Hallazgos & Recomendaciones
15 hallazgos
F1:
The meeting minutes are far too detailed and are not submitted to and approved by the Cuyama Community Services District Board of Directors in a timely manner.
Página 30
F2:
Neither the Board of Directors nor key employees have ever attended ethics training courses. The Board of Directors has the authority to mandate ethics training for key employees.
Página 31
F3:
No job descriptions exist for Assistant Operator, Relief Secretary, Maintenance Worker, and Assistant Maintenance Worker.
Página 31
F4:
Job descriptions for Manager for Water/Sewer Operations and Controller have not been updated for several years.
Página 31
F5:
The Cuyama Community Services District Personnel Policy Manual has no policy addressing conflicts of interest such as nepotism.
Página 31
F6:
The Board of Directors has failed to follow its policy set forth in the Personnel Policy Manual Section XIV, Part 2 and allowed “Offensive, abusive, or persistent discourteous treatment of the public or fellow employees”. 16 2015-16 Santa Barbara County Grand Jury ___________CUYAMA COMMUNITY SERVICES DISTRICT__ ___
Página 31
F7:
The Cuyama Community Services District Board of Directors has no succession plan for the positions of Manager for Water/Sewer Operations or Controller.
Página 32
F8:
Required annual personnel performance reviews have not been conducted in accordance with Section XXIII of the Cuyama Community Services District’s Personnel Policy Manual.
Página 32
F9:
The Cuyama Community Services District Board of Directors has not enforced its delinquent account enforcement policy, CCSD Water Policy, Article 10 - Discontinuance of Service, 1-1003, Non-payment of Bills.
Página 32
F10:
That the Cuyama Community Services District will need to increase its revenues to remain financially viable.
Página 32
F11:
The public needs to be informed of the need for and implementation of future water and wastewater rate increases.
Página 32
F12:
That the existing telephone system does not adequately support teleconferencing.
Página 33
F13:
The Cuyama Community Services District Board of Directors has not enforced CCSD Policy 91- 1 regarding the personal use of District owned vehicles.
Página 33
F14:
The Cuyama Community Services District Board of Directors does not receive any compensation.
Página 33
F15:
The heavy workload for the Controller position impacts the timely completion of some required functions.
Página 33
Recomendaciones adicionales
27
No vinculadas a hallazgos específicos.
R1:
2015-16 CUYAMA COMMUNITY SERVICES DISTRICT That the Cuyama Community Services District Board of Directors require that the minutes be succinct and submitted for acceptance at the next scheduled meeting.
Página 30
R1a:
That the Santa Barbara County Board of Supervisors direct the Santa Barbara County Probation Department to conduct a study of ways to increase the utilization of the Los Prietos Boys Camp.
Página 109
R1b:
That the Santa Barbara County Board of Supervisors direct the Santa Barbara County Probation Department to reevaluate its acceptance criteria and process to develop methods to increase the number of youth who are ordered to the Los Prietos Boys Camp program.
Página 109
R1c:
That the Santa Barbara County Board of Supervisors direct the Santa Barbara County Probation Department to evaluate the possibility of decreasing the lengths of the programs in order to accommodate more youth.
Página 109
R2:
That the Cuyama Community Services District Board of Directors include biennial ethics training within the job descriptions of key employees including the Manager of Water/Sewer Operations and the Controller.
Página 31
R3:
That the Cuyama Community Services District Board of Directors ensure job descriptions are prepared for all employees.
Página 31
R3a:
That the new master contract between the United States Bureau of Reclamation and the Santa Barbara County Water Agency include the required water releases for the protection of fish habitat under the 2000 National Marine Fisheries Service Biological Opinion.
Página 83
R3b:
That the new master contract between the United States Bureau of Reclamation and the Santa Barbara County Water Agency add language to include the amount of water that will be required to be released by the new Biological Opinion from the National Marine Fisheries Services when it is released.
Página 83
R4:
That the Santa Barbara County Board of Supervisors revise the Grading Code to specify how many times within a given timeframe the property owner can move less than 50 cubic yards of earth without a permit.
