through procedures. For example, the above anti-discrimination policy would require a detailed grievance procedure in order to operationalize it within an organization.

The governing body has the fiduciary responsibility for setting organizational policy. Therefore, policies must be approved and periodically reviewed by the organization's governing body. However, the governing body typically delegates (via policy) the responsibility for policy development to management. In owner-operated for-profit companies, the owner can act as the company's governing body, depending on the company's corporate structure.

In a public agency the responsibility for setting and reviewing policies may belong to the agency's management team, elected officials, another governmental agency, or as is often the case, a combination of the above.

 
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  PROCEDURES

Written instructions that outline the steps for performing a task(s) or operationalizing an administrative or service delivery process. A procedure can be written as a step-by-step set of instructions or as a narrative description of a process. A procedure tells someone how to do something not just what to do.

Unlike policies, procedures do not need to be approved or reviewed by the governing body, and need not be associated with a specific policy. For example, whereas a broad anti-discrimination policy requires grievance or other procedures in order to be operationalized within an organization, assessment procedures do not require a governing body approved assessment policy.

Note: Procedures are sometimes referred to as administrative policies.

 
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  COMPLAINT

An expression of verbal or written dissatisfaction that can include, but is not limited to, services, manner of treatment, outcomes, or experiences. For employees or volunteers, dissatisfaction can include personnel matters such as supervision, evaluations, promotions or demotions, the work environment, and overall treatment. The term is synonymously used with GRIEVANCE.
 
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  PROGRAM

A system of services offered by an organization. For example, an organization providing a mental health service may offer several mental health programs to different populations, e.g., a mental health program for adolescent teens. The word "program" can be used interchangeably with the word "service" or to describe specific programs.
 
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  DISCHARGE

See CASE CLOSING
 
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Financial Education and Counseling Services
 
Private Org Public Agency  

PA-FEC 3: Information about Services

 
Clients receive information about the nature, scope, and limitation of the services provided and associated service fees.

PA-FEC 3.01

 

Clients receive information about:

  1. what services will be available and when;
  2. how the agency can support the achievement of desired outcomes; and
  3. the benefits, risks, alternatives, and consequences of planned services.

PA-FEC 3.02

 

Clients receive a privacy policy and disclosure statement that includes:

  1. how the agency obtains funding;
  2. the agency’s procedures for obtaining the client’s credit report, and the potential impact service may have on credit reports, as applicable;
  3. how confidential information is stored and used;
  4. the complaint tracking and resolution process;
  5. debt relief options the client may pursue including working directly with creditors, a debt management program, and attorney-assisted options; and
  6. disclosure of fees for the initial session.
Interpretation: A copy of the privacy policy and disclosure statement is provided to all clients upon initiation of in-person sessions and at the conclusion of telephone or Internet sessions.

PA-FEC 3.03

 

Agencies that charge fees:

  1. do not deny service based on inability to pay;
  2. do not charge fees in advance of service;
  3. establish reasonable fees for services; and
  4. ensure the fee structure complies with applicable federal and state law.
Interpretation: According to Internal Revenue Code Section 501(q), credit counseling agencies are prohibited from soliciting voluntary contributions from current clients. The collection of reasonable fees or reimbursement of the cost of services is permitted; however, agencies cannot deny service to clients who cannot pay. Agencies approved by the Executive Office for United States Trustees (EOUST) to provide pre-filing bankruptcy counseling and/or pre-discharge bankruptcy education may collect any fees associated with these services as provided for by EOUST.
NA The agency does not charge fees.
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PURPOSE: Clients who receive Financial Education and Counseling services learn to solve financial problems and gain personal financial management skills.
 
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