1. Introduction
This AfyA Care whistle-blowing Policy establishes AfyA Care minimum standards to be
implemented as prescribed by AfyA Care for all AfyA Care entities and subsidiaries. It also
includes additional requirements as warranted by our business or where required by applicable
law.
This Policy has been established to ensure that all cases of suspected breach of controls, policy
and company’s values are reported and managed in a timely and appropriate manner. This
document supports our core values and norms, the code of professional conduct as well as good
governance. Our principle of “Integrity” implies that we remain consistent and honest in our
dealings with others and strive to treat people with trust and mutual respect while maintaining
transparency and accountability.
In line with its code of conduct, AfyA Care’s Whistle-blowing Policy and Procedures outlines the
Company’s commitment to ensure that all stakeholders can raise their concerns regarding any
illegal conduct or practice without being subjected to victimisation, harassment or discriminatory
treatment, and to have such concerns properly investigated.
Also, this Policy sets out the mechanism and framework by which staff, contractors, consultants,
vendors, etc. can confidently, and anonymously, voice their concerns/complaints without fear of
discrimination and be assured that their concerns are duly investigated to the latter.
2. Purpose
AfyA Care is committed to maintaining the highest possible standards of ethical and legal conduct
within all entities in the group. In line with this commitment and to enhance good governance and
transparency, the main drive of this policy and procedures is as follows;
• To provide clear reporting channels for whistle-blowing for employees and other
stakeholders, who feel the need to raise matters of concern relating to AfyA Care
• To ensure that employees and other stakeholders can raise concerns regarding any illegal
conduct or malpractice and to have such concerns properly investigated
• To encourage employees and other stakeholders to disclose any wrongdoing or unethical
behaviour that may adversely impact the Company or the Group
• To provide guidance on clear procedures for reporting matters of such concerns
• To manage all disclosures in a timely, consistent, and professional manner; and
• To provide assurance that all disclosures will be taken seriously, treated as confidential
and managed without fear of retaliation to the whistleblower.
3. Anchors of the Whistle-Blowing Mechanism
Good governance in all AfyA Care entities is enhanced by the institution of a whistle-blowing
mechanism that cuts across the Group. Consistent with its policy on good governance, AfyA Care
has put in place several processes and initiatives that discourage red flag activities within the organization. The implementation of controls that foster an environment in which management
sets the tone at the top by sensitizing members of staff on matters of integrity and ethical values,
assignment of authority and responsibility, and reinforcement of internal controls measures.
AfyA Care’s core values and norms, the delivery of the best quality service to customers with
utmost diligence, efficiency, and transparency are the anchor of all AfyA Care’s activities and it
demands the highest standards of ethics, honesty and accountability at all times. These anchors
would be further strengthened by a credible whistle-blowing and complaints handling mechanism
as presented.
4. Who is a Whistle-Blower or Complainant?
A Whistle-Blower or a Complainant is any person or party who conveys or is about to convey a
concern, allegation or any information indicating that fraud, corruption or any other misconduct is
occurring or has occurred in the Company or in any of the subsidiary entities; with knowledge or
good faith that the concern, allegation or information is true. Such persons or parties, without
limitation, include staff members of AfyA Care’s entities, contractors, consultants, former staff
members, or any other entity or person.
The success of this Policy depends in part on the conscience and professional ethics of the
Whistle-Blower or Complainant and the attendant assurance of confidentiality. To avoid the
psychological pressures such conflicts can cause Whistle-Blowers and Complainants, AfyA Care
shall take all reasonable steps to keep the identity of Whistle-Blowers or Complainants
confidential.
It should be noted that Whistle-Blowers and Complainants are reporting parties. They are neither
investigators nor finders of fact; they do not determine if corrective measures are necessary; and
they do not determine the appropriate corrective or remedial action that may be warranted.
5. Coverage and Scope
This Policy applies to the Company and its subsidiaries and covers all employees (including
temporary and contract employees), officers, consultant and agents acting in AfyA Care. All (as
mentioned) are required to disclose acts relating to fraud, corruption, or any other misconduct,
including actions that undermine our operations and mission that come to their attention.
Misconduct can take many forms but for clear understanding, AfyA Care points out 8 generic
types of misconduct:
a. Issues relating to HR (including harassment, discrimination, inadequate behaviour at work
and/ or any potential breach of local Labour Law).
b. Misappropriation of assets (including theft; misuse or abuse of company assets such as
phone, computer, funds, data etc.).
c. Financial statement fraud (misrepresentation, falsification, concealment, misstatement, or
omission of financial records).
d. Other fraudulent statement (i.e. related to non-financial management information such as
HR, strategic, commercial, asset management, etc.)
organization.
The implementation of controls that foster an environment in which management
sets the tone at the top by sensitizing members of staff on matters of integrity and ethical values,
assignment of authority and responsibility, and reinforcement of internal controls measures.
AfyA Care’s core values and norms, the delivery of the best quality service to customers with
utmost diligence, efficiency, and transparency are the anchor of all AfyA Care’s activities and it
demands the highest standards of ethics, honesty and accountability at all times. These anchors
would be further strengthened by a credible whistle-blowing and complaints handling mechanism
as presented.
6. Protection of Whistle-Blower Under the Policy
The Company shall protect the Whistle-Blower’s or Complainant’s identity. For whistle-blowing
and complaint handling mechanism to be effective, the concerned parties must be adequately
assured that the information given will be treated as confidential and above all that they will be
protected from discrimination and against retaliation from within or outside the Company.
The Company will maintain as confidential the Whistle-Blower or Complainant’s identity unless;
Such person agrees to be identified,
I. Identification is necessary to allow the Company or the appropriate law enforcement
officials to investigate or respond effectively to the disclosure
II. Identification is required by law or where a false accusation has been maliciously made,
or
III. The person accused is entitled to the information as a matter of legal right. In such an
eventuality, the Company shall inform the Whistle-Blower or Complainant prior to
revealing his or her identity, with the promise of protection from discrimination.
7. Channels and Procedures
Each AfyA Care operating entity is required to nominate a Designated Complaint Recipient (DCR)
to receive and handle any report of misconduct. Where more than one DCR exists in a territory
these responsibilities should be clearly allocated to ensure that there is no omission or
unnecessary duplication. For AfyA Care, the Designated Complaint Recipient (DCR) is the
Compliance Officer who reports to the Chief Risk Officer/General Counsel.
The channels and procedures for whistle-blowing or raising complaints shall depend on whether
the allegation, complaint or information is being made or disclosed by a staff member of AfyA
Care or by a party external to the Group. Staff members are expected to whistle-blow on
transactions, operations or/and any other activities of the Group that involve fraud, corruption and
misconduct, whether internal or external. Parties external to AfyA Care, however, are required to
bring allegations and complaints of corruption, fraud and any other misconduct in the execution
of any business of the Company or project(s) that involve the Company
8. Internal Whistle-Blowing Procedure
Internal whistle-blowing involves staff members across the Group raising concern about unethical
conduct. The following procedure shall be adopted for internal whistle-blowing: