CHARITY GOVERNANCE Looking ahead with clear vision

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CHARITY GOVERNANCE 2020 Looking ahead with clear vision

Contents FOREWORD 3 PART ONE GOOD FOUNDATIONS 1 WHAT AND WHO ARE WE HERE FOR? 4 Full edition includes: 2 EXPECTATIONS OF TRUSTEES 3 THE BUSINESS OF THE BOARD 4 ORGANISING FOR GOOD GOVERNANCE PART TWO THRIVING AND EXCELLING 5 A THRIVING ORGANISATION AND BOARD 6 PROBLEM SOLVING V SOLUTION BUILDING 7 BOARD DYNAMICS 8 THE TWO CRITICAL ROLES - CHAIRPERSON AND CHIEF EXECUTIVE 9 COMING TOGETHER FURTHER READING WHAT NEXT? CONTRIBUTORS

Foreword Good governance has always been key in all sectors. In the corporate world events such as Enron are still seen as bywords for the consequence of cracks in the model. But nowhere is governance more important than in the charity sector. Those with ultimate responsibility in not for profit organisations are giving their time voluntarily, but this does not absolve them from blame if things go wrong. Therefore the systems and structures within which they operate have to be especially clear and robust. A whole industry has grown up around effective governance, and managing risks. Training and guidance exists in abundance, much of it excellent. But things don t stand still, and best practice evolves. There seems to be an especially high focus on good (or bad) governance currently, following some high-profile charity collapses. Attention has moved beyond those in the sector bubble into the mainstream media. If you examine many of the easily available Charity Commission inquiry reports of the last few years, governance failings, usually from ignorance, are a marked feature of where things have gone wrong. Resolution is vital if lessons are to be learnt. In the last two months alone an academic qualification specifically about charity governance, and a new set of awards recognising and highlighting best practice have been launched. But improving governance is not just about guarding against failure. It should not just be a tick-box exercise following which trustees can sit comfortably and abdicate further responsibility. Charity Governance 2020 is about being as effective as possible. Raising average to good to outstanding, to enable a raise in the standards of delivery and outcomes. As well as constrictive internal analysis there is a role for professional advisers, be it your auditor, lawyer or a consultant. This can come with a cost, but realistically remunerated sound and robust advice can in the long-term be cheaper than that which is free. The independent assessment and expertise of a committed and knowledgeable outsider, with the experience of many other similar organisations can offer a fresh view. And talk to your peers. Learn from what others have done well and badly. RSM has vast experience looking at charities with an independent, understanding but critical eye. This guide uses that wealth of knowledge to not just provide a handy overview of the main issues and areas of debate, but frames them both individually and as a cohesive whole. It draws on that experience to highlight common problems and suggest practical solutions, remembering all the time that good governance is not set in stone once reviewed, and improved, but is a fluid process, that evolves within a robust structure. Not everything that follows will be for everyone, but most will be for all. There is no one-size-fits-all model, and some charities have individual restrictions, such as membership organisations. But subject to the specific requirements imposed by a charity s own governing document, there are lots of guiding principles that apply across the board, of all boards. If these are at least considered and where appropriate actioned, adhered to and developed, it should help realise good, if not, great governance. Charity Governance 2020 looking ahead with a clear vision for the next five years and beyond. Ian Allsop Charity commentator and writer 3

Part one Good foundations 1 WHAT AND WHO ARE WE HERE FOR? Framing the issue These are two important questions that are seldom considered. Some charity trustees seem to never quite get to the core of their organisation s purpose. The level of detail in the responsibility of stewardship can be all-consuming meaning that the fundamental questions of why the charity exists and who it is for are given insufficient consideration. But boards do not exist to micro-manage a charity; instead they should complement management by asking a different set of questions this is true governance. The what? and who? questions are also recognised by the regulator of charities in England and Wales. The Charity Commission defines six hallmarks of an effective charity and the first one is about being clear on a charity s purposes and direction: An effective charity is clear about its purposes, mission and values and uses them to direct all aspects of its work. Nonetheless accountability is important. Financial oversight is critical and charity board members will always have ultimate fiduciary responsibility. Without an ongoing cash inflow the charity cannot be sustained in perpetuity. But they need to be allied to the charity s core purpose. Charity Governance 2020 is about setting the agenda, challenging assumptions about the charity, and identifying the underlying values that drive strategy to determine what exactly are we trying to accomplish? 4

