DOCUMENT RETENTION AND DESTRUCTION POLICY OF BIG BROTHERS BIG SISTERS OF CENTRAL ARIZONA (an Arizona nonprofit Agency)

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DOCUMENT RETENTION AND DESTRUCTION POLICY OF BIG BROTHERS BIG SISTERS OF CENTRAL ARIZONA (an Arizona nonprofit Agency) I. Purpose This Document Retention and Destruction Policy ( Policy ) provides for the systematic review, retention and destruction of documents received or created by Big Brothers Big Sisters of Central Arizona (the Agency ). This Policy contains guidelines for how long certain documents should be kept and how records should be destroyed. The Policy is designed to comply with federal and state laws and regulations, to eliminate accidental or innocent destruction of records and to facilitate the Agency s operations by promoting efficiency and freeing up valuable storage space. II. Document Retention and Destruction The Agency s documents will be kept for the length of time indicated in Section III below. Documents that are not listed below, but are substantially similar to a type of document that is listed, will be kept for the length of time that is indicated for the substantially similar document. Correspondence, internal memoranda, and email should be retained for the same period as the document they pertain to or support. As an example, a letter pertaining to a particular contract would be retained as long as the contract to which it pertains. Notwithstanding the time indicated below, the remainder of this Policy (e.g., Section VII) shall be considered prior to the destruction or cessation of retention of any document. If a record meets the description of more than one category, then the category requiring a longer retention period under this Policy shall be applicable to such record. Records should be maintained only for the recommended retention period. Records no longer required to be kept for business or legal purposes should be destroyed by shredding/destruction on company premises, or by contracting with a document shredding/destruction company that can provide a certificate of shred, as appropriate. The process of shredding/destruction should only be undertaken at the direction of the appropriate Vice President. All questions about the retention and destruction of specific records or departmental responsibility for maintaining certain types of records should be referred to the VP of Finance and Administration. Page 1 of 6

III. Corporate Recordkeeping Time Frames Formation and General Annual Reports to Secretary of State/Attorney General Articles of Incorporation Board Meeting and Board Committee Minutes Board Policies/Resolutions By-laws Client (closed files- Volunteers and Clients) Construction Documents Correspondence (general) Records that document tax-exempt status Accounting and Tax Records (Other than Employment Related) Final Annual Audits and Financial Statements Audit and controversy records (e.g., all correspondence with the IRS and any other tax or legal authority) Business Expense Records Cash Receipts Charts of Account Credit Card Receipts Depreciation Schedules Federal and State Information Returns (e.g., Form 990) Financial Records/Schedules Used in Preparation of Tax Returns Fixed Asset Records Future Relevance Records including any document that may have relevance to a transaction occurring in the future (e.g., tax and accounting information such as basis, depreciation schedules, improvements & maintenance costs, etc.) General Ledgers and Journals Invoices IRS Application for Tax-Exempt Status (Form 1023) IRS Form 1099s, W-8 and W-9 10 years after the filing of a return on which such information has relevance Page 2 of 6

Accounting and Tax Records - continued (Other than Employment Related) Journal Entries Ledgers (accounts payable & accounts receivable) Petty Cash Vouchers Sales Records (box office, concessions, gift shop) State Tax Exemption Documents (e.g., income tax, sales tax, property tax, etc.) Vouchers for Payments to Vendors, Employees and Others Bank Records Bank Deposit Slips Bank Reconciliations Bank Statements Check Registers Electronic Fund Transfer Documents Payroll and Employment Tax Records Earnings Records Employee identification records and information Fire Inspection Reports Garnishment Records IRS Forms W-2 and W-4; State Form A-4 Payroll Registers Payroll Tax Returns (IRS Forms 940 and 941) Severance agreements and evidence of payments State Unemployment Tax Records Unclaimed wages 10 years after 10 years after after final payment 10 years Employee Records Accident Reports and Worker s Compensation Records All Personnel Records (e.g., records relating to promotion, demotion or discharge) Employment Applications Employment and Termination Agreements 2 years Page 3 of 6

Employee Records - continued FMLA Agreements I-9 Forms after Job Ads 1 year Retirement and Pension Plan Documents Salary Schedules Time Cards after Donor / Grant Records Donor Records and Acknowledgement Letters Grant Applications and Contracts received Grant Applications and Contracts given or granted Hard copies of Donor Credit Card information Volunteer and Client Records (i) if the donation is part of a series of related donations, then 10 years from the end of the year in which the last related donation is made, (ii) if the donation is of property, then 10 years after the filing of a return on which such information has relevance, and (iii) 10 years in all other instances after Completion or as required by grant 30 days Purchasing & Sales Purchase orders Requisitions Sales contracts Shipping & receiving reports Page 4 of 6

Legal, Insurance and Safety Records Appraisals Copyright Registrations Environmental Studies General Contracts Insurance Policies Litigation Resolution Related (i.e., any document related to any litigation, consent decree, release, settlement agreement, final disposition, order, stipulation of dismissal, judgment, etc.) Litigation Claim Related (i.e., any document related to any allegation, petition, court record, filing, pleading, etc.) Leases OSHA Documents Real Estate Documents Stock and Bond Records Trademark Registrations following resolution and exhaustion of all administrative and appellate remedies 6 years after expiration after expiration IV. Electronic Documents and Records Electronic documents will be retained as if they were paper documents. Therefore, any electronic files, including records of donations made online, that fall into one of the document types on the above schedule will be maintained for the length time indicated. E-mail messages that need to be retained will be printed in hard copy and kept in the appropriate file. V. Emergency Planning The Agency s records will be stored in a safe, secure and accessible manner. Documents and financial files that are essential to keeping the Agency operating in an emergency will be duplicated or backed up at least every month and maintained off site. VI. Litigation Each director, officer, employee and staff member of the Agency ( Personnel ) has a responsibility to immediately notify the Agency s CFO/VP of Administration if such Personnel become aware of (i) an official governmental investigation into the Agency or (ii) a lawsuit against the Agency, which lawsuit is either commenced or appears imminent. Page 5 of 6

If the Agency receives notice of (i) an official governmental investigation or (ii) the filing of a lawsuit against the Agency, or (iii) of a lawsuit against the Agency the commencement of which is imminent, then document destruction procedures otherwise applicable under this Policy will be immediately and automatically suspended. Document destruction will only be suspended for the documents related to the investigation or actual or potential litigation. A suspension of document destruction does not affect the length of time a document will be retained following the of the suspension. Instead, after the suspension is lifted, documents will be destroyed after the original required retention period is met, including any time for which a suspension was in place. However, such item may be required to be retained for a longer period if required by the resolution of the litigation or, in connection with such suspension, such document is properly reclassified as either a Litigation Resolution Related document or a Litigation Claim Related document and such reclassification lengthens the time for retention of such document. VI. Approval, Review and Compliance The Board of Directors of the Agency is the approving authority for this Policy and is responsible for revising this Policy. The Board of Directors of the Agency will review this Policy as often as required by legal, regulatory, or Agency governance and, in all cases, at least annually. The failure of a member of Personnel to follow this Policy could result in possible civil and criminal sanctions against the Agency and members of Personnel and could also result in disciplinary action by the Agency against responsible members of Personnel. Page 6 of 6