B.G. Insurance Brokers Pvt. Ltd. ("BGIBPL") is an Insurance broker that provides Insurance and Insurance related services directly through its team, and through its website (www.securebima.com) located in India.
The Insurance Development and Regulatory Authority of India (IRDAI), vide its Guidelines on Insurance e-commerce bearing number IRDA/INT/GDL/ECM/055/03/2017 dated 9th March 2017 mandates a pro-active fraud detection policy for the insurance e-commerce activities which is approved by the Board of Directors of the Company. Accordingly, the policy has been formulated considering frauds including e commerce fraud that the company can be exposed to. The policy shall provide guidance with respect to prevention, detection, investigation and mitigation into fraudulent activities related to e-commerce.
The Policy is established to prevent, detect, investigate and mitigate the insurance fraud in the Company. It would facilitate development of processes to prevent, detect and manage frauds. Further, it will also ensure development of control measures at an organizational level and conducting investigations. The Company is committed to conducting business in an environment of fairness and integrity and will strive to eliminate fraud from all operations. The Company adopts a “Zero Tolerance” approach to fraud and will not accept any dishonest or fraudulent act committed by internal and external stakeholders.
The Policy applies to any fraud or suspected fraud involving its officials and employees, shareholders, vendors, contractor, business associates, policyholders, assignees, claimants, nominees and outside agencies doing business with the company or any other parties having relationship with the company. Any investigation activity required, will be conducted irrespective of the suspected wrongdoer’s length of services, position/title/designation, or relationship with the company.
IRDAI’s circular bearing IRDAI/SDD/MISC/CIR/009/01/2013 describes fraud in insurance as an act or omission intended to gain dishonest or unlawful advantage for a party committing the fraud or for other related parties. This may, for example, be achieved by means of:
Illustrative list
The list is only illustrative and not exhaustive:
Fraud against the Company in the purchase and/or execution of an insurance product, including fraud at any time during the term of the policy.
Illustrative List
The list is only illustrative and not exhaustive:
Illustrative List
The list is only illustrative and not exhaustive:
This type of fraud is typically a third-party fraud; however, this could involve any of the following types of frauds
Illustrative list
The list is only illustrative and not exhaustive:
The Fraud Investigation Unit shall be head by Mr. Rakesh Sudan (Principal Officer), who shall, basis the nature of fraud under investigation, include employees from different units on ad-hoc basis for immediate support and assistance.
All functional head are primarily responsible for day-to-day management of activities and in charge of maintaining, implementing and improving their system and control so that they minimise the risk of fraud.
All the frauds detected by any department/or detected by any person with knowledge of confirmed, attempted or suspected fraud or any person who is personally being placed in a position by other person to participate in the fraudulent activity shall be reported to and by the functional head within 48 hours from the detection of any confirmed, attempted, or suspected fraud.
The Fraud Investigation Unit is entrusted with the responsibility to examine and investigate the reported frauds. Any fraud detected by any person should be reported to the Fraud Investigation Unit as follows:
In case, the person has fraud detection information against senior Officers of the Company, they may directly reach out the Board of Directors of the Company by letter marked “Private and Confidential” and addressed to:
The Board of Directors B.G. Insurance Brokers Pvt. Ltd. Address VPO hardo jhande, batala distt. gurdaspur, punjab - 143507
The Principal Officer, Compliance Officer, or any other authorised person as the case may be, is entrusted with the full authority for the investigation of all suspected/actual fraudulent acts as defined in this policy. He will take the necessary support from all concerned departments, external outsourced investigation agencies, and forensic experts, etc for investigation, if required. Moreover, the Principal Officer has the power to form a team from case-to-case basis and such investigation team will be given all the rights, authority to investigate, any company’s books, desk, cabinets, storage, emails, files or access, to any premises etc., whatsoever to investigate the case.
Employees are regularly given trainings covering Anti Money Laundering, Anti-Bribery and Corruption etc. Awareness amongst employees is also created through regular circulars, communication by the leaders via e-mail and at townhalls/meetings etc. REVIEW
The policy will be reviewed by the Board of Directors of the Company as and when required.