In our experience What is a board member? Something that every board member shares is the responsibility for having general control and management over the administration of the charity that they serve. This is clearly set out in the Charities Act 2011 but what does it mean in practice? Even the names to describe the title board member are varied in the not for profit sector. They are variously described as trustees, governors, committee members and directors. However, in the context of the drive to achieve high standards of governance the job descriptions are, in practice, interchangeable and largely inconsequential. For the purposes of this guide, the term trustee will be used. Whatever job title a board member is given in a particular charity, they are the people who lead the charity and decide how it is run. Being a trustee means making decisions that will impact on beneficiaries and with this responsibility comes accountability. In some ways this is no different from the role in a commercial organisation. However, it is worth noting that the main difference between a company director and a charity trustee. Directors duties are covered by company law, especially Companies Act 2006. Trustees duties are covered by charity law (statute and case). Both have similar duties to act in the best interests of the organisation; to exercise care; and to avoid conflicts of interest. The biggest difference is that trustees must ensure their charity acts within its charitable purposes and provides a public benefit; and demonstrate they have taken account of public benefit statutory guidance. Accountability The ultimate responsibility rests with the trustee to direct the affairs of a charity, and ensuring that it is solvent, well-run, and delivering charitable outcomes for the benefit of the public for which it has been set up. Along with this there are many other recognised legal duties for trustees. Compliance with charity law and the requirements of regulators such as Charity Commission of England and Wales and Office of the Scottish Charity Regulator (OSCR). Compliance with the charity s constitution and remaining true to the original charitable purpose and objects. Avoiding conflicts of interest and conflicts of loyalty including the misuse of charity funds or assets. Remaining solvent and using charitable funds and assets in furtherance of the charity s objects. Not unduly jeopardising the charity s endowment, funds, assets or reputation. Being careful when investing or borrowing funds. Making full use of trustees personal skills and experience. Obtaining external professional advice on all matters where there may be material risk to the charity, or where the trustees may be in breach of their duties. Additionally, the Charity Commission has suggested that trustees can demonstrate integrity if they have: acted within their powers; acted in good faith and only in interests of charity; adequately informed themselves; and taken into account all relevant factors, and disregarded irrelevant ones. All of these are extremely important in discharging fiduciary responsibilities but are only part of what might be defined as effective governance. For example, to be consistent with its charitable purpose a trustee of a charity established to relieve poverty may consider wider social responsibilities such as paying its staff a living wage rather than the legal minimum. This may also extend to employing ethical supply chains and having investments governed by a set of ethical values and policies. Expectations of the standard required for trustees have continued to increase (and become more complex) and in 2020 this is unlikely to reduce. But before knowing what is required by an individual trustee it is important to know what is trying to be accomplished by the charity. This first step in Charity Governance 2020 is a recommendation to start with the charitable objects; the mission statement; the raison d etre. Mission statement Most trustees are serving as unpaid volunteers being drawn from all areas of society bound by the same desire to serve Being a trustee means making decisions that will impact on beneficiaries and with this responsibility comes accountability. 5

