Belden v Wadoc Wapab Appeal Reduction in Pay Gross Neg Insub 1995 Medical Misconduct
Download original document:
Document text
Document text
This text is machine-read, and may contain errors. Check the original document to verify accuracy.
all ,''; • ...- . 2828 Capitol Blvd. PO 8011 -10911 Olympi.... WA ')8504-11') 11 STATE OF WASHINGTON (360) 586-1-181 FAX (360) ;53-0139 PERSONNEL APPEALS BOARD September 15, 1997 CERTIFIED P·360-112-992 P-360·ll2·993 John R. Arthur Attorney at Law 10900 NE 811l Street Suite 850 Bellevue, WA 98004 RE: Annette Belden v. Department of Corrections, Reduction in Salary Appeal & Disability Separation Appeal, Case Nos. RED-95-00~ & DSEp·96-00 16 Dear Mr. Arthur: Enclosed is a copy of the order of the Personnel Appeals Board in the above·referenced matter. The order was entered by the Board on September 15, 1997. Sincerely, Q~h-~~ Kenneth J. Latsch Executive Secretary KJL:lh Enclosure cc: Annette M. Belden Michael Sellars, AAG Jennie Adkins, DOC I BEFORE THE PERSONNEL APPEALS BOARD STATE OF WASHINGTON 2 3 ANNETTE BELDEN, 4 Appellant, ~ Case No. RED-95-0060 and DSEP-96-0016 vs. ~ 5 6 7 8 ) ) DEPARTMENT OF CORRECTIONS, Respondent. ORDER OF DISMISSAL ) ) ) ) ) 9 10 These matters came before the Personnel Appeals Board, JUDITH MERCHANT, Chair; HOWARD 11 N. JORGENSON, Vice Chair; and ROGER F. SANFORD, Member, pursuant to WAC 358-30-084. 12 13 WAC 358-30-084 provides in relevant part: 14 15 16 17 18 19 20 21 22 23 24 (1) In all appeals filed with the personnel appeals board: (a) Where the parties have indicated that the case has been settled and ready for dismissal and where there has been no action by the parties during the preceding thirty days; or (b) When the board deems it appropriate for lack of timeliness or any other jurisdictional matter where there is no question of fact; or (c) When a party refuses to participate in a prehearing conference pursuant to WAC 358-30-026(4); or (d) When the board is unable to contact the appellant at the last address and telephone number provided by the appellant, the executive secretary or his/her designee may mail notice to the appellant or the appellant's representative and to the respondent or the respondent's representative that the appeal will be dismissed by the board unless within fifteen days following the date of service of the notice a written request is made to the board and good cause is shown why the appeal should be continued as a pending case. (2) If no request is made, the matter will be brought before the board for dismissal. 25 26 Personnel Appeals Board 2828 Capitol Boulevard Olympia. Washington 98504 The appeals of Annette Belden fall within the categories covered by the rule. Specifically, on July 2 16, 1997, the Personnel Appeals Board (PAB) was informed that Ms. Belden had decided to drop 3 her appeals before the PAB. By letter dated July 22, 1997, the PAB contacted the Appellant's 4 Attorney and requested that the appeals be withdrawn. Subsequent to the July 22, 1997, letter from 5 PAB, there had been no action taken by either party to these appeals. 6 1 Therefore, on August 25, 1997, the PAB served the parties with a Notice of Potential Dismissal. 8 The notice stated that the appeals would be dismissed, unless, within fifteen days following the date 9 of service, the Board received a written request showing good cause why the appeals should be to continued as a pending case. Appellant received a copy of the notice by certified mail on August II 26, 1997. Neither of the parties to this appeals have submitted a written request showing good 12 cause why the appeals should be continued as a pending case. 13 14 The Board having reviewed the files and records herein, being fully advised in the premises, now 15 enters the following: 16 ORDER 11 NOW, THEREFORE, IT IS HEREBY ORDERED that the appeals of Annette Belden are 18 dismissed. 19 DATED this 20 . -W....:.lJ~411 day of $¢rnJJlJ0 , 1997. SHINGTON STATE PERSONNEL APPEALS BOARD 21 22 23 24 25 26 Personnel Appeals Board 2828 Capitol Boulevard Olympia. Washington 98504 2 BEFORE THE PERSONNEL APPEALS BOARD STATE OF WASHINGTON 2 3 ANNETTE BELDEN, 4 Appellant, ~ Case No. RED-95-0060 and DSEP-96-0016 vs. ~ 5 6 7 8 9 ) ) DEPARTMENT OF CORRECTIONS, Respondent. NOTICE OF POTENTIAL ) DISMISSAL ) ) ) ) ---------------) 10 II Pursuant to the provisions of WAC 358-30-084, notice is hereby given that the above-referenced 12 matters have been noted for dismissal by the Personnel Appeals Board. 13 14 15 16 17 18 19 20 21 22 23 24 WAC 358-30-084 provides in relevant part: (1) In all appeals filed with the personnel appeals board: (a) Where the parties have indicated that the case has been settled and ready for dismissal and where there has been no action by the parties during the preceding thirty days; or . (b) When the board deems it appropriate for lack of timeliness or any other jurisdictional matter where there is no question of fact; or (c) When a party refuses to participate in a prehearing conference pursuant to WAC 358-30-026(4); or (d) When the board is unable to contact the appellant at the last address and telephone number provided by the appellant, the executive secretary or his/her designee may mail notice to the appellant or the appellant's representative and to the respondent or the respondent's representative that the appeal will be dismissed by the board unless within fifteen days following the date of service of the notice a written request is made to the board and good cause is shown why the appeal should be continued as a pending case. (2) If no request is made, the matter will be brought before the board for dismissal. 25 26 Personnel Appeals Board 2828 Capitol Boulevard Olympia. Washington 98504 It appears that the appeals of Annette Belden fall within the categories covered by the rule. 2 Specifically, on July 16, 1997, the Personnel Appeals Board (PAB) was infonned that Ms. Belden 3 has decided to drop her appeals before the PAB. By letter dated July 22, 1997, the PAB contacted 4 the Appellant's Attorney and requested that the appeals be withdrawn. s 1997, letter from PAB, there has been no action taken by either party to these appeals. Subsequent to the July 22, 6 7 Therefore, the appeals will be dismissed unless, within fifteen days following the date of service of 8 this notice, the Board receives a written request showing good cause why the appeals should be 9 continued as pending cases. 10 II DATED AND MtVLED this jj!J day of I1I!'f_w_f ,1997. 