Whistleblowing Policy for Saferoad Group

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Whistleblowing Policy for Saferoad Group

Table of Contents 1. Introduction 5 2. The Whistleblowing System 5 3. How to Report a Concern Through the Whistleblowing System 7 4. Timing 9 5. Prevention of Retaliation 9 6. Anonymity 9 7. False and Malicious Allegations 11 8. Processing of Personal Data 15 9. Standard Reporting Channels 15 10. Related Documents 15

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1. Introduction This whistleblowing policy, which is drafted in line with the principles articulated in the Company s Code of Conduct, is a vital part of the Company s Corporate Compliance Program. Employees are often the first to discover misconduct at their workplace, and it is important that an employee who discovers wrongdoing by the Company or any of its employees, consultants, contractors, or suppliers is able to report it without risk of retaliation or discrimination. The purpose of this policy is to encourage employees to raise concerns about matters occurring within or related to the Company, rather than overlooking a problem or seeking a resolution of the problem outside the Company. This policy applies to everyone at the Company all employees, managers, executive officers, and members of the board of directors (all of whom are included in the term employees as used in the remainder of this policy). 2. The Whistleblowing System In order to allow employees to raise concerns about wrongdoing, the Company has established a whistleblowing system that serves as a contact interface designed specifically for receiving and handling employees reports on suspected misconduct. However, laws and regulations on protection of personal data set limitations on the circumstances under which a company may process information indicating that one of its employees has been involved in suspected misconduct. For this reason, the whistleblowing system may only be used in the following circumstances: First, only serious misconduct may be reported through the whistleblowing system. Serious misconduct involves irregularities or improper actions concerning the Company s vital interests or individuals health and safety. This may for example include: financial crime and accounting irregularities; the offering or acceptance of bribes; environmental risks or crimes; security vulnerabilities which constitute a risk for employees or customers health or safety; serious forms of harassment or discrimination; or violations of the Company s Code of Conduct. 5

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Second, only misconduct by persons in a key or leading position within the Company may be reported via the whistleblowing system. This means that only misconduct by the Company s board of directors, executive officers, or individuals responsible for major purchases or other key business functions may be reported through the whistleblowing system. Third, the whistleblowing system may only be used to the extent that it is justified not to turn to the Company s standard information and reporting channels, as described in the last section of this policy. This may for example be the case when the reported person is part of the management or the suspected misconduct, for that or other reasons, runs the risk of not being properly handled. The whistleblowing system complements the Company s internal information and reporting channels and is available for use on a voluntary basis. 3. How to Report a Concern Through the Whistleblowing System Unless national regulations require otherwise, to report a concern or doubt related to an issue which might fit the description above, please contact the Company s Compliance Team via link to reporting tool provided at Company intranet. This is an encrypted reporting tool provided by an external and independent entity. The Company will act upon any concerns raised. Please note that the Company can assess a concern only after having conducted an initial inquiry and, most likely, after properly investigating the matter in question. Where appropriate, board of directors decides that matters raised may: be investigated by management, the board of directors, internal audit, or through the disciplinary process; be referred to the police or other law enforcement authorities; be referred to an independent auditor; or become the subject of an independent inquiry. In order to protect the individuals involved and those suspected of the alleged wrong-doing, an initial inquiry will be made to decide whether an investigation is appropriate and, if so, what form it should take. If urgent action is required, it will be taken before any investigation is conducted. 7

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4. Timing Concerns will be investigated as quickly as is practicable. It may be necessary to refer a matter to an external advisor, which may result in an extension of the investigative process. The seriousness and complexity of a complaint will also have an impact on the time needed to investigate the matter. The Company acknowledges that any person who raises a concern will need assurance that the concern has been addressed. Subject to legal constraints, the Company will provide the person raising the concern with information about the outcome of any investigation. 5. Prevention of Retaliation The Company will not tolerate any attempt to penalize, or discriminate against, an employee who has used the whistleblowing system to report a genuine concern regarding wrongdoing. Any such retaliation may be subject to disciplinary action by the Company, up to and including termination of employment. 6. Anonymity Complaints can be made anonymously through the whistleblowing system. However, it normally facilitates any subsequent investigation and handling of the matter if contact details have been provided. Therefore, the Company encourages employees to provide name and contact details when reporting a complaint. 7. False and Malicious Allegations The Company strives to meet the highest standards of honesty and integrity and will ensure that sufficient resources are put into investigating any complaint received. However, it is important for any employee considering making allegations to ensure that they are sincere. The making of any deliberately false or malicious allegations may result in disciplinary action. 9

