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Inspector General Employee Information

When and what should I report to the OIG?

Employees should report any situation that involves suspected waste, fraud, abuse or mismanagement of NCUA programs, operations or assets. Examples of matters that should be reported include:

  • Contract and procurement fraud and collusion;
  • Bribery and acceptance of gratuities;
  • Gross mismanagement;
  • Misuse, embezzlement or theft of government property or funds;
  • Employee misconduct, such as misuse of official position or acceptance of unauthorized gifts and other illegal or unethical activities.

What if I am not sure whether to report something?

Call us anyway to ask whether what you have should be reported.

**Above all, please do not undertake your own investigation. The OIG has trained criminal investigators on staff to do this.

How to file a complaint

You may call the OIG Hotline at 703-518-6357 from 8:00 a.m. to 5:30 p.m. EDT to speak with an OIG investigator . After hours, you may leave a message and your call will be returned the next business day.

Outside of the Metropolitan DC area, call 800-778-4806.

You may write to us : National Credit Union Administration 1775 Duke Street
Alexandria, VA 22314-3428

or

OIG
PO Box 25705
Alexandria, VA 22313-5705

Mail sent to the OIG office post box is retrieved by the OIG staff. It does not go through the agency mail distribution center. You may also walk into our office at NCUA Headquarters in Alexandria. We will be happy to speak with you. We cannot guarantee the confidentiality of complaints sent via e-mail.

Must I cooperate with the IG?

NCUA Instruction 1910.08, October 14, 2003, provides that all NCUA employees must cooperate to the fullest extent with OIG auditors and investigators. This means that when an OIG auditor or investigator requests your assistance in an official OIG audit or investigation, you must provide any documents or testimony requested. Of course you do not forfeit your Fifth Amendment right not to incriminate yourself if you are accused of a criminal violation.

An employee who fails to cooperate with an official OIG audit or investigation may be subject to disciplinary action up to and including termination.

What to do during an audit

NCUA Instruction 1910.2, January 14, 1997, provides that all NCUA employees must cooperate to the fullest extent with OIG auditors and investigators. This means that when an OIG auditor requests your assistance in an official OIG audit, then you must provide any documents or testimony requested. Of course you do not forfeit your Fifth Amendment right not to incriminate yourself if you are accused of a criminal violation.

An employee who fails to cooperate with an official OIG audit, may be subject to disciplinary action up to and including termination.

What to do during an Investigation

It is important to cooperate fully with an OIG investigator who is conducting an official investigation. If the investigator asks for your statement or asks for documents, you must provide them. Of course, you do not forfeit your Fifth Amendment right not to incriminate yourself if you are accused of a criminal violation.

It is also important not to discuss an investigator’s questions and your answers with anyone else. This could interfere with the conduct of the investigation.

Ethics Questions

All ethics questions should be directed to the Designated Agency Ethics Official, the Deputy General Counsel, or his designee.

Is my identity confidential?

When you contact the IG you may ask to remain anonymous, or ask that your identity be kept confidential. Under Section 7(b) of the IG Act, the OIG must not disclose a complaining employee’s identity without his or her consent unless the IG determines that disclosure is unavoidable during the course of the investigation. Such disclosure is very rare and usually occurs when a court or Congressional committee requires it.

It is important to remember that if you ask to remain anonymous or to have your identity kept confidential, it may make it more difficult to investigate your complaint.

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