12 WASH GTON STATE PERSONNEL APPEALS BOARD 13 14 15 16 cc: 17 18 Annette Belden, APP John R. Arthur,.AIT Michael Sellars, AAG Jennie Adkins, DOC 19 20 21 22 23 24 25 26 Personnel Appeals Board 2828 Capitol Bouh:vard Ol~..mpia. Washington 98504 2 2828 Capitol Blvd. PO Box 40911 Olympia, WA 98504-0911 STATE OF WASHINGTON PERSON NEL APPEALS BOARD (360) 586-1481 FAX (360) 753-0139 July 22, 1997 Jolm R. Arthur Attorney at Law 10900 NE 8th Street, Suite 850 Bellevue, WA 98004 RE: Annette Belden v. Department of Corrections PAB Case Nos. RED-95-0060 and DSEP-96-0016 Dear Mr. Arthur: On July 16, 1997, you informed a mediator for the Personnel Appeals Board that Ms. Belden had decided to drop her appeals before the Board. However, the Board has not yet received a formal withdrawal of the appeals. Before we can close our files on Ms. Belden's appeals, we must receive a formal notification of withdrawal. In order to assist you with submitting the withdrawal, I have enclosed a withdrawal form. Please sign, date and return the form to us as soon as possible so that we can close our files on the matters. . Sincerely, ~ ,6.,....\,).~.~\ Holly Galloway Senior Special Assistant to the Board Enclosure cc (without enclosure): Michael P. Sellars, AAG Jennie Adkins, DOC Annette Belden, APP o : "f WASHlNGTON STATE PERSONNEL APPEALS BOARD • • • .i • • , , ....... APPEAL STATUS REPORT (To be completed by.MedillJon) .. , Date: --cr;.~~bJ Appeal Name: _"-,,,6~()(clo. A Appftl Number: . . BED ,qcr3: I =f, _ 0 () c... V -9~ -C6t06 The status ofthe above-captioned appeal is as follows: CI The appeal was settled and a copy of the withdrawal order is attached. CI The appeal was settled and the parties are going to withdraw. CI Appellant called to advise that he/she would withdraw. CI The appeal has been settled but final paperwork has not been c,?mpleted. _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ should be contacted by _ _ _ _ _---l. 19_ to be sure that the withdrawal is forthcoming. o o The appeal was not settled in mediation. The case should now be set for pre-hearing conference and hearing by the board. The mediation case has not been scheduled, and the case is being returned to the Board for re-assignment. Other PtdS.(' rtH.i::9__ Q;,o t aQ. 1\ So "'.}. (;:\:1,0 r do to d :r - ((0 -q:l j Ad i ('g.:\ i n..3 ..P>o ,C\ 0 on ! d d it> Ora f ..:rob.!I\ Ac-£~() r, ~ I e'I tN:t f n ('#& l,b D<>~ Sigxla~ <l&u L Mi/rator's 0. I. fY! "'0 " ["1)=\-\ (\ r C' a.{{ a Q C ~ <11.- f( _ LU<+§& Date .- JOHN R. ARTHUR A1iORNEY AT LAW 10900 N.E. 8TH STREET SUITE 850 BELLEVUE. WASHINGTON 98004 (206) 455·2022 16 July 1997 Jennifer Woods Att6rney at Law 715 North 193rd Place Seattle, Washington 98133 Copy to: (1) (2) Client File Dear Ms. Woods: Annette Belden has decided to drop her appeals before the Board and will pursue her discrimination claims with the Washington State Human Rights Commission. This decision is based upon the fact that the Commission can award reimbursement of her attorney fees. I understand that Mr. Sellers has requested a meeting. If he still wishes to meet after being informed of this letter, he can contact me directly. I would not object to your assistance at such a meeting. Sincerely, QM1L-jf(l[~ _J1rm R. Arthur (7' CERTJJ:1CATE OF SERVICE I ccnify Ihall served a ecp)' s document on all parties or their counsel of ..Frd on l2OP/96 as foller... ,r. 1 I • (I 1 L' h- US Mail PoslaBe Prepaid ~ \. \.l. '\.. Il \J rt i I :l lL. _ ABCJLegal Messenser _ Swe Campus Delivery _ Hand delivered by //"' 1" 1 2 10 / t Y. n I ccnify umIer penally otpetjury lIllder lbc laws oflhe Swe ofWlIShinglon Ihal \he foregoing is IlUC and eoittcL , Dated: Deccmbcr?,tt 1 'Olympia. W A ' J " ~J /' I.e i1. 71 I ")( {IT -, . RECEIVED DEC 2 4 1996 ~tBb~ 3 4 BEFORE THE PERSONNEL APPEALS BOARD STATE OF WASHINGTON 5 6 ANNETTE M. BELDEN, 7 8 9 Appellant, 12 13 14 15 16 NOTICE OF APPEARANCE v. DEPARTMENT OF CORRECTIONS, Respondent. 10 11 NO. DSEP-96-0016 TO: AND TO: KENNETH LATSCH, Executive Secretary, Personnel Appeals Board; ANNETTE BELDEN, Appellant; PLEASE TAKE NOTICE that the Respondent, Department of Corrections, without waiving objection as to the sufficiency of service of process or jurisdiction of this Board, does hereby enter its appearance in the above-entitled action, by and through its attorneys, CHRISTINE O. GREGOIRE, Attorney General, and MICHAEL P. SELLARS, Assistant 17 18 19 20 21 22 23 24 25 26 ATTORNEY GENERAL OF WASHINGTON NOTICE OF APPEARANCE -1- Labor & Personnel Division 905 Plum Street SE, Bldg. 3 PO BOX 40145 Olympia, KA 98504-0145 (3601 664-4167 JENNIFER WOODS Attorney at Law 715 North 193rd Place Seattle, WA 98133 (206) 546-9081 . . . U;;~ lJr ," C·~·.·· o· I'll {j '/-- - 1996 "''::PSO~EL :. .,:. -_ ~'Jf" .J • September 30, 1996 John R. Arthur Attorney at Law 10900 NE 8th Street, #850 Bellevue, WA 98004 Re: Michael P. Sellars Assistant Attorney General P.O. Box 40145 Olympia, WA 98504-0145 Belden v. Dept. of Corrections PAS Case No. RED-9S-0060 Dear Counsel: I have been in touch with both of you concerning the mediation of the above referenced appeal which is scheduled for October 7, 1996. You both maintain that in light of some ongoing negotiations between Ms. Belden and DOC concerning reasonable accommodation issues, this mediation should be postponed. As such, the October 7, 1996 mediation is postponed. I will contact you both in a couple of weeks to check on the status of this case. At that time, I will need to either reschedule this appeal for mediation, or, if you believe that would be fruitless, we can move directly to a pre-hearing conference. I encourage you to explore the possibility of settling this appeal as you are working on the reasonable accommodation issues if it makes sense to work out one big package solution. Very truly yours, (7 , Jenni\:..er Woods cc: Kenneth Latsch JENNIFER WOODS Attorney at Law 715 North 193rd Place Seattle, WA 98133 (206) 546·9081 ~~©~~W~lliJ JUL :~ 5 1996 July 24, 1996 Annette Belden 12304 227th Avenue S.E. Monroe, WA 98272 Re: Belden v. Dep~. Michael P. Sellars Assistant Attorney General P.O. Box 40145 Olympia, WA 98504-0145 of Correc~ions PAS Case Ro. RED-95-0060 Dear Ms. Belden and Mr. Sellars: The mediation in the above referenced matter will be held Monday, October 7, 1996 at 10: 00 a .m. at the Washington State Reformatory, Monroe, Washington. The purpose of the mediation is to settle the appeal to the mutual