Whistleblowing and Grievance Mechanism Policies

WHISTLEBLOWING POLICY

1. About this policy

     1.1 We are committed to conducting our business with honesty and integrity and we expect all employees,             stakeholders and external parties to maintain high standards. Any suspected wrongdoing should be             reported as soon as possible.

      1.2 Individuals who work with or for us whether internally or through external collaboration are often best              positioned to identify early indications of potential misconduct. This means that there may be instances              where individuals who are not employees need to report a concern.

      1.3 This policy covers all external contractors, suppliers, partners, and other third parties such as customers,               who engage with our organisation.

      1.4 We may amend this policy at any time.

2. What is whistleblowing?

      2.1 Whistleblowing is the reporting of suspected wrongdoing or dangers in relation to our activities. This              includes bribery, facilitation of tax evasion, fraud or other criminal activity, miscarriages of justice, health              and safety risks, damage to the environment and any breach of legal or professional obligations.

3. What are we doing about it?

      3.1 We are committed to fostering a culture of integrity by ensuring our people are informed about how to                    report concerns. Clear internal policies are in place to guide the reporting of potential misconduct, with a             strong emphasis on protecting and supporting those who come forward.

     3.2 Those not directly working for us and without access to our internal systems can still voice their concerns               and report misconduct by reaching out via our dedicated email address.

4. How to raise a concern

      4.1 We hope that in many cases you will be able to raise any concerns with your main point of contact within              our organisation. However, where you prefer not to raise it with your point of contact for any reason, you              should send your concerns to: whistleblowing@bsqgroup.co.uk.

      4.2 We will follow up with you as soon as possible to discuss your concern. If you would prefer to be               contacted by phone, please include your telephone number within your email. Your email should include              as much detail as possible about the concern, including any specific dates or names of those involved              where possible.

5. Confidentiality

        5.1 We understand that coming forward with a concern can be difficult. We are committed to treating all             disclosures seriously and, wherever possible, in confidence. Your identity will only be shared with those             involved in handling or investigating the concern and only when absolutely necessary. We will take all             reasonable steps to ensure your privacy is protected throughout the process.

6. External disclosures

        6.1 This policy aims to provide a mechanism for reporting, investigating, and remedying any wrongdoing in               our organisation or operations. In most cases, you should not need to alert anyone externally.

        6.2 The law recognises that in some circumstances it may be appropriate for you to report your concerns to                an external body such as a regulator. We encourage you to seek advice before reporting a concern to                anyone external.

7. Protection and support for whistleblowers

       7.1 We will not tolerate retaliation against anyone who raises a concern in good faith. External parties who               raise genuine concerns will be supported and protected from adverse treatment. If you believe you have               faced retaliation or negative consequences as a result of speaking up, please contact us immediately. We               will take appropriate steps to investigate and address any such issues. If the matter is not remedied, you               should raise it formally using our formal complaints process.

       7.2 No one must threaten or retaliate against whistleblowers in any way. If they are involved in such conduct,               they may be subject to appropriate action as per our agreements or applicable law. In some cases, the               whistleblower could have a right to sue the individual concerned personally for compensation in a court               of law.

       7.3 However, if we conclude that a whistleblower has made false allegations maliciously, the whistleblower              may be subject to appropriate action as per our agreements or applicable law.

EXTERNAL GRIEVANCE/COMPLAINTS MECHANISM POLICY

1. Purpose
        1.1 This policy outlines our commitment to providing an accessible and transparent grievance and complaints            mechanism for stakeholders, including but not limited to contractors, partners, vendors, customers, and            the general public. Our aim is to ensure that concerns are addressed in a fair, timely, and respectful manner            in line with our values and legal obligations.

2. Scope

        2.1 This policy applies to all stakeholders who wish to raise grievances or complaints regarding business             practices, operations, or any aspect of their relationship with us, excluding internal employee grievances             which are addressed by the internal grievance policy.

3. Reporting a Grievance or Complaint

       3.1 We offer several means for stakeholders to raise grievances or complaints:

              a. Dedicated Email Address: Stakeholders can submit grievances or complaints via our dedicated email                 address: complaints@71-75.co.uk.

             b. Business-to-Business Contracts: The majority of contracts with us include provisions for dispute                 resolution in case of grievances. You should review these and follow the dispute resolution procedure                 set out within the agreement.

             c. Open-Door Policy: We encourage stakeholders to approach us directly with concerns. We are                 committed to maintaining open lines of communication.

             d. Customer Services: Our customer service department is available to address any concerns or                 complaints.

             e. Consumer Complaints Mechanisms: We have established consumer complaints processes for                 addressing issues related to products and services. These can be found by visiting the Terms                 and Conditions page.

             f. Supplier & Third Party Mechanisms: Suppliers and other external parties can raise issues through the                grievance mechanisms outlined in this policy.

            g. Direct Stakeholder Engagement: Stakeholders may also engage with us directly through meetings,               calls, or written communication.

4. Information on the External Grievance Process

        4.1 When submitting a grievance or complaint, the person submitting the concern will be provided with clear                information regarding the grievance process.

        4.2 The grievance must pertain to a breach of agreements, unethical practices, business disputes, or other                significant issues related to the person’s engagement with us.

         4.3 Once a grievance is submitted, the following steps will be followed:

                4.3.1 We will acknowledge receipt of the grievance.

                4.3.2 We will investigate the grievance in a fair and impartial manner.

                4.3.3 We will communicate the progress of the investigation and a resolution or decision within a                 reasonable timeframe.

         4.4 Each grievance will be processed with the aim of reaching a resolution within 30 days from the date of                  submission, unless a more complex investigation is required.

5. Resolution and Communication

         5.1 We commit to responding to all grievances or complaints in a clear and transparent manner

        5.2 Stakeholders will be notified of the outcome of their grievance, including steps taken to resolve the issue.

        5.3 If a grievance is not accepted, stakeholders will be provided with a clear explanation of why the issue                 was not considered valid for further action.

6. Controls and Monitoring
        6.1 We implement measures to ensure the effectiveness of our grievance mechanism. These include:
               6.1.1 Conducting periodic audits to assess the effectiveness of the grievance process, including feedback                        from stakeholders.

              6.1.2 Engaging with stakeholders, including workers and suppliers, to ensure continuous improvement of                         our grievance mechanisms.

               6.1.3 Maintaining transparency in all grievance processes, ensuring stakeholders are kept informed at                         each stage of their grievance resolution.

7. Confidentiality and Protection
        7.1 All grievances will be handled with the utmost confidentiality. We are committed to protecting the identity              and privacy of stakeholders who raise concerns. We will also take all necessary steps to ensure that no              retaliation occurs as a result of filing a grievance.

8. Contact Information
    For further information or to submit a grievance, please contact us at:

    a. Email: enquiries@71-75.co.uk
    b. Phone:
020 3148 8770

9. Policy Review
     This policy will be reviewed annually and updated as necessary to ensure that it remains compliant with       applicable laws and reflects best practices.

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