At the core of our corporate sustainability lies a our foundational values and a principled approach to conducting business. This entails us to conduct operations that, as a baseline, fulfill essential obligations across human rights, labor, the environment and anti-corruption efforts. We embrace consistent values and principles regardless of our presence, understanding that positive actions in one domain cannot counterbalance negative impacts in another. By integrating the UN Global Compact’s Ten Principles into our strategies, policies, and procedures and fostering a culture of honesty, we not only fulfill the fundamental commitment to our society and our environment but also lay the groundwork for our sustained prosperity.
Wirecom (India) Private Limited is committed to the highest standards of moral and ethical integrity, transparency and propriety in all its dealings. WIPL believes in the conduct of the affairs of its constituents in a fair and transparent manner by adopting highest standards of professionalism, honesty, integrity and ethical behaviour.
WIPL has formulated the Code of Conduct (hereafter referred as “the Code”), which lays down the principles and standards that should govern the actions of the Company and all its employees. The role of the Whistle Blower in pointing out any violations/probable violation of the Code cannot be undermined.
“Every employee and all stakeholder of WIPL shall promptly report to the management any actual or possible violation of the Code or an event he becomes aware of that could affect the business or reputation of the Company.”
In consideration to the environmental responsibility WIPL has take all precautionary measures to reduce the carbon emissions which impacts the environment and has been successful in doing so.
This policy aims to provide avenues for Whistle Blower to raise concerns on serious matters regarding ethical values, probity and integrity or any violation of WIPL’s Code of Conduct.
Human Rights
Principle 1: We will support and respect the protection of internationally proclaimed human rights.
Principle 2: Make sure that we are not complicit in human rights abuses.
Environment
Principle 3: We will support a precautionary approach to environmental challenges.
Principle 4: Undertake initiatives to promote greater environmental responsibility.
Principle 5: Encourage the development and diffusion of environmentally friendly technologies.
Labour
Principle 6: We will uphold the freedom of association and the effective recognition of the right to collective bargaining.
Principle 7: Eliminate all forms of forced and compulsory labour.
Principle 8: Effective abolition of child labour.
Principle 9: Elimination of discrimination in respect of employment and occupation.
Anti-Corruption
Principle 10: We will work against corruption in all its forms, including extortion and bribery.
Definitions: The definitions of some of the key terms used in this Policy are given below:
“Ethics and Conduct Committee”: means the Ethics and Conduct Committee constituted by the Board of Directors of the Company comprising of Managing Director and Executive Director with Managing Director being the Chairman of Ethics and Conduct Committee. Other members include Manager-HR and Plant-Head.
“Code”: means WIPL Code of Conduct which is in force.
“Employee”: means every employee of the Company
“Investigator/s”: means those persons authorised, appointed, consulted or approached by the Ethics and Conduct Committee in the process of the investigation of any Protected Disclosure who may /may not be the employees of WIPL.
“Protected Disclosure”: means any communication made in good faith by the Whistle Blower that discloses or demonstrates information that may evidence unethical or improper activity.
“Subject/s”: means a person against or in relation to whom a Protected Disclosure has been made or evidence gathered during the course of an investigation.
“Whistle Blower”: Various stakeholders of the Company are eligible to make Protected Disclosures under the Policy. These stakeholders may fall into any of the following broad categories:
The Policy covers malpractices and events which have taken place/ suspected to take place involving:
Your concerns to can be shared with:
Designation | Name | Email ID | Contact no. |
Managing Director | Pratik Shah | pratikshah@wirecomindia.com | 9322892588 |
Director (HR) | Grishma Shah | grishmashah@wirecomindia.com | 9320314692 |
HR Manager | Anjali Gurav | hr@wirecomindia.com | 9324986500 |
While there is no specific format for submitting a Disclosure, the following details MUST be mentioned:
Reporting: The Investigator/s shall submit a report, including a preliminary report if any, to the Ethics and Conduct Committee on a regular basis about all Protected Disclosures referred to him/her since the last report together with the results of investigations, if any.
Decision: If an investigation, including a preliminary report if any, leads the Ethics and Conduct Committee to conclude that an improper or unethical act has been committed, the Ethics and Conduct Committee shall direct the management of the Company to take such disciplinary or corrective action as the Ethics and Conduct Committee deems fit.
Retention of documents: All Protected Disclosures in writing or documented along with the results of investigation relating thereto shall be retained by the Company for a minimum period of seven years.
Amendment: The Company reserves its right to amend or modify this Policy in whole or in part, at any time with the approval of the Board of Directors and without any prior notice and without assigning any reason whatsoever.