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(1) The purpose of this procedure is to outline Southern Cross University's approach to identifying, assessing, and managing psychosocial hazards in the workplace in accordance with its obligations under work health and safety legislation. It supports the University’s commitment to providing a healthy and safe working and learning environment for its employees and others whose activities are under the University’s direction or control. (2) This procedure applies to all University employees. It also informs students, visitors, and other stakeholders of the University’s expectations in relation to psychosocial risk, to the extent that their activities may be affected by or contribute to those risks. (3) The procedure applies across all Southern Cross University work units, campuses, and controlled entities, including on-site, remote, and online work environments. (4) Work, health, and safety legislation include psychological health within its scope because persons conducting a business or undertaking (PCBUs), typically employers, have an obligation to ensure that the risk of psychosocial hazards is appropriately managed. Further, employees at all organisational levels also have a proactive duty to take reasonable care of their psychological health and not adversely impact other people's psychological health. (5) Psychosocial hazards can have many contributing factors, including: (6) The nature and prevalence of psychosocial hazards may vary across different types of work and work environments. For example, the psychosocial risks faced by academic, administrative, and client-facing roles may differ in kind and intensity. Accordingly, psychosocial risk assessments must be tailored to the specific context of the work and the work unit. (7) Exposure to psychosocial hazards can contribute to a range of health outcomes, including psychological injury and, in some cases, physical health impacts. These effects may occur immediately following exposure or may emerge over time. Risk management efforts should focus on eliminating or minimising work-related contributors to psychological harm so far as is reasonably practicable. (8) Individual factors such as a person’s health status, previous experiences, personal circumstances, and coping capacity may influence how they experience or respond to psychosocial hazards. While these factors are not within the University's control, they may affect a person's vulnerability to harm. Where relevant and appropriate, such factors should be considered when assessing psychosocial risk, provided this can be done lawfully, respectfully, and in consultation with the affected individual. (9) Individual responses to psychosocial hazards may vary depending on a range of factors, including work experience, personal circumstances, and individual coping capacity. While the University cannot and should not make assumptions about personal vulnerability, it recognises that some workers may require additional support to ensure a safe working environment. Where reasonably practicable and with appropriate regard to privacy and dignity, these factors may be considered during psychosocial risk assessment and consultation processes (10) Psychosocial hazards can combine and interact with each other, and physical hazards can increase the risk of harm. (11) Psychosocial hazards may interact or co-occur with other hazards, including physical risks, and may contribute cumulatively to the risk of harm. For example, an employee working remotely may experience both social isolation and physical discomfort due to a poor ergonomic setup. Risk assessments should consider the relevant work context and the reasonably foreseeable interactions between hazards, rather than assessing each in isolation. (12) An important consideration for psychosocial risk management is that, similarly to activities in the physical domain that carry risk (e.g., manual handling builds physical resilience), some level of stress can be positive when it is experienced in appropriate doses and within the framework of a well-performing organisational risk management framework. An example is a moderate level of job demands, which can be interpreted as a 'challenge' stressor that drives motivation and engagement in work tasks. (13) There are four key steps involved in managing psychosocial risks: (14) Throughout all four risk management steps, there are two important consistent considerations: (15) Managing risks of all types (physical and psychosocial) requires genuine and sufficient commitment and support from senior leaders. Such commitment ensures that risk management systems are allocated the resources needed to be effective, risk-related decisions are appropriately elevated and prioritised by SCU, and there is an ongoing commitment to verifying and monitoring psychosocial risks and their corresponding controls (leading to continuous improvement). Senior leaders must be aware of their duties and obligations personally (e.g., WHS Act 2011 Section 27 – Due diligence) and the general duties that apply to the PCBU (e.g., WHS Act 2011 Section 19 – Primary duty of care). (16) Consultation is critical for effective psychosocial risk management as outlined in WHSMP07:Consultation,Communication, and Participation. Relevant psychosocial hazards are summarised in Table 1. (17) The first step in identifying psychosocial hazards is to review meaningful data and patterns. Examples of the types of data that can be examined to inform the identification of psychosocial hazards include the following: (18) To assess the risk of one or more psychosocial hazards, consider the following questions: (19) Where possible, consultation with employees will occur as part of the risk assessment process. (20) SCU will seek to eliminate psychosocial risks where reasonably practicable. Where elimination is not possible, appropriate control measures will be implemented to minimise health and safety risks. Control strategies will focus on improving the way work is designed and managed. This may include adjustments to workload, clarification of roles and responsibilities, strengthening supervisory support, and addressing workplace interactions that may give rise to risk. (21) Physical conditions or environmental factors may contribute to psychosocial risk in some circumstances. For example, poor ergonomics, noise, or inadequate lighting may exacerbate feelings of isolation or strain. Physical risk factors will be addressed where this occurs using suitable control measures, including adjustments to the work environment or equipment. (22) Administrative measures, such as modifying work schedules, introducing clearer procedures, or providing additional training and support, may also form part of the control strategy. These measures should not be relied upon in isolation where more effective or systemic controls are available. Additional oversight or supervision may be required to ensure the controls remain effective over time. (23) Once controls have been put in place, SCU will ensure they are understood and supported by those responsible for their use. Controls should be checked from time to time to ensure they are still working as intended. Controls will also be reviewed if there are major changes to the work, new risks are identified, or a health and safety incident occurs. If a health and safety representative requests a review, it will be carried out as soon as reasonably practicable. If a control is found not to be effective, it must be adjusted or replaced. (24) All relevant documentation will be recorded and kept per WHS Legislation and other legislative obligations. (25) This procedure will be reviewed as per nominated review dates or because of other events, such as: HRP01: Psychosocial Hazard Management
Section 1 - Purpose and Scope
Section 2 - General Principles
Characteristics of psychosocial hazards
Managing psychosocial risks
Management commitment and support
Employee consultation
Psychosocial Risk Management
Step 1: Identify psychosocial hazards
How can psychosocial hazards be identified?
Step 2: Assess the risks
Step 3: Control the risks
Step 4: Proactively implement, maintain, monitor, and review the effectiveness of controls
Section 3 - Roles & Responsibilities
Section 4 - Records of Documentation
Section 5 - Revision and approval history
Top of PageSection 6 - References
Section 7 - Related Documents