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Risk Management Update

The chapters and colonies listed below have been found to have violated portions of Delta Chi’s Risk Management Policies. Chapters and colonies who fall into this category are assigned corrective actions as outlined in the By-Laws, Article V, Section 3 of Delta Chi Law. Each chapter or colony is held to a strict compliance timeline for corrective action education, and progress is monitored by its Regent, Alumni Volunteers, and IHQ Staff. If you have any questions about any of the information listed below, please contact Delta Chi IHQ’s Director of Member Safety.

ChicoPendingViolation of Alcohol and Safety PoliciesPending

CHAPTER/COLONY LEVEL VIOLATION RELEASE
Clemson IV Violation of Hazing Policy 12/31/20
Northern Colorado IV Violation of Drug Policy 5/31/21
Northwestern IV Violation of Hard Alcohol and Safety Policies 6/18/21
American III Violation of Alcohol Policy 12/31/20
Michigan III Violation of Hazing, Alcohol, and Safety Policies 12/31/20
Penn State III Violation of Alcohol Policy and Corrective Action 12/31/20
East Stroudsburg II Violation of Hard Alcohol Policy 12/31/20
Florida State II Violation of Alcohol Policy and Corrective Action 12/31/20
Lehigh II Violation of Alcohol Policy 12/31/20
Northern Illinois II Violation of Hard Alcohol Policy 12/31/20
Syracuse II Violation of Alcohol Policy 12/31/20
Alabama I Violation of Alcohol Policy 12/31/20
Southern Illinois I Violation of Alcohol and Safety Policies 12/31/20
Appalachian State Pending Violation of Alcohol and Safety Policies Pending
Radford Pending Violation of Alcohol and Safety Policies Pending
Pittsburgh Pending Violation of Safety Policy Pending
Troy Pending Violation of Safety Policy Pending
Chico Pending Violation of Alcohol and Safety Policies Pending
San Diego Pending Violation of Alcohol and Safety Policies Pending

 

Level 1
Level 1 corrective action shall include, but is not limited to, ordering that the chapter cease and desist from the conduct in the future and be in accordance with the requirements of Delta Chi Law and the Risk Management Policy of the Fraternity. The chapter shall be required to submit to the Executive Director a written statement that all prohibited conduct has been stopped. The statement shall be signed by the “A”, “BB”, and members of the chapter, as specified in the report, that were involved with or had supervision over the conduct in the violation.

Level 2
Level 2 corrective action shall include, but is not limited to, all provisions of level 1, plus the chapter shall submit a written plan of procedures and/or activities that comply with the Fraternity’s Risk Management Policy covering the activities in violation. The plan shall be updated at least twice per year for the period of corrective action.

Level 3
Level 3 corrective action shall include, but is not limited to, all provisions of level 1 and 2, plus supervision of the activities of the chapter that were involved in the violation by one or more persons acceptable to the Executive Director.

Level 4
Level 4 corrective action shall include, but is not limited to, all provisions of level 1, 2, and 3. Chapters under level 4 corrective action shall either be placed in conservatorship, as provided in Delta Chi Law, or shall operate under the direct supervision of the Executive Director.

Level 5
Level 5 corrective action shall require the suspension of the charter and the cessation of operation of the chapter, as it then exists.  Re-establishment of the chapter shall be subject to the terms and conditions of the Board of Regents after a minimum one-year period.

 

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