28. Fraudsters do not respect geographical boundaries so data matching across areas and geographical boundaries is vital.
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| 29. The council actively participates in the National Fraud Initiative (NFI), a national data matching exercise currently run by the Cabinet Office under its statutory powers. The exercise allows the comparison of various data sets against other data sources to help detect fraud and error in areas such as council tax, housing benefit, payroll and creditors. The main NFI data matching exercise currently occurs over a two year cycle but is moving to real-time and near real-time fraud prevention activity. A supplementary exercise takes place yearly in relation to the Electoral Register and Council Tax Single Person Discounts. |
| 30. Local data matching is also carried out between our own datasets to proactively seek out fraud and error as appropriate. Data matching exercises are therefore included within the fraud action plan. |
| 31. At all times, the council will observe the advice and guidance of the Data Protection Act and General Data Protection Regulation in the area of data matching. |
| 32. The sharing of fraud intelligence between authorities via groups and restricted internet forums is critical in alerting to rising fraud trends and is a mechanism the council actively engages in. |
Enhancing fraud controls and processes
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| 33. The council has well established policies, procedures and processes which incorporate efficient and effective internal controls to safeguard the council’s resources. Managers are responsible for ensuring there are adequate and effective internal controls to reduce the risk of fraud for example, accurate records are kept and preserved, a management/audit trail is maintained, appropriate segregation of duties and management checks. The existence, appropriateness, and effectiveness of these internal controls is independently reviewed and reported to Audit and Accounts Committee by the council’s Internal Audit Team. |
| 34. A key preventative measure in the fight against fraud and corruption is to ensure that the council employs employees of the appropriate quality and integrity. As such, whilst the procedures concerning the appointment of employees are a small part of the council’s systems and controls it is considered to be a vital element. |
| 35. The council will ensure employees provide adequate proof of identity and permission to work in the UK. Employees are appointed subject to satisfactory references and care is to be taken to ensure that employment references and qualifications are genuine. |
| 36. For certain posts checks to the Disclosure and Barring Service (DBS) are necessary and will be carried out by Human Resources. |
| 37. Council employees are required to declare interests and to bring to the attention of their manager any interest which may impinge on the impartiality of their work. |
| 38. The council’s employees are expected to abide by the Staff Code of Conduct which sets out the council’s requirement on personal conduct. Employees are also expected to follow any code of conduct issued by any professional institute, if appropriate. |
| 39. Councillors are also required to complete a declaration of interest and to abide by the Code of Conduct for Councillors, operating within the Councils Constitution. |
| 40. The council expect the highest standards of conduct from all its contractors and the employees of the contractor. A collusion certificate is required as part of the tendering process for contracts. |
| 41. The Audit, Fraud and Insurance Service will provide advice and support in the design of new systems and procedures. Audit work is planned to ensure controls over areas identified as high risk of fraud are effective and auditors will be alert to the risk of fraud in their work. |
42. A programme of proactive anti-fraud work will also be undertaken each year by the council’s Fraud Team and include:
• Maintaining a current fraud risk assessment and exposure profile and carrying out associated checks of high risk areas to mitigate the risk.
• Evaluating policies and procedures in place to counter fraud and assist others in raising awareness of fraud and irregularity when it occurs.
• Advice on new and changing systems to ‘design out’ any potential for fraud and irregularity.
• A fraud awareness programme highlighting fraud risks. |
| Developing a more effective anti-fraud culture |
| 43. The council is resolute that the culture and tone of the authority is one of honesty with a zero tolerance towards fraud and corruption. This is already demonstrated through its behavioural framework and codes of conduct for employees and councillors. |
| 44. In developing and maintaining an anti-fraud culture the council seeks to motivate employees and councillors by positively reinforcing their responsibility in preventing, detecting and reporting fraud. Ensuring employees and councillors understand the importance of tackling fraud, are able to recognise fraud and corruption and know how and where to report suspicions is vital. |
| 45. It is also vital that employees and councillors have confidence in the reporting arrangements. The council therefore has a clear and transparent Whistleblowing Policy and Procedure in support of the Public Interest Disclosure Act. The Whistleblowing Policy and Procedure provides employees and councillors with the means to report instances of suspected fraud, corruption or breaches of the council’s policies, offering protection from recrimination and allowing them anonymity if they so choose. |
46. The right organisational culture will be continually reinforced to employees by:
• Providing annual fraud awareness sessions to all employees as part of International Fraud Awareness Week.
• Mandatory eLearning on fraud and corruption for all employees.
• Publicising the results of proactive work, sanctions and recovery of losses due to fraud and corruption where it is appropriate to do so.
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| 47. It is also important that members of the public have confidence in the council’s fraud response and the ability to report any suspicions of fraud and corruption they may have. The council therefore have a dedicated Freephone fraud hotline, fraud email address and fraud page on the council’s website. |
| 48. Employees, councillors and the public alike are encouraged to contact the Fraud Team in any way they feel comfortable to provide any information about known or suspected fraudulent activity. All information is treated in the strictest confidence with anonymity being respected as far as is possible. (see Fraud Response Plan) |
| 49. To promote an anti-fraud culture publicity may include the use of warnings on council application forms, council newsletters, internal and external webpages, local newspaper advertisements, articles and features through local radio, television and other relevant media. |
| 50. All publicity will seek to promote the message that the council will not tolerate fraud, corruption or any other form of irregularity and is committed to countering any that is perpetrated. |
| Communicating its’ activity and successes |
| 51. In addition to the publicity stated above in point 50, the council will also seek to publish its’ counter fraud activity and successes through reporting to the council’s Audit and Accounts Committee, press releases and awareness materials as given above in point 49 above. |