satisfaction of the parties without the need for a hearing before the Personnel Appeals Board. In the event that a settlement is not reached, we will hold a pre-hearing conference to set a firm hearing date, set dates for the exchange of witness and exhibit lists, discovery cut-offs and other pre-hearing matters. I look forward to meeting with you in October. cc: Kenneth Latsch WPEA The Washington Public Employees Association • 1-800-544-WPEA Headquarters • 124 10th Ave SW Olympia WA 98501 • (360) 943·1121 FAX (360) 357-7627 Toll Free (800) 544-9732 Monroe Office • 20014 Hwy 2·E • Unit C Monroe WA 98272 • (360) 794-0733 FAX (360) 794-6986 Toll Free (800) 794-9732 Walla Walla Office • 401 W Main • Suite B Walla Walla WA 99362 • (509) 529-8632 FAX (509) 525-5487 Toll Free (800) 529-9732 ~~©~~w~~ July 15, 1996 Kenneth Latsch, Executive Secretary WA State Personnel Appeals Board PO Box 40911 Olympia WA 98504-0911 Re: JUL 1 {' 1996 PERSONNEL p, p~ E,:.1.LS BOARr' Annette Belden Vs. DOC, RED-95-Q060 Dear Mr. Latsch: This letter confirms that WPEA will not be representing the above-named employee in this appeal. Further correspondence on this issue can be directed to the employee at their home address: 12304 227th Street SE, Monroe, WA 98272. Thank you for attending to this issue. Sincer yours, ~£ Katherine E. Cunningham WPEA Corrections Program Director (svl2kathy96llatsc714107-15-96) cc: Annette Belden Mark Lyon, WPEA General Counsel Diane Leigh, Manager Human Resources Jennifer Woods, Attorney at Law JENNIFER WOODS AttorDey at Law 715 North 193rd Place Seattle, WA 98133 (206) 546·9081 IRl \U~ \U IW ~ JUN 11 1996 ... '. 1_-. June 11, 1996 Kathleen Cunningham WPEA 21004 Highway 2-E, Unit C Monroe, WA 98272 Re: >' "'- ~ Michael P. Sellars Assistant Attorney General P.O. Box 40145 Olympia, WA 98504-0145 Belden v. Dep~. of Correc~ions Case No. RED-95-0060 PAS Dear Ms. Cunningham and Mr. Sellars: My understanding is that WPEA has not determined yet whether it will be representing Ms. Belden in the above referenced appeal. I would like to go ahead and at least set a tentative date for the mediation in this matter. My understanding is that Mr. Sellars is available for this mediation Oc~ober 7, 1996. Please hold this date on your calendars for this mediation and I will do the same with the hope that Ms. Belden's representative will be available that day as well. Thank you for' your help in getting this scheduled. Very truly yours, cc: Kenneth Latsch 2- ~~~~~w~~ NOV 1 3 1995 1 PERSO~Ij\jEL 2 apP=~1 ~ RfiARD 3 4 5 BEFORE THE PERSONNEL APPEALS BOARD STATE OF WASHINGTON 6 7 ANNETIE BELDEN, 8 Appellant, NOTICE OF APPEARANCE v. 9 10 NO. RED-95-0060 STATE OF WASHINGTON, DEPARTMENT OF CORRECTIONS, 11 Respondent. 12 14 KENNETH LATSCH, Executive Secretary, Personnel Appeals Board; ANNETTE BELDEN, Appellant; JOHN H. COLLINS, Washington Public Employees Association. 15 PLEASE TAKE NOTICE that the Respondent, State of Washington, Department of 16 Corrections, without waiving objection as to the sufficiency of service of process or jurisdiction 17 of this Board, 18 attorneys, CHRISTINE O. GREGOIRE, Attorney General, and MICHAEL P. SELLARS, 19 Assistant Attorney General, and requests that all further pleadings herein be served upon said 20 Respondent at the Office of the Attorney General at the address given below. 13 21 TO: do~s hereby enter its appearance in the above-entitled action, by and through its DATED t h i s ? day of November, 1995. CHRISTINE O. GREGOIRE Attorney General 22 23 c-----~ MICH~EL P. SELLARS 24 ASsista~Attorney General 25 WSBA 0.21331 (360) 6 -4188 26 AlTORNEY GENERAL OF WASHINGTON Labor Ie PmcMeI Divisicn 905 Plum St. SE, Bld~. 3 PO Box 40145 NOTICE OF APPEARANCE -1- Olympia. WA ~145 ~) 664-4167 2828 Capilol Blvd. PO Ball 40911 Olympia. WA 98504-0911 STATE OF WASHINGTON PERSONNEL APPEALS BOARD (360) 586·1481 FAX (3601 753·0139 October 27, 1995 John Collins Washington Public Employees Association 21004 Hwy 2-E Unit C ~onroe, WA 98272 RE: Annette Belden v. Department of Corrections, Reduction in Salary Appeal, Case No.: RED-95-0060 Dear Mr. Collins: This letter is to acknowledge receipt of the above entitled appeal by the Personnel Appeals Board on October 26, 1995. . Sincerely, ~J~ J7U~" Kenneth Executive Secretary KJL:tmp cc: Annette Belden Linda A. Dalton, AAG Jennie Adkins, PO z.:\tmp\newappl\Be\de\\.~ . ~. WPEA The Washington Public Employees Association • 1-800-544-WPEA Headquarters • 124 10th Ave SW Olympia WA 98501 • (360) 943-1121 FAX (360) 357-7627 'Ibll Free (800) 544-9732 Monroe Office • 20014 Hwy 2-E • Unit C Monroe WA 98272 • (360) 794-0733 FAX (360) 794-6986 Toll Free (800) 794·9732 October 26, 1995 Walla Walla Office • 401 W Main • Suite B Walla Walla WA 99362 • (509) 529-8632 FAX (509) 525-5487 Toll Free (800) 529·9732 ~1E~IEHWIEW OCT 27 1995 % HN /t):~ !tt.5 PERSONNEL: APPEALS BOARD Kenneth Latsch, Executive Secretary Washington State Personnel Appeals Board PO Box 40911 Olympia WA 98504-0911 Re: Annette Belden, RN - WSR Enclosed is the appeal and evidentiary documents regarding the appeal of the above named employee, covered by the WPEA-DOC CONTRACT. Please contact me through the WPEA Monroe office for scheduling or request for further information. Sincerely, ce~:(~~~ Employee Relations Specialist (svljohnlbeld1 026/1 0.26-95) cc: Annette Belden Phil Archibald, WPEA-WSR President Mark Lyons, WPEA General Counsel APPEAL FORM WASHINGTON STATE PERSONNEL APPEALS BOARD 2828 Capitol Blvd. PH: P.O. Box 40911 FAX: Olympia, WA 98504·0911 SCAN 321·1481 (360) 586-1481 (360) 753·0139 ~is (ann will help YO~ provide neceSsary. information to Ihe Personnel Appeals Boa"rd when you file an appeal. You are Il2l required to use tbls fo:m; however, appealS!l:!lli1 be filed In accordance with the requirement as set fonh in Chapter 358·2G WAC. ' If the space 00 the fl?rm_ is insu~cient or ify~ :-Vis.~ t.o pro.vide a£ic!_ili~na.1 i.~f'?~3:t!"!l, you Tay anac~ additi~al pages. PRINT OR TYPE - SIGN ON PAGE 2 PART 1. APPELLANT JDENTIFICA TION NAME:----'B~e~d~e;;;;'fi;;;_;A~n~n~e~t~e'1.;;;;;;;----------------_ffP.'f'__7'_7__1& (L:lS1 name. firsl name, middle initial) HOME AOORESS, 12304 227th Avenue S E PERSONNEL: APPEALS BOARD (':IIumber and streel) Monroe WA 98272 (Cify, mle and ZIP eode) PHONE NUMBERS, (Include are3. eooe) WORK, (360) 794-2600 HOME, (360) 794-4132 Nashington State Reformatory EMPLOYfNG AGENCY OR rNSTITUTION: AGE>JCY OR INSTITUTION THAT TOOK ACTION YOU ARE APPEALING,_ _'::.