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Whistleblowing

The Internal Whistleblowing Channel (active for Autogrill Italia S.p.A. and for Nuova Sidap S.r.l.) allows you to report information relating to a potential crime or offence, a threat or damage to the public interest, a violation or an attempted concealment of a breach of the law that is damaging the public interest or the integrity of the Company.

To take knowledge of the Guidelines for reporting misconduct click here: Download pdf.

If you want to make a report click here  OPEN LINE

The report must be detailed, so as to bring to light facts/situations relating to specific contexts, in order to allow the appropriate investigations to be carried out.

INTERNAL WHISTLEBLOWING CHANNELS

Whistleblowing may be reported in the following forms:

  • Written:
    • The recommended written channel for whistleblowing is the OpenLine whistleblowing platform of the Avolta Group: www.avolta-compliance.com 
  • Oral:
    •  by calling the following toll-free number for Italy (including San Marino and the Vatican City): 800 819 540

The whistleblower may also request, through the channels indicated above, an in-person meeting to make the report, in which case he/she will be referred to the Compliance-Whistleblowing Team for a meeting.


EXTERNAL REPORTING CHANNELS
As a priority, reporting persons are encouraged to use internal channels. In the specific cases provided for by law, the reporting person is entitled to make external reports to the competent authorities. 
It is feasible  to make an external report, for Italy, through the channel activated by the National Anti-Corruption Authority (ANAC) according to its  defined procedures.
In particular, the reporting person may make an external report if, at the time of its submission, one of the following conditions is met:
In particular, the reporting person may make an external report if, at the time of its submission, one of the following conditions is met
(a) the mandatory activation of the internal reporting channel is not foreseen within his/her work context, or this channel, even if mandatory, is not active or, even if activated, does not comply with the applicable legislation; or
(b) the reporting person has already made an internal report and the report has not been followed up;
(c) the person making the report has reasonable grounds to believe that, if he/she were to make an internal report, it would not be effectively followed up or that the report might give rise to a risk of retaliation,
(d) the reporting person has reasonable grounds to believe that the breach may constitute an imminent or obvious danger to the public interest.

Reports to the ANAC may be made in the manner laid down on the institutional site of the entity.