(1) The purpose of this procedure is to set out the process to follow in logging and addressing allegations of (2) This procedure explains: (3) This procedure applies to all (4) This procedure is designed for the protection of (5) Any person who makes a disclosure that would have been a whistleblower disclosure if it had been otherwise made to an eligible recipient may not be able to be afforded protections due to the complexity of the person to whom the disclosure is made not being an eligible recipient and therefore not having access to the tools and resources available to support protections. (6) Personal work-related (7) (8) A (9) The (10) Workers are encouraged to provide as much information as possible about the fraud, corruption, maladministration, misconduct or illegal activity so that the matter can be reviewed in detail. (11) Disclosures by workers related to (12) To be classified as a whistleblower, workers must satisfy the whistleblower protection criteria as set out in clause 10 of the Whistleblower Policy. (13) If at any point there is reason to believe a crime has been committed, consideration needs to be given to report the matter to police. If the matter relates to an indictable offence, police must be notified. (14) Workers can make a (15) The whistleblower disclosure service will provide the worker with four options when they make a disclosure and will explain the advantages and limitations of each option. These are: (16) Disclosures that are anonymous to both the whistleblower disclosure service and the Diocese are permitted and will be investigated fully as far as reasonable possible with the available information. In these circumstances, it will not be possible for the whistleblower to receive any status updates or information relating to investigation outcomes of these disclosures. (17) The whistleblower disclosure service will then contact the eligible recipient to discuss the disclosure and agree on the appropriate body to investigate. (18) If the whistleblower disclosure service and the eligible recipient agree that referral to an independent external investigation and/or the relevant authorities are required, then the whistleblower disclosure service is precluded from investigating the disclosure. (19) The appropriate investigator will then undertake an inquisitorial investigation with the objective of locating evidence that either supports the claim or not. (20) Personal information will be managed according to the Privacy Policy and will comply with relevant Privacy laws. (21) If information is disclosed to any person under the Whistleblower Policy, that person is subject to the policy and is required to keep that information confidential. (22) Unauthorised disclosure of information, a whistleblower’s identity or person/s subject of the concern may result in disciplinary proceedings including summary dismissal, civil penalties or potential criminal offences including imprisonment. (23) The extent to which a whistleblower can be kept informed during the investigation and subsequent handling of a whistleblower disclosure will be judged on a case by case basis by the (24) At the conclusion of the investigation, the whistleblower will be informed of the outcome relevant to them or the management of their disclosure. (25) The Head of Governance will periodically collect information on the existence of any whistleblower reports that may have been received by the eligible recipient in a summary form. (26) The information collected and any reports generated using that information will not permit disclosure of whistleblower identities. (27) A summary of disclosures may be periodically provided to the Diocesan Audit and Risk Committee (DARC) and the Bishop’s Executive Committee and may also be provided to relevant stakeholders within the senior leadership team. (28) The information included within the summaries will be limited to the category of misconduct (such as Fraud or WHS) and the number of reports. (29) Those summaries will be used to identify needs for additional prevention measures within the Diocese. (30) This procedure will be reviewed when there is a legislative change, organisational change, delegations change, technology change or at least every 3 years to ensure it continues to be current and effective.Whistleblower Procedure
Section 1 - Purpose
Top of PageSection 2 - Scope
Top of PageSection 3 - Process
Reporting Fraud, Corruption, Maladministration and Misconduct
Whistleblower Disclosure Service
What happens once a Disclosure is made
Communication with the Whistleblower
Internal Reports
Section 4 - Document Review
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