<"S::.R PART 11. REPRESENTATIVE'S NAYfE. ADDRESS A~D _ TELEPHONE NuMBER: John H. Collins, NPEA Employee Relations Specialist 1 (360) 794-0733 20014 HWY 2-E Unit #C 1 (800) 794-9732 Monroe WA 98272 act Ao appeUaot rna>' authorize a representative ro aD bis:her behalf. represenlation. '.. , "_"_} PART Ill. The Board must be notified orany cbange in TYPE OF APPEAL CHECK ONE OF THE FOLLOWING TO fNDICATE THE TYPE OF APPEAL YOU ARE FILING: --.U- a. Disciplinary: (check applicable action(s). Dismissal, _ _Suspension, --- ___Demotion, --x--x--ReduClion in S;I[a0'; b. Disabiliry Separation; c. Rule or Law Violation (complete Pan IV. of this fonn); d. Reduction in ForcelLayoff{complete Pan IV. of this form); e, Allocation (position classification) (complete Part V. oflhis form): _ _ f. Declaratory Ruling (see WAC 358-20-050): ----------------------- -------- PART IV. RULE VIOLA TION OR lUCTION-IN-FORCE APPEALS ONLY W'hat Rule(s) or Law(s) do you believe were violated? Explain the particular circumstances of the alleged violation: How were you adversely affected by we alleged violmion? What remedy are you requesting in this case? PARTV. ALLOCATION APPEALS ONL Y Has there been a review of your allocation':' Y,,-- No_ _ Ifso, by whom?? . _ What is your present classification?' _ To which class do you think _ ~our position should be allocated?, 11.7 /7 5 DATE Of I\PPELLANT OR I\EPRESENTAT -------- SIG~ED - :!-(o\SE RIVElAND Secrelary STATE OF WASHINGTON DEPARTMENT OF CORRECTIONS WASHINGTON STATE REFORMATORY P.O. Box 777 • Monroe, Washington 98272-0777 September 28, 1995 PERSONA£ DELIVERY Annette Belden 12304 227th Avenue S.E. Monroe, WA 98272 Mrs. Belden: This is official notification that you will be reduced in pay ten percent for a period of one year within your present class of Registered Nurse 3, salary range 49N, step P, $4.074.00 per month to step L, $3690.00 per month, effective October 16, 1995 through October 15, 1996. This disciplinary action is taken pursuant to the civil Service Law of Washington State, chapter 41.06, revised Code of Washington, and the Merit System Rules, Title 35, Washington Administrative Code Section 356-34-010 (l-a) Neglect of Duty, (l-c) Incompetence, (l-d) Insubordination, (l-h) Gross misconduct, and 356-34-020 Reduction in Salary - Demotion - Procedure. This action has become necessary because. of your unacceptable behavior which is enumerated and specified in the following: 1) You neglected your duty, committed an. act of gross misconduct, and were insubordinate in that on March 27, 1995 it was discovered that you failed to comply with my written directive for you to provide me copies of documents which you attached to nine (9) complaints you filed with the Washington State Board of Practical Nursing. You had submitted, as an agent of the Department, a complaint to the Board of Nursing against Jayne Morse, a Licensed Practical Nurse under your supervision. Upon Ms. Morse's rebuttal to your allegations, I directed you to provide me with all copies of documents which you had submitted to the Board of Nursing. Although you had provided numerous Departmental documents to the Board, you failed to provide me with the same information. Although you submitted some material, the following documents were not provided me as I had directed: (a) Page 005, Letter of Reprimand dated 7/12/95; (b) Page 006, Memo Prescription pickups dated 3/30/94; (c) Page 013, Page from PT file Warneking dated 3/19/94; (d) Page 014, Valley General ER Sheet; (e) Page 032, Statement regarding evaluation; (f) Page 033, Evaluation page 2 dated 5/4/94; (g) Page 034, Evaluation Additional sheet; (h) Page 035, , recycled paper Page Two September 28, 1995 Evaluation page 3; (i) Page 040, Notes of staff meeting dated 12/8/93; (j) Page 055, May Phenobarb sheet McGinnis dated 6/94; (k) Page 063, Marc log dated 6/94; (1) Page 064, Log dated 7/94; (m) Page 065, Narc log dated 7/94; (n) Page 072, Accident/incident dated 2/14/94; (0) Page 075, Lab slip LeBlanc dated 3/2/94; (p) Page 083, Letter from AB to Lt. Pearson dated 4/1/94; (q) Page 087, Chart Note DY W.M. dated 3/15/94. (Attachment #1) You knowingly did not comply with my February 6, 1995 directive. Even though my instruction to you was very clear, you failed to advise me of any confusion you may have had. As an employee and supervisor of the Department, you have a duty to comply with all directives I issue. Your failure to obey an order by the highest ranking official at the Washington State Reformatory is considered neglect of duty, gross misconduct and insubordination and illustrates your unwillingness to accept direction. Furthermore, your insubordination demonstrates your failure to accept authority and supervision. I must be able to rely upon subordinate staff to perform in accordance with my directives and policies. 2) You committed a second act of gross misconduct and neglected your duty in that on March 27, 1995 it was discovered that .you had allowed your Registered Nurse license to expire. Your license was expired between October 25, 1994 and December 22, 1994, yet you continued to perform nursing functions. practicing as a Registered Nurse without a license is unlawful. You have a duty to maintain the required license and to take all necessary actions to ensure that it be current. Licenses for all health care professionals expire on their birthday in order that it be easily remembered. Your actions of misconduct have sUbjected the Department to sUbstantial liability for your disregard in maintaining a current license while caring for patients in our charge. (Attachment #2) 3) You have been incompetent in accomplishing your duties as evidenced by an employee performance evaluation which covers the period from January 3, 1995 to June 23, 1995. (Attachment #3) This special evaluation reflects that you fail to meet minimum requirements in all six (6) performance dimensions. This evaluation is laden with examples of substandard performance and behavior which cannot be tolerated especially at a Registered Nurse 3 level. Your inability to perform at an acceptable and satisfactory level as the head of nursing personnel cannot be tolerated. Page Three September 28, 1995 Additionally, in reviewing your personnel file, I find the following documents of more unacceptable performance and unacceptable behavior: A) A memorandum dated June 15, 1995 by Norma Gray, Health Care Manager, in which an incident with an Licensed