Página 59
R4a:
That the Cuyama Community Services District Board of Directors require the existing but obsolete job description for Manager for Water/Sewer Operations be updated to include licensing requirements professional qualifications, and response time expectations, at a minimum.
Página 31
R4b:
That the Cuyama Community Services District Board of Directors require the existing but obsolete job description for the Controller be updated.
Página 31
R5:
That the Cuyama Community Services District Board of Directors add a policy on conflicts of interest such as nepotism to its Personnel Practices Manual.
Página 31
R5a:
That the term of the new contract between the United States Bureau of Reclamation and the Santa Barbara County Water Agency be less than 25 years in length.
Página 83
R5b:
That the new contract between the United States Bureau of Reclamation and the Santa Barbara County Water Agency include periodic mandatory review and revision clauses on the order of every five or six years to recalculate the “safe yield” of Lake Cachuma and to make any other necessary contract changes. 66 2015-16 Santa Barbara County Grand Jury LAKE CACHUMA - PROTECTING A VALUABLE RESOURCE
Página 83
R6:
That the Cuyama Community Services District Board of Directors enforce Section XIV (Disciplinary Actions Against Employees) Part 2 of its Personnel Policy Manual.
Página 32
R7:
That the Cuyama Community Services District Board of Directors establish an orderly succession plan for the positions of Manager for Water/Sewer Operations and Controller.
Página 32
R8:
That the Cuyama Community Services District Board of Directors and Manager for Water/Sewer Operations conduct annual performance reviews of all employees.
Página 32
R8a:
That the member units, in conjunction with the Santa Barbara County Water Agency, create consistent policies and procedures that govern conservation efforts especially during times of a severe drought and that these are documented in the subcontracts between the Santa Barbara County Water Agency and the member units.
Página 84
R8b:
That the policies and procedures in Recommendation 8a be announced to the community by all member units at the same time.
Página 84
R9:
That the Cuyama Community Services District Board of Directors enforce its delinquent accounts collection policy.
Página 32
R10:
That the Cuyama Community Services District Board of Directors implement the rate increases recommended in the October 2015 CCSD Water and Wastewater Rate Study by the Rural Community Assistance Corporation.
Página 32
R11:
That the Cuyama Community Services District Board of Directors initiate a public education program regarding the need for water and wastewater rate increases. 2015-16 CUYAMA COMMUNITY SERVICES DISTRICT
Página 32
R12:
That the Cuyama Community Services District Board of Directors ensure an adequate teleconferencing system is available.
Página 33
R13:
That the Cuyama Community Services District Board of Directors enforce its existing policy regarding the personal use of District owned vehicles.
Página 33
R14:
That the Cuyama Community Services District Board of Directors consider compensating board members.
Página 33
R15:
That the Cuyama Community Services District Board of Directors make more frequent use of the Relief Secretary to reduce the workload of the Controller.
Página 33
R29-15:
reductions for urban water suppliers May 2015 Stage 2 Carpinteria Valley Water District Stage 3 City of Santa Barbara and Goleta Water District Sept 2015 Stage 2 Santa Ynez Water Conservation District ID No. Each stage of declared drought can mean something different at each water agency. Most drought stages set limits on outside water use. Unique among agencies enacting water use restrictions is the Montecito Water District. Rather than limiting water uses and adding a drought surcharge to water bills, which would compensate for some of the reduced revenue from decreased water use, MWD (in Ordinance 93) gave an allotment of water to each customer based on property size, enacted penalties for overuse, and added a moratorium on water service connections. Of concern to the Jury is the action taken by MWD, and the confusing message it sent to its customers with the passage of Ordinance 94, in March 2015. Ordinance 94 was enacted in response to a successful search to buy supplemental state water on the open market. In this ordinance, the MWD Board of Directors approved an increase in water allotments to their customers. This occurred just one month before the Governor of California enacted an unprecedented executive order for statewide mandatory water use reductions. Member units need to work together to send a clear message to their constituents, to reduce confusion and to emphasize the severity of the water shortages all residents are facing. Of benefit to the regional water community would be a consistent set of defined conservation 62 2015-16 Santa Barbara County Grand Jury
Página 79