EXAMPLES OF MISSION STATEMENTS Dogs Trust: Working towards the day when all dogs can enjoy a happy life, free from the threat of unnecessary destruction. We are absolutely determined to STOP healthy dogs being put to sleep in the UK and beyond. We never destroy a healthy dog in our care. Canal & River Trust; To inspire people to connect with our canals and rivers. Royal British Legion: To be the number one provider of welfare, comradeship, representation and remembrance for the armed forces community. their charity to make decisions that will positively impact on the charity s beneficiaries. It is therefore essential that a trustee understands the purpose behind their charity and that this is consistently adopted. A strong, yet concise mission statement based upon a charity s values can help achieve this. A corporate entity will measure its success or otherwise by its profit and loss account but this is not the main purpose of a charity. Instead a mission statement can be used as a framework to facilitate consistent decisions by trustees which can also be communicated to stakeholders such as employees and funders in plain English. The best mission statements include a clear description of a charity s future objectives to achieve the needs of its beneficiaries and are often developed from the charity s own objects clause in its constitution or governing document. An effective mission statement is concise and unforgettable for trustees to articulate when asked by stakeholders. An ineffective mission statement relies on sound bites that may lack depth and not withstand further analysis. Fostering innovation and engaging beneficiaries A well thought through mission statement will be developed in line with an organisation s strategic plan having taken account of the views of trustees, beneficiaries, management, employees, funders and many other interested stakeholders in the community it serves. However, a mission statement can only reflect a given point in time. A board should set time aside from fulfilling its fiduciary duties to consider exactly what it trying to be accomplished. Often new ideas will come from recently appointed trustees and should be welcomed. A but we have always done it this way attitude can stifle innovation. Societal changes and technological developments will require the charity to constantly adapt and become more innovative, both in its own operation, and in how it identifies and addresses the changing needs of beneficiaries. Sometimes the charity s original purpose will, hopefully, be fulfilled. Therefore, a trustee should consider the need to review the charity s mission statement on a regular basis. What does success look like? Having a clearly defined mission statement will assist in determining whether there are relevant and measurable benefits, arising as a result of the charity s activities. This is becoming increasingly important to funders who expect to see a social as well as financial return on their investment, for example in the evolving area of social investment or payment-by-results initiatives. A trustee that is achieving effective governance will have several well defined measures to assess the charity s performance and the impact on its beneficiaries. As with the mission statement the performance measures will need to be reviewed regularly to determine if they are still fit for purpose and ultimately providing an informed view of performance against the mission statement. 6

GOOD GOVERNANCE INDICATORS 1 In addition to fiduciary duties trustees set aside time to consider what exactly are we trying to accomplish? 2 The existence of a mission statement that complements the charity s vision and strategic plan. Even if no mission statement exists then every trustee would be able to articulate the rationale for the activities being undertaken and how performance is being measured. For example, can they identify the charity s three most important objectives, and whether they are achieving them? 3 Trustees that engage and, where appropriate, consult with beneficiaries and other interested parties. Sufficient involvement of stakeholders in developing the charity s strategy and confirming its underlying values. 4 A charity that is able to consider and measure the impact that it has on its beneficiaries. 5 Trustees that are able to horizon-scan, and recognise an external perspective and wider context within which their organisation operates. 7

Part one Good foundations Each month we will release a snippet of each chapter, if you cannot wait to read more or would like further information please fill in your details to request a full edition of the document: rsmuk.com/charity-governance-2020 WHAT AND WHO ARE WE HERE FOR? UPCOMING CHAPTERS Expectation of trustees The business of the board Organising for good governance A thriving organisation and board Problem solving V solution building Board dynamics The two critical roles chairperson and chief executive Coming together rsmuk.com The UK group of companies and LLPs trading as RSM is a member of the RSM network. RSM is the trading name used by the members of the RSM network. Each member of the RSM network is an independent accounting and consulting firm, each of which practices in its own right. The RSM network is not itself a separate legal entity of any description in any jurisdiction. The RSM network is administered by RSM International Limited, a company registered in England and Wales (company number 4040598) whose registered office is at 50 Cannon Street, London EC4N 6JJ. The brand and trademark RSM and other intellectual property rights used by members of the network are owned by RSM International Association, an association governed by article 60 et seq of the Civil Code of Switzerland whose seat is in Zug. RSM UK Consulting LLP, RSM Corporate Finance LLP, RSM Restructuring Advisory LLP, RSM Risk Assurance Services LLP, RSM Tax and Advisory Services LLP, RSM UK Audit LLP and RSM UK Tax and Accounting Limited are not authorised under the Financial Services and Markets Act 2000 but we are able in certain circumstances to offer a limited range of investment services because we are members of the Institute of Chartered Accountants in England and Wales. We can provide these investment services if they are an incidental part of the professional services we have been engaged to provide. Baker Tilly Creditor Services LLP is authorised and regulated by the Financial Conduct Authority for credit-related regulated activities. RSM & Co (UK) Limited is authorised and regulated by the Financial Conduct Authority to conduct a range of investment business activities. Whilst every effort has been made to ensure accuracy, information contained in this communication may not be comprehensive and recipients should not act upon it without seeking professional advice. 2016 RSM UK Group LLP, all rights reserved. 1465