Practical Nurse was brought to your attention. You had failed to provide the post exposure package following a nursing personnel's expose to blood and body fluid; (Attachment #4) B) A memorandum dated June 15, 1995 by Norma Gray, Health Care Manager, in which she addressed your failure to properly supervise a Registered Nurse who had been incorrectly prepouring narcotics, performing lab draws and working with IV lines without using gloves; (Attachment #5) C) A memo dated June 15, 1995 by Norma Gray in which she reminded you of a June 1, 1995 instruction to you to advise nurses on the night shift to identify patients on narcotics and to then ensure that the inmates be placed on "Sports lay in"; (Attachment #6) D) A memo dated June 16, 1995 from Norma Gray in which she instructed you to perform lab draws on inmates and to pass medications during a complete med line. (Attachment #7) Copies of the two Employee Conduct Reports, the Employee Performance Evaluation, and memoranda from Norma Gray, Health Care Manager, are attached hereto and incorporated herein. (Attachments 1 - 7) In conclusion, based on my review of your prior performance and the more recent incidents of neglectful and unacceptable behavior, I have determined to reduce your salary. Norma Gray, Health Care Manager, will assist you in meeting standards of performance and will identify your skills which must be improved. Your performance will be monitored and evaluated quarterly. You will be appraised, via discussions with your supervisor and employee performance evaluations will reflect how your performance meets the standards established by your supervisor. Formal quarterly meetings with you should further provide you with the guidance you require. I am in hopes that significant improvement in your behavior/performance will be evident. You are also placed on notice that any future actions of wrongdoing may result in disciplinary action up to and including dismissal. Page Four September 28, 1995 Under the provisions of the Washington Administrative Code 358-20-010 and 040, you have the right to appeal this action to the Personnel Appeals Board. Your appeal must be filed in writing to the Office of the Executive Secretary, Personnel Appeals Board, 2828 Capitol Boulevard, Olympia, Wa 98504, within thirty 930) days after the effective date stated in paragraph one of this letter or you have the right to file a grievance under the provisions of Article 10 of the Collective Bargaining Agreement between the Department of Corrections and the Washington Public Employees Association. e, uper1ntendent Reformatory KDC:jh Attachments cc: Jennie Adkins, Director, Division of Human Resources Eldon Vail, Assistant Director, Division of Prisons Kathy L. Dalton, Assistant Attorney General Cheryl Landers, Northwest Area Personnel Manager L. Nani McLaughlin, Personnel Supervisor Personnel File ... CHASE RIVELAND Secrelaty STATE OF WASHINGTON DEPARTMENT OF CORRECTIONS MEMORANDUM TO: DATE: Annette Belden, RN 3 6/15/95 ~ FROM: Norma L •. GraNHOI 2 SUBJECT: Jayne Morse, LPN Yesterday, June 14, 1995 Jayne Morse, LPN reported a needle stick to you that occurred earlier in the Dialysis Room. At the time Jayne reported to you we were in the fourth floor hospital morning report, at which time you left the room to go get Jayne an exposure packet. As the nursing supervisor it is your responsibility not only to provide the post exposure' package following any such incident, but you are also expected to explain to the nurses how they fill out the paperwork and what procedures they should follow. This was not done with Jayne and she states that you told her she would have to take sick leave to go down to see her physician. Anytime an employee has exposure to blood and body fluid they should be instructed to either see their own physician within 24 hours or they should be sent to Valley General Hospital to be checked. These visits are not at the employees expense nor are they expected to use sick leave to make these appointments. Please review the post exposure packet and the Infection Control Manual to update yourself on the proper procedures to follow if incidents like this occur in the future. cc: K. DUCharme, Superintendent onn&~lt£ir. Jayne Morse personne~fl1e two file , NLG/cm ATI:d.CHMENT # PAGE DOC 2·1101111891 ---tf-+----_ ---tl--OF--7/.·. _ CHASE AIVELANO Secretary STATE OF WASHINGTON DEPARTMENT OF CORRECTIONS MEMORANDUM TO: Annette Belden, RN 3 FROM;' Norma L. Gra*CM 2 DATE: 6/15/95 SUBJECT: Dorothy Stithem, RN 2 It was brought to my attention today that Dorothy Stithem, RN 2 has been prepouring narcotics, putting them in unmarked paper fluted cups, and then placing them in an unmarked drawer in the medcart. This is an unsafe and unacceptable practice. It was also brought to my attention that she has been doing lab draws and working with IV lines without using gloves. In one incident she assisted in securing the IV line on an HIV positive patient without the use of gloves. According to OSHA, WISHA, and the Department of Health the institution could be fined $5,000.00 dollars per nurse if this practice were reported to the Department of Health. Please discuss these two issues with Dorothy and prepare a letter of counseling outlining the proper technique she should be using. I will review the letter of counseling on Tuesday, June 20th, 1995 prior to you issuinq it to her. cc: K. DUCharme, Superintendent ~ftJt'fJ'6lf1.." coroEny:stithem personnel file file NLG/C1D An:~CHMENT # _ _~>_)""-~GE DOC 2.110111/191 OF~ _ _ CHASE RIVELANO Secretary STATE OF WASHINGTON DEPARTMENT OF CORRECTIONS MEMORANDUM TO: Annette Belden, .. DATE: RN 3 6/15/95 ~ FROM: Norma L.