Annual Report 2024 is Verksamhetsberättelsen för 2024 in English. It also includes a description of our Programme work and expected future developments.

Annual report 2024 Accessible

Policy for Feedback, Complaints and Whistleblowing is our policy for feedback, complaint and Whistle blowing in English. The policy describes how feedback, complaint and whistleblowing alarms can be reported within Erikshjälpen and how reported cases are handled.

Approved by the Board of Erikshjälpen 2025-05-22.

The policy applies to all of Erikshjälpen, that is, the second-hand business and the children's rights organization in both Sweden and internationally.

Approved by the Board of Erikshjälpen 2025-05-22.

The policy applies to all of Erikshjälpen, that is, the second-hand business and the children's rights organization in both Sweden and internationally.

Content

  1. Introduction and purpose
  2. feedback
  3. Complaints
  4. Whistleblowing
  5. Complaints and whistleblowing regarding partner organizations
  6. Can I report anonymously?
  7. Principles for handling cases
  8. Procedure for handling complaints an whistleblowing matters
  9. Appeal handling of case
  10. External Reporting of Whistleblower

1. introduction and purpose

This policy describes how feedback, complaints, and whistleblowing matters can be reported within ERIKS development partner and ERIKS Second Hand (hereafter ERIKS) and how reported cases are handled. Feedback, complaints, and whistleblowing represent three different levels of severity, where feedback can be both positive and negative, complaints aim to highlight deficiencies in the operations, and whistleblowing aims to alert about serious misconduct. These three types of cases will be described more in detail in chapters 2-4 of this policy.

ERIKS works to ensure that children's rights are respected, protected, and fulfilled in Sweden and around the world. We have a zero-tolerance towards discrimination, all forms of abuse, sexual exploitation, and sexual harassment. We strive to be transparent and responsible in managing the donations we receive and work preventively regarding anti-corruption. Our approaches are described in our Child Safeguarding Policy, our Code of Conduct, and our Anti-corruption Policy.

ERIKS encourages the reporting of both improvement suggestions and misconducts in order to improve quality and address any deficiencies in our operations in Sweden and in our other program countries. The purpose of this policy is to create a safe and open environment where transparent procedures ensure that all feedback, complaints, and whistleblowing matters are treated seriously, fairly, and confidentially, and with respect for the individuals involved.

Provisions on whistleblowing in this policy are based on the rights and obligations stipulated in the Swedish law (2021:890) on the protection of persons who report misconduct (the "Whistleblower Act"). The law is based on the EU Whistleblower Directive. When a whistleblowing matter occurs outside the EU, consideration will also be given to the specific legal requirements of that country.

2. feedback

2.1. What is considered as feedback?

Feedback can concern anything within ERIKS´ operations, both positive and negative. It can include praise or suggestions for improvement.

2.2 Who can submit feedback?

Anyone who comes in contact with ERIKS can submit feedback, including participants such as children and parents/caregivers in our programs.

2.3. How to submit feedback?

Feedback is submitted directly to the relevant department or operation. Contact information can be found on our website.

2.4 Who handles feedback?

Feedback is primarily handled within the relevant department or operation. If necessary, higher-level manager may be involved. When deemed relevant, the feedback can be handled as a complaint, as described below.

3. complaints

3.4 What is considered a complaint?

A complaint is intended to draw attention to deficiencies in our operations and the operations of our partner organizations. It may concern deviations from, or suspicions of deviations from, agreements, guidelines, and policies. For example, a complaint may involve unethical behavior in any of our operations or among our partner organizations, but it is not considered to be as severe as a whistleblowing, i.e., it is not of such a nature that the public has an interest in it being exposed and stopped (see further