Whistleblower Protection

We at GLS are committed to clear ethical principles

This is a pillar of our success as a business. All GLS staff bears responsibility for GLS living up to its principles; quite often, it is the misconduct of just a few that badly reflects on the reputation of a business as a whole. Hence, it is crucial for GLS to get notified of potential misconduct of its staff, its suppliers or third parties as early as possible so that we can quickly act on it and efficiently remedy the situation.

Whistleblowers Protection Act

Effective from February 18 2023, the Law implementing the Whistleblower Directive came into force. This Act obliges GLS to establish an internal reporting channel. Through this internal reporting channel, whistleblowers can inform GLS of potential work-related misconduct. Whistleblowers may use the internal reporting channel to report the following:

  • Information on suspected criminal offences;
  • Information on suspected administrative offences to the extent that the relevant provisions are aimed at protecting the life, physical integrity or health or rights of employees or the rights of those representing employees (such as members of the works council);
  • Information on other violations as defined in the Whistleblowers Protection Act.

Reports which concern the offences detailed above will be treated with the utmost confidentiality to maximize the protection of whistleblowers and those mentioned in the report. In addition, the Act protects whistleblowers against any form of retaliation.

For all other reports please feel free to also contact the internal reporting channel. Such reports are also treated strictly confidentially.

The internal reporting channel within the meaning of Section 2 of Law implementing the Whistleblower Directive is the compliance department.

Please contact the internal reporting channel via 1) EQS or 2) our ombudsman Dr. Rainer Buchert:

1) EQS Integrity Line

To the reporting channel

2) Dr. Rainer Buchert, Attorney-at-Law, Kaiserstraße 22, D-60311 Frankfurt am Main

Please feel free to use the electronic contact form also:

To the contact form

Besides contacting the internal reporting channel, you also have the possibility to contact the relevant authorities directly (external reporting). The relevant authority is: Huis voor klokkenluiders.

Please follow this link for more information: Huis voor klokkenluiders .

The Act allows you to choose whether you would like to contact the internal reporting channel first or whether you prefer to submit your report directly to the relevant external authority. However, we urge you to always contact us first via the internal reporting channel. GLS will investigate your report with the utmost seriousness and will try to remedy the offence. If you are still dissatisfied with the situation following the completion of our internal follow-up measures you may still contact the external authorities.

Do you have any questions about the above?

Please feel free to email us at compliance@gls-netherlands.com .