· Gray~CM 2 SUBJECT: Memos On 6/1/95 I instructed you to write a memo to the niqht shift RN'S requestinq them to look up all patients currently on narcotics and then to check their chart to see if they had been put on a sports layin. As of this date I have received nothing from you or the night shift nurses. Please follow through and I will expect a current list in my mailbox no later ~han June 19, 1995. cc: --- K. OuCharme, Superintendent fJ.le NLG/cm " An,~CHMENT # _ _~tO-,-- _ PAGE _ _-/.J__ oF_+I_ _ DOC 2·\101111191 ~HASE AIVELANO Secretary STATE OF WASHINGTON DEPARTMENT OF CORRECTIONS MEMORANDUM TO: Annette Belden, RN 3 17l1AJUl.4~ ;t FROM: Norma -'L-: Gray, HCM 2 DATE: 6/16/95 SUBJECT: Lab draws and med1ine Earlier this week I asked you if you had performed any lab draws on inmates or if you had passed meds at one medline. You stated that you had observed a couple of med1ines and that you had practiced lab on four staff members but had not done any labs on inmates. During this next week of June 19 through the 23rd, 1995 I will expect you to do all the labs on one day and pass medications during one complete medline. If you have any questions regarding these instructions, please see me. cc: K. DUCharme, Superintendent file ~r.d'a1'lnat·!I:jtl;Je NLG/C1D) - \ IV .';... ~§~f2:IIIV1I~fO] JUN 1 r; 199J -PERSONi'lEl OFFICE WASi, iI~,r;U ..y:~1"A...t:-= - "'....... . .,-"•.". ~,-r." ~ .. ATTACHMENT # PAGE DOC 2.110 Ill/a" Z'-- ('.... ---tl-- oF I _ .. EMP~~YEE DEPARTMENT OF CORRECTIONS CONDUCT REPORT THIS FORM TO BE USED IN COMPLIANCE WITH POLICY DIRECTIVE NO. 857.005 INSTRUCTIONS AND TIME LIMITS: 1. The person making the report shall provide a clear description of the incident under "Description of Incident" and. with any witness(es) or person(s) having knowledge. shall sign in the space provided and submit to the supervisor of the involved employee within fourteen (14) calendar days after the date of discovery of an employee's alleged misconduct. 2. The form shall be submitted to the employee involved who shall complete the "Employee's Statement" and return the report to his I her supervisor within seven (7) calendar days following the date of receipt. 3. The appropriate supervisor shall review the facts of the incident, complete the "Supervisor's Report" and submit the report to the Office Head within seven (7) calendar days following the date of receipt. 4. The Office Head or designated representative shall review and within thirty (30) calendar days following the date of receipt determine whether misconduct has occurred. This shall be reported under "Administrative Comments" and shared with the employee. When the supervisor and Office Head are the same person, the supervisor's supervisor shall complete the Administrative Comments. ORGANIZATIONAL UNIT ,p~OYEE INYO~ YEO WSR Health Services Annette Belden OATE OF INCIDENT :smONTI~E RN 111 3/27/95 I TIME OF INCIDENT 0 AM 0 PM DESCRIPTION OF INCIDENT: It was brought to my attention on 3/27/95 through written and verbal communication from the Washington State Nursing Board of Licensing that your RN license was expired from 10/25/94 to 12/22/94. During that period of time you continued to function as the RN 111 at Washington State Reformatory. You failed to notify anyone that you were unlicensed even though your licensure is reQuired to perform your duties as a RN 111. IATED BY: (P~EASE PRlHTl orma L. Gray 'lIESSIES): I I Health POSITION TITLE n Care Manager 11 POSITION 1I1\.E \I POSl1ION TITLE 3~(J/9~ , ~;A -X'LI~, , ....-x ATIACHMENT# $IGNATUR DATE SIQNATUA DATELL PAGE. J I 01: , ..... ,.. .... Vlct :JI;)' .... CMt.N' I have received and read t' ECR dated 3/30/95 and I disagr with its contents as wri tten. Signature of Employee: PERVISOR'S REPORT: DATE RECEIVED BY SUPERVISO BY: Per the memo of Acting Superintendent Mike Williams, dated April 10, 1995, the time frame for· completion of the Supervisor's Report section of this Employee Conduct Report was suspended, with due date of May 1, 1995. See attached investigation report. Date: ~./C-.Mm~ NISTRAnVE COMMENTS: DATE RECEIVED BY OFFICE HEAD - , ... -..-.. __ .... S":- J - 9:r BY: ;. Signature of • Office Head: ;\ ClSTR18UTION- ORlOlNAL-EIo4P\,OYEE'S PERSONNEL FILE OHE COPY-EMP\,OYEE Date: ~ -/9'- fS" ~"':.IVeLAND 'A~ll'IY STATE OF WASHINGTON DEPARTMENT OF CORRECTIONS MEMORANDUM ): Annette Belden, , :OM: ~~:ma L.· RN 3 G~a:yfHCM 2 DATE: 6/15/95 SUBJECT: Memos On 6/1/95 I instructed you to write a memo'to the niqht shift RN'S requestinq them to look up all patients currently on narcotics and then to check their chart to see if they had been put on a Sports layin. As of this date I have received nothing from you or the night shift nurses. Please follow through and I will expect a current list in my mailbox no later 'tQan June 19, 1995. cc: K. DUCharme, Superintendent Annette Belden personnel file file NLG/c:m ,, , '-t" OC 2·\101111191 ~ /' ~ERIVELAND Secrelary /. STATE OF. WASHINGTON DEPARTMENT OF CORRECTIONS MEMORANDUM TO: NIGHT SHIFT DATE: 6/1/95 ~ FROM: Annette Belden, RN 3/143 SUBJECT: Sports lay-ins for patients on narcotics Please look up all patients on narcotics. Check chart to see if they have a sports lay-in on a HSR. If not, please do one and leave in my mail box. Thank you. cc: AS/em DOC 2·110111/891 Norma L. Gray, HCM 2 file .Ii: RIVEL."-NO I Secretarj' STATE OF WASHINGTON DEPARTMENT OF CORRECTIONS MEMORANDUM J: Shift Sargent DATE: Mary Yepez, RN II.,4-; 6/26/95 SUBJECT: Sports Lay Ins for Analgesics The following is a current list of inmates on prescribed analgesics, who should be restricted from sport activities. in compliance with their prescribed treatment. This list needs to be updated by telephone calls at the noted date of prescriDtic~ aX~lratlon, and added to as others receive prescriptlons. Pledse dis~ributc .~ :he ~lock officers and supervising staff in the soor~s anc aC:1vity centers. NAME DOC 1/ EXPIRATION DATE McGinnis. Earl powell. Ford LeBlanc, Byron Bovat. ~'arc Braud, Cl ; fford Delmarter, Dennis 929181 235359 702036 974343 623428 247356 7/4 (prob, indefinite) 718 (prab. indefinite) 7/4 (prob. indefinite) 6/29 7/12 A-339 A-416 A-317 A-418 A-312 A-239 Fanninng, Michael 288319 9/9 B-234 Dewyer, John Early, Llyod Horn, John 967818 " 937574 975475 7/21 (prab. indefinite) 9/21 (prob. indefinite) 6/31 C-408 C-118 C-316 12/95 Culbertson, Pat Thornton. Curtis Verdusco. Ignaci 0 622329 624308 710811 7/9 (prob. indefinite) Z/9 Lprob. indefinite) 7/14 0-213 0-129 0-214 MacDonnovan, Jesse Dyer. Donald Ccndon ," Steve Doss. Everett 988659 264782 978256 979827 6/31 8/1 (prob. indefinite) 7/20 (prob. indefinite) 9/12 3A 3A-04 cc: :x: HOUSE 2·\ 10 (W891 Annette Belden, RN III Narma Gray, HCM 3A-09 3A-05 "Norma-L. -Gray,- HCM 2 5/25/95 .... " Response to your memo of 5/17/95 Monitoring Medication Cards. I have monitored cards monthly in a timely fashion. I have instructed staff in improving each month according to the deficiencies that I noted. The med cards have improved 100%. Last month the last, remaining issue I saw was DC correctly. I have scanned the cards and see an improvement already. The monthly staffschedule·has been done on time. A continuing problem is requests given to me after the schedule is done. On the same day I hung the current schedule I made 4 changes. I have a new format and it looks good. St:aft are aware working on th~m. any questions., I as new needs are ot their special assignments and are doing or I talked to staff individually to see if they had will monitor that program. I will update the list recognized and new staff come on boar~. I wrote the ManDown Protocol for custody and medical. The response from S9t Hall and Captain Evans was good job. I have' established a new needle and syringe audit system. You approved it. I am disappointed in the system and will make changes as you suggested. I tri~to keep you verbally updated on a daily basis regarding progress on goals or expectations. I have devised an audit sheet for chart review. Its a good start but I think I will have to revise it. I have reviewed and submitted all medication reports, as we discussed. I have difficulty in getting the MLP to do their \. I I ."'! portion of, dot. 'As you recently suggested, I will have the report complete up to my portion and give you a copy and put them in the HLP's mail. ",,~. ; ;' . .; .. 1'11 ,:.. Iddld observeftthe nurses in the new sick call and gave them support as they needed it. r...t':'"'-\~. . I am schedu~ed with-Dr. saetrum tomorrow and hope to complete both the Emergency boxes and review the existing Disaster Inventory and make cpanges accordingly. I have observed both the morning and noon medication line. L. Creighton did the AM line and Dru Meloche did the afternoon line. Both were .equally organized and followed accepted standards of nursing practice. The inmates were quiet and orderly and behaved well. !, I have observed the diabetic line. It is very efficient. Most of the diabetics do their own sugars and Insulin. I have done the diabetic line myself. I have worked a 4 hour period on the IPU unit. I expect to do more in that area. . I have put the nursing protocols in place. I hope to write more. They are being used correctly. I have successfully done 5 blood draws as you requested and would like to do more • . I ha,,?e interviewed RN's and hired 3 intermittents. I have kept overtime to a minimum with intermittent scheduling. The crash cart inventory is accurate, however we will soon be changing both the contents and the box. The big test was that we pass~d the state Inspection with flying colors because I continually instructed staff on requirements and checked them myself. I have communicated verbally with you on all the requirements you have expected and yet in your memo you say you have not been informed. ,.' . ;.: .. ": .,:'" -----_._-~ - .. ._. I feel that' I have made a tremendous effort to comply with your style of management and will continue to do so. I am a good supervisor but it seems to me that you came in with preconceived judgements and plans. I feel we can resolve these issues. I have alwa~~_en~oyed.my job • • ", (1. " . • il. • •• cc: K. DUCharme, Superintendent Personnel file Vicki Howell file' .... .: ...... ..'"'4>- ' .. :.. AB/cm : -:: .1;" \ , ;.,:~~,:'., .. I" "'~~' i.e.: i~· :\-:: 1 lOS " ;.' :; . ',' ~- 6~~,' I. ~.: (. .~.,..,. til~L l.l\ ~t - ",. ,.,OJ.·" ,, • r I -. r l.~~{: i .:·· .:l{) _ '. ~. -~. ~.d~~t: (~~ ~ . ~·'J-t; . . 1 ·11:";.:,...•.. ,_.: l~htk~.. ;\.:1 .-~::..i:a~i v~ U';.· r ,'>..-;:: .. . <: k1 cL" ..'" '1ge.·:.t~cl .. ym. '~' " ': '{ \~'iJ ' " ~J: '. ,' :' - '" • I· 0 ..: '..;~.":.i Sf..'... ! : It} ~'t:' :;I.U:' ~ .i ~ .. J. "I. , :lHA. , J ~ t. ....... !·ta Vc r. '.:IV i ':.: '':CU£',: '\~:;. .'. '",ill -- 1. ~ r hiav. ~ ", .. '. . ,«wid; ..' ~~; ." . . r . .~(· I),c..... : "1'.. .;.~. \t:a~:: 'K.!,·~l. -;:1 t.ab;. t~!:l~)d \ Pfn"(:,'!( ~ ' .."oel::.;, ! 1'.,:' t ,:,.,.;!',~c-ns.. i~';:·..· ,;\,;j'; i,-~ }f', . .' '. ~ ~ awar~ ,:) f ·..?~k lI',{'~ :r.~1 ,. .J .' L> ,:. , '..~. ~,.4 etJt .-l.ny ~: \ rf)G:'.·-t:~· ..:; t. .. " 'I ~":~;" ~ 11(; ,'.,; ~ " !~, I L , ~ ---- cHAse RIVELANO Secretary STATE OF WASHINGTON ". DEPARTMENT OF CORRECTIONS MEM0AA.NDUM TO: Norma L. Gray, HCM 2 ~ DATE: 6/16/95 '. (;) FR0"1: . Annette Belden, RN 3 . .. . SUBJECT: Dorothy Stithem, RN 2 '. '. On 6/12/95 we discussed in your office that I needed to put Dorothy stithem on the 3rd floor because with the Inpatient Unit at a census of 12 that gives only 4 patients apiece. oriqinally in May I told you I planned to schedule Dorothy on the 3rd floor. You became upset and yelle~ -at me to put her on the 4th floor. I felf that was a poor decision because there is more experience to be.gained on the 3rd floor. You insisted she work the 4th floor and she has, I have remained with her a full day and observed her setting up, connecting and running IV meds. I observed her give regUlar medications and narcotics. I have seen her charting and have her notes to compare the charting for accuracy and compliance. She worked very well with other staff. On 6/14/95 we discussed the above and told you that a little slowness so far is her problem. Then we both agreed that this would no~ ~atter on night shift. On 6/14/95 I told you that on Tuesday I would like Dorothy on the 3rd floor to observe Dorothy doing a lab draw and dressing change. You will receive a written'report of her progress as agreed on 6/14/95. cc: K. Ducharme, Superintendent Annette Belden personnel file yicki Huett, WPEA file • " • ex Z,lI0 CIlIl" CHASE RIVELANO Secretary STATE OF WASHINGTON DEPARTMENT OF CORRECTIONS MEMORANDUM TO: DATE: Dorothy stithem, RN 2 " ."" FROM: Annet~e Belden, RN 3 MJ 6/23/95 SUBJECT: Performance You have been working day shift for a month. It has given me the opportunity to observe your work. Inpatient ~nit summary: You were assigned daily patients. 'You were able to care for them satisfactorily . . Your patients were complimentary about your care. You gave medications appropriately with the exception of one incident of prepouring narcotics inappropriately. You were noted to have handled blood products without gloves. Since then I have observed you utilizing proper aseptic technique in blood draws and IV preparation and dressing changes. Your observations and charting were good. Your verbal report was excellent. outpatient unit summary: . My general observation is that OPU day shift is to fast paced for you to accomplish. Medication line was very difficult for you and you could not adapt well. You were able to perform Block 3 medication line effectively. You were able to do the diabetics satisfactory. DOC 2.110 (l 11891 Sick call was fast paced for you. . Yo~ - , did blood draws appropriately • .. Summary: In general the day shift was to fast paced for you. However, you successfully demonstrated those procedures necessary for night shift. You will return to night shift July 1, 1995. cc: Norma L. Gray, HCM 2 Personnel file AB/cm , -IttkiJ o/.1¥fr , CHASE RIVELAND Secretary . STATE OF WASHINGTON DEPARTMENT OF CORRECTIONS MEMORANDUM TO: Annette Belden, RN 3 .' DATE: 6/15/95 .~ FROM: Norma L. Gra~HCM 2 SUBJECT: Jayne Morse, LPN Yesterday, June 14, 1995 Jayne Morse, LPN reported a needle stick to you that occurred earlier in the Dialysis Room. At the time Jayne reported to you we were in the fourth floor hospital morninq report, at which time you left the room to qo qet Jayne an exposure packet. As the nursing supervisor it is your responsibility not only to provide the post exposure-, package following any such incident, but you are also expected to explain to the nurses how they fill out the paperwork and what procedures they should follow. This was not done with Jayne and she states that you told her she would have to take sick leave to go down to see her physician. Anytime an employee has exposure to blood and body' fluid they should be instructed to either see their own physician within 24 hours or they should be sent to Valley General Hospital to be checked. These visits are not at the employees expense nor are they expected to use sick leave to make these appointments. Please review the post exposure packet and the Infection Control Manual to update yourself on the proper procedures to follow if incidents like this occur in the future. K. DUCharme, Superintendent Annette Belden personnel file Jayne Morse personnel file two file cc: NLG/cm ~ DOC 1·1\01\ 111191 :'!:d \ 1.001" '.:? :.::.:. '---.:.- . r. f. F-: ':-.' OJ> ~ ~ .- ..... " - - ~- .- Norma L. Gray, HeM 2 6/21/95 Annet~e Response to your memo of 6/15/95 regarding Jayne Morse, LPN J .. Belden, RN J Miss Morse has had another incident that required her filling out the Post Exposure Form in the past. She was well acquainted with it. I asked her if she knew how to do it, she said yes I'll just fill it out. I told her to call m~ if she had any questions. I asked he~ if she had checked the patients c~art, she said yes, he was clean. I asked if she had called a doctor; she said she would. r overheard her making an appointment with the doctor. I did no~ tell he~ to take sick time but I did tell her she could go when she had to. do not understand why you automatically send me accusatory memos without even asking me about the situation in question. I feel as though i'oU solicit every morsel of gossir; from malcom:ents ar.d write me as though it is true. It doesn't seem to matter whether the incident is a year or two old. I I feel as though you are deliberately discriminating against me and this has adversely affected by health. . also feel that yet.: continually undermine my position. cc: K. Ducharme, Superintendent Personnel file Vickie Howell, WPEA File AB/cm WPEA The Washington Public Employees Association • 1.800-544-wPEA HeadquarteR • 124 10th Ave SW Olympia WA 98601 • (360) 943·1121 Monroe Office • 20014 Hwy 2·E • Unit C Monroe WA 98212 • (360) 794-0733 Walla WaDa Otnee • 401 WMaln • Suite n 'IbU Free (800) 544-9732 Toll Free (800) 794-9732 'IbU Free (800) 529-9732 F~(380)367·1621 FAX F~(360)7~986 Walla Walla WA 99382 • (509) 529-8632 F~(509)52S-S487 W~~~~W~ID) OCT 26 1995 PERSONNE~ APPEALS BOARD Proms faxphane: cc: [JUIpI o Por)'OUfMYtcW 0 RqJly ASAP • WPEA The Washington Public Employees Association • 1-800·544·WPEA Headquarters • 124 10Lh Ave SW Olympia WA 98601 • (360) 949·1121 FAX (360) 357-'1627 1011 Free (800) 644·9732 Monroe Office • 20014 Hwy 2-K • Unit C Monroe WA 98272 • (360) 794-0793 FAX (360) 794-6986 1011 Free (800) 794·9732 Walla WaUa omcc • 401 W Main • SuJt4: FAX (509) 526-54A7 'Ibll lorec (800) 529-9732 October 26, 1995 Kenneth Latsch, executive Secretary Washington State Personnel Appeals Board PO Box 4091' Olympia WA 98504-0911 Re: Annette Belden, RN • WSR Enclosed Is the appeal and evidentiary documents regarding the appeal of the abOve named employee, covered Dy the WPEA-DOC CONTRACT. Please contact me through the WPEA Monroe office for scheduling or request for furthor Infonnallon.. Sincerely, eP~7Iaa~4~ John H. Collins Employee Relations Specialist (.Y~102Cll1o-zo.~) cc: Annetto Belden Phil ArchlDald, WPEA-W5R President Mark Lyons, WPEA General Counsel D Wana Walla WA 99362 • (509) 529-8632 APlEAJ,. FORM VASHlNOTON STATE PERSONNEL APPEALS !SOARD 821 Capital Blvd. ..0. Box 409 II I'H: )J~mpl.. WA '1$04-091 t fAX: SCAN 321-1481 (360) S86-14H I (360) 753-0 I39 PJUNT ok TYPE - SION ON PAoe 2 APPELLANT IDENTIFICATION ART I. NAM!;,_ _","~e~l::"~e::n~'ii:;'~a~nlfJD~e~t~t~eb:l.""" I........... dn.._ ....... HOME ADORESS~ ----~....,..,._.....I "'hl~J ~ 1e,@t€qrt\ID ~ U; 12304 22?th Avenue S E (NlImbcr WllleCl) ;:::;:~H~Q~n~r~Q~e:-::"j~wtl.lA:l..---'lCJUIlQt.,t;2,-,7~2 0C" 2 6 '9 (CII1, tUIiC IftCI ZIP code) PHONE NUMBERS: PE.RSONNE~ WORK: (360) 794-2600 APPEp.j..S BOARD (In"". alea ~) HOME: 95 (360) 791-4132 EMPLOYING AGENCY OR rNSTlTUTION: wash1ngcon Sf-ate Reformatory AGENCY OR INSTITUTION THAT TOOK ACTION YOU ARE APP!ALINO:._ _W;.;.;9;;.:R:.:....- PART II. REPRESENTATIVE'S NAME, ADOfl£SS AND TELEPHONE NliMBER: John H. Collins, 20014 HWY 2-E Monroe WA WPEA Employee RelacloDs Unit #C Speclalis~ 1 (360) 794-0733 98272 1 (800) 794-9732 TYPE OF APPEAL. PARTUJ. CHECK ONE OF THE FOl.LOWrNCi TO INDICATE TH~ T'(~E OF APP~AL YOU AItE PILINO: xx _ a. Disciplinary: (~hc~k appllcablc aCtlon(s). _ _ Dismissal, Suspension, b. Dlsabl1ll)' Sep.ratlon; _ _ Co _ _ _Demotion. Rule or Law Violation (complete Part IV. otahls ronn); d. Reduction In Forc:cJLayof1'(complctc Pan IV. orchis tOnn); Co Allocation (position ~lassifiealion) (completc Part V. of this runn); r. Declaralor)' Ruting (see WAC 3'8-20-0'0); ,. Excmptlon or Position. -.xx-Reduction in S3lary; _ \RTIV. RULE VIOLATION OR REt nON·IN-FORCE APPEALS ONLY What Rulc(s) or Llw(s) do you bellcve wcrc violated' Explain the particular circumstances of the alleged violation: How were )Iou advenel)' affeCtcd by the allcged violation' ----------------------------------_•..Wb.c remedy are you requesting In lhls ,u., PART V. ALLOCATION APPEALS ONLY Has lhere bten a review of )'our allocation? Vel_ 1(50, by whom'? _ Whal is your prescnt c:lasslficBllon? _ To which class do you think your position should be allocBlcd'? _ /tl.