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{{org_field_name}}

Registration Number: {{org_field_registration_no}}


Bribery and Fraud Prevention Policy

1. Purpose

The purpose of this policy is to ensure that {{org_field_name}} maintains the highest standards of integrity, transparency, and accountability in all aspects of its operations. This policy sets out the organisation’s zero-tolerance stance on bribery and fraud, outlining preventative measures, reporting procedures, and the consequences of fraudulent or corrupt activities.

This policy aligns with:

2. Scope

This policy applies to:

The policy covers:

3. Definitions and Examples

3.1. What is Bribery?

Bribery is offering, promising, giving, requesting, or accepting something of value to gain an unfair advantage. Examples include:

3.2. What is Fraud?

Fraud is dishonest conduct intended to secure an unfair or unlawful financial or personal gain. Examples include:

4. Preventative Measures and Internal Controls

4.1. Ethical Culture and Zero-Tolerance Approach

At {{org_field_name}}, we operate a zero-tolerance policy towards bribery and fraud. This means:

4.2. Financial Controls and Transparency

To minimise the risk of financial fraud, we implement robust financial controls, including:

4.3. Managing Gifts and Hospitality

4.4. Procurement and Supplier Integrity

5. Reporting Procedures and Investigation Process

5.1. Reporting Concerns of Bribery or Fraud

Any staff member, service user, or external stakeholder suspecting bribery or fraud must:

  1. Report the concern immediately to their Line Manager or the Registered Manager.
  2. Alternatively, contact the Designated Whistleblowing Officer at {{org_field_registered_manager_email}}.
  3. If internal reporting is not appropriate, concerns can be raised with:
    • Care Inspectorate Wales (CIW) for regulatory concerns.
    • The police if criminal activity is suspected.
    • The National Fraud and Cyber Crime Reporting Centre (Action Fraud).

All reports will be treated confidentially, and whistleblowers are legally protected from victimisation under the Public Interest Disclosure Act 1998.

5.2. Investigation Process

Once a concern is reported:

  1. Initial review – The Registered Manager or designated investigator will conduct an initial assessment.
  2. Formal investigation – If there is credible evidence, an internal or external investigation will be conducted.
  3. Staff interviews and document review – Statements, financial records, and relevant documents will be examined.
  4. Disciplinary action – If misconduct is found, appropriate action will be taken, which may include dismissal and referral to law enforcement.
  5. Reporting to CIW and relevant authorities, where required.

If the investigation finds no wrongdoing, the individual who raised the concern will be informed, and no further action will be taken.

5.3. Consequences of Bribery and Fraud

Any staff member found guilty of bribery or fraud may face:

6. Managing Bribery and Fraud Prevention Efficiently

6.1. Leadership and Accountability

6.2. Staff Training and Awareness

6.3. Continuous Monitoring and Improvement

7. Related Policies

This policy works alongside:

8. Policy Review

This policy is reviewed annually, or sooner if changes in legislation, CIW guidance, or financial risk assessments require updates.


Responsible Person: {{org_field_registered_manager_first_name}} {{org_field_registered_manager_last_name}}
Reviewed on:
{{last_update_date}}
Next Review Date:
{{next_review_date}}
Copyright © {{current_year}} – {{org_field_name}}. All rights reserved.

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