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8. Processing of Personal Data Reports made through the whistleblowing system are likely to contain personal data data which directly or indirectly pertains to an identified or identifiable individual. The personal data may pertain to the person who has made the notification, and/or to a person suspected of the alleged wrongdoing. The types of personal data which may be processed in conjunction with an investigation are typically the following: The name, position, and contact details (for example e-mail and telephone number) of the employee who submitted the complaint and the individual to whom the compliant relates, as well as any witnesses or other individuals affected. Details of the misconduct of which the person reported is suspected. Unless national regulations require otherwise, The Company will only process personal data which is correct and relevant to the investigation. Superfluous personal data will not be processed. Sensitive personal data, such as an individual s race or ethnic origin, political views, religious or philosophical conviction, membership of a trade union, or data relating to an individual s health or sex life, will, as a general rule, not be processed by the Company. Unless national regulations require otherwise, the Company is the data controller of any personal data collected via the whistleblowing system, and is responsible to ensure that the personal data collected is processed in accordance with applicable laws and regulations on data protection. The details of the Company for purposes of its role as data controller are as follows: Saferoad AS 958103069 Enebakkveien 150, 0680 Oslo mail@saferoad.com +47 70 06 40 00 Any personal data collected via the whistleblowing system will be processed for the purpose of administering and investigating allegations raised, and dealing with discovered misconduct, as described in this manual. The Company takes both technical and organisational security measures to protect the personal data processed. The personal data collected will be processed only by those individuals at the Company who are involved in the investigation. In this context, personal data may be transferred to a department within the Company (such as internal audit), management, the board of directors, or other persons closely related to the Company. In addition, personal data may be transferred to the police or other law enforcement authorities, forensic companies, or independent auditors. To the extent deemed necessary and provided that it is in accordance with applicable laws and regulations, it may also be transferred to the Company s affiliates or joint venture partners. 11

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If it is necessary to transfer personal data to individuals or companies in countries outside the European Union or European Economic Area (EEA), which may not provide the same level of protection as in an individual s home country, the transfer will be made in accordance with applicable law. The personal data which is compiled and processed will not be retained longer than is necessary. Complaints, reports, and information regarding misconduct which have been investigated will be deleted within two months of the conclusion of the investigation or, if the investigation results in action being taken against the individual who has been reported, when the information is no longer needed for the purpose of carrying out an investigation and taking action. If it is decided that no investigation will be initiated, the information will be deleted immediately after such decision has been made. When personal data pertaining to an individual is collected via the whistleblowing system, the individual must be informed. If it is not possible to inform the individual immediately, for example if such information could jeopardize the Company s investigation, information will be provided at a point of time where it would no longer constitute a risk to the investigation. Subject to the limitations stated above, the Company will provide, free of charge to every person who requests it, notification once per annum of whether personal data concerning the applicant is processed or not. An application for such information shall be made in writing, signed by the applicant, and sent to the Company using the contact details provided in this section. The Company will, at the request of a registered person, rectify, block, or erase personal data that is incorrect or that has otherwise not been processed in accordance with applicable laws and regulations. 13

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9. Standard Reporting Channels Employees with a concern related to a person or issue which does not fit the description of matters which may be reported through the whistleblowing system should not use the whistleblowing system. Instead, employees should raise these issues through their standard reporting channel, which consists of the employee s direct supervisor, another supervisor whom the employee trusts, or the human resources department. 10. Related Documents This policy should be read in connection with the following documents. Corporate Compliance Program Description Code of Conduct Data Protection Manual Competition Compliance Trade Sanctions Anti-Bribery Manual 15

2016 All rights reserved Saferoad AS Enebakkveien 150 0680 Oslo Norway T + 47 70 06 40 00 mail@saferoad.com saferoad.com