28 Counter Fraud, Bribery & Anti-Corruption Policy
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To update the Counter Fraud,
Bribery and Corruption Policy for the Council and align the
document so the Policy is the same across the Partnership (report
of the Director of Finance (Section 151 Officer)
enclosed).
Additional documents:
Minutes:
Consideration was given to the report of the
Director of Finance (Section 151 Officer) to update the Counter
Fraud, Bribery and Corruption Policy for the Council and align the
policy across the Partnership.
The report was introduced by the Director of
Finance (Section 151 Officer) who confirmed that the document
provided a comprehensive position, reflected the Council’s
duty to prevent fraud and corruption and aligned the policy across
the Partnership.
Members considered the report and made the
following comments:
- Members welcomed the inclusion of
delegated authority for minor amendments, noting the importance of
enabling swift updates in response to legislative changes.
- Members queried the wording under
Aims, suggesting that the ‘we aim to’ statement be
strengthened to emphasise zero tolerance and a commitment to
reducing fraud and losses to the minimum.
- The Director of Finance (Section 151
Officer) agreed to review the wording to ensure robustness.
- Members referred to the
Council’s powers to prosecute fraud cases and queried whether
such powers were utilised or if matters would always be referred to
the police.
- The Director of Finance (Section 151
Officer) responded that action would depend on the circumstances;
some cases would be police matters, while others might be addressed
through HR processes.
- Members requested that colour
contrast in the policy document be improved for readability.
- The Director of Finance (Section 151
Officer) agreed to consider this in future versions.
- Members queried whether managers
were responding timely to approval requests raised through the
procurement card system.
- The Head of Finance Delivery –
Technical and Corporate (PSPS) responded that an escalation process
was in place to ensure compliance with transaction coding and
approvals. Recent escalation emails indicated that the process was
working effectively, although some managers had required reminders
to approve transactions promptly.
Agreed:
- That the Counter Fraud, Bribery and
Corruption Policy be approved; and
- That delegation to the S151 Officer
to review and make minor amendments to the Policy to reflect
changes in legislation, statutory guidance or contact detail, be
approved.