The company has established and implemented a Whistleblowing System based on the Company Regulation No. SOP/031 dated 22 March 2013, as a practice of good corporate governance principles, in particular the principles of responsibility and fairness. The purpose of this Whistleblowing System implementation is to ensure optimum performance and legal compliance of all employees of BFI Finance in carrying out their duties and responsibilities.
Under BFI Finance’s Whistleblowing System, every individual within the company may file a complaint and/or report of fraud and/or violation of the company’s code of conduct or good corporate governance principles, by sending their reports through one of the following channels:
Electronic mail (e-mail) to:
SMS
Short Message Service (SMS) to:
081212135755
Post Mail
Post Mail to:
Kantor Pusat
PT BFI Finance Indonesia Tbk
BFI Tower Sunburst CBD Lot 1.2
Jalan Kapt. Soebijanto Djojohadikusumo
BSD City, Tangerang South
Banten 15322
Attn. Departemen Audit Internal
The rights of each party who has submitted a complaint or reported a violation through BFI Finance’s Whistleblowing System are protected in accordance with Law No. 13/2006 on Witness Protection. The company is also morally responsible for the protection of the witnesses or whistleblowers.
All reports of violations submitted through BFI Finance’s Whistleblowing System will be guaranteed for their confidentiality and security by the company. In addition, the whistleblower’s right to obtain information on the follow-up of their report is guaranteed.
BFI Finance’s Whistleblowing System receives reports or complaints to be examined immediately by Internal Audit Department and Risk Management Division as the complaint management agent.
If a report is valid based on the examination pursuant to the determined procedures, the company shall impose sanctions against the perpetrators in accordance with the decision letter applicable in the company.
BFI Finance’s procedure for the procurement of goods and services renders the procurement processes fast and transparent, in accordance with the principles of GCG and without any conflict of interest. The company upholds the principles of honesty and independence of all parties, whether they are involved directly or indirectly in the procurement of goods and services, as well as their performance, character, and work ethics.
The policy governing BFI Finance’s procurement of goods and services as well as supplier relations encompasses:
The company’s procurement processes consist of the following stages:
The system run transparently and competitively, by including prospective goods and services suppliers whose ability and performance satisfy the competence requirements of the company. In addition to procurement, BFI Finance also employs other methods, such as auction, direct appointment, and direct purchase, performed both
conventionally and online.
The above policy and system ensure that the quantity and quality of goods and services procured by the company are in accordance with the requirements, and the goods and services are obtained at the most competitive prices, with timely delivery and excellent after-sales service.
Procurement of goods, both at the head ofce and branches, can be monitored real-time through an integrated system that allows monitoring; by the users themselves, the branches, and the head office; starting from the purchase up to asset maintenance stage.
All complaints received by the company are immediately followed-up by the Customer Care Unit, in cooperation with other relevant units. This is to ensure a quick, accurate, thorough, and satisfying resolution to each complaint. Therefore, clear communication and integration between the Customer Care Unit and branch offices are necessary.
BFI Finance has set the Service Level Agreement (SLA) that stipulates the required time period to respond to each received complaint. Stipulations in the SLA are pursuant to the company’s internal policies and relevant prevailing regulations in Indonesia.
BFI Finance has set the Service Level Agreement (SLA) that stipulates the required time period to respond to each received complaint. Stipulations in the SLA are pursuant to the company’s internal policies and relevant prevailing regulations in Indonesia. Each complaint was followed-up completely within maximum 20 working days.
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