Code of Ethics
Seacrest Sober Living
Code of Ethics
Seacrest Sober Living is dedicated to providing a supportive community where men and women in early recovery can restore themselves to healthy sober individuals. We believe that recovery is a process and requires the right level of support to move our residents toward a positive clean and sober life. The key to success in recovery is a solid foundation, which Seacrest Sober Living provides, while encouraging our residents to develop within themselves. Each resident agrees to an individual plan during his stay with us.
All counselors must abide by the relevant Code of Ethics for their own profession, i.e. Licensed Clinical Social Worker, Substance Abuse Counselor etc. to include but not be limited to the NAADAC Code of Ethics.
PROCEDURES
FARR members should ensure that all employees of each site shall receive an orientation to the FARR’s Code of Ethics, Code of Ethics that may apply due to their individual profession and document their willingness to abide by these principles as a condition of employment;
Where applicable, the professional staff at each site shall review all pertinent Codes of Ethics annually, and attest in writing to their willingness to abide by the principles;
FARR members should ensure that admitted clients will receive an orientation to their rights and responsibilities including their right to receive ethical care. This shall be documented in the client record;
If a site has a website, either their and/ or FARR’s Ethical Code shall be posted thereon;
FARR members should ensure that all clients are provided information during their orientation session of the process and steps the client may take to report any ethical or standards violations;
FARR members should ensure that no retribution, intimidation, or any negative consequences shall occur if a grievance or complaint has been filed.
CONFIDENTIAL INFORMATION
While employed at any site and even thereafter such employment ends, the use of confidential information must never be disclosed to outsiders except with the client’s written authorization or as allowed under Federal and/or state law. No site employee or any FARR member may use, or permit others to use, confidential information for the purpose of furthering a private interest or as a means of making a profit.
RESPONSIBILITY TO CLIENTS
A FARR and/or site member/ employee’s primary obligation is to respect the integrity and promote the welfare of the client, whether the client is assisted individually or in a group relationship. In a group setting, the member/ employee is also responsible for taking reasonable precautions to protect individuals from physical and/or psychological trauma resulting from interaction within the group;
FARR members shall ensure that in any group counseling setting, the counselor must set a norm of confidentiality regarding all group participants’ disclosures;
FARR members should ensure that if a client is already or has been in a counseling relationship with another professional person or entity, staff must attempt contact with them after obtaining proper releases for the exchange of relevant information. The contacts or attempts to contact must be documented in the clinical record;
FARR members should ensure that if a client’s condition indicates that there is a clear and imminent danger to the client or others, all site employees must inform responsible authorities after consultation with his/her manager, Director, or supervisor;
FARR members should ensure that no site employee will solicit or accept any commission, fee, or anything of monetary value from clients, other related persons, or referral sources;
FARR members should ensure that all site employees act to prevent discrimination of any kind;
FARR members should ensure that if a client’s condition deteriorates, i.e. relapse or psychological deterioration, referral and linkage to appropriate interventions will be attempted.
ETHICAL CONFLICTS
FARR members and their employees shall excuse themselves from taking an active part in treatment plans of relatives, close friends, and/or business acquaintances;
FARR members and their employees may participate in political activities on their own time and in accordance with their individual desires and preferences, but it must be clear at all times that they are doing so as individuals and not as representatives of FARR or their organization unless specifically agreed to by FARR or their site director.;
FARR members and their employees may not offer or pay any commission, bonus, rebate, kickback, or bribe, directly or indirectly, in cash or in-kind, or engage in any split fee arrangement, in any form whatsoever, to induce the referral of patients or patronage to or from a health care provider or health care facility.
FARR members and their employees may not solicit or receive any commission, bonus, rebate, kickback, or bribe, directly or indirectly, in cash or in-kind, or engage in any split-fee arrangement , in any form whatsoever, to induce the referral of patients or patronage to or from a health care provider or health care facility.
FARR members and their employees may not solicit or receive any commission, bonus, rebate, kickback, or bribe, directly or indirectly, in cash or in-kind, or engage in any split-fee arrangement, in any form whatsoever, in return for the acceptance or acknowledgement of treatment from a health care provider or health care facility.
FARR members shall ensure that any former client will not be hired as an employee at any site unless a significant period of time has elapsed. A minimal 1 (one) year period should be clearly stated in the site’s policy and procedures regarding employment of former clients.
FARR members shall ensure that all program associates refrain from engaging in any non-therapeutic dual relationships for a minimum of 2 (two) years. If a more restrictive time frame is listed in an employee’s professional ethics code, then that time frame shall apply.
RESPONSIBILITY TO COLLEAGUES
FARR members and site employees having knowledge of unethical practices on the part of another colleague shall report such practices to the site Director and/or, as needed, to the colleague’s professional Ethics Board.
FARR members and site employees should not use the workplace for proselytizing religious, political, or economic issues.
MARKETING ETHICS
No FARR member/ site shall knowingly make marketing claims or create any advertising that contains:
False or misleading statements or exaggerations;
Testimonials that do not really reflect the real opinion of the involved individual;
Price claims that are misleading;
Therapeutic strategies for which licensure and/or counseling certifications are required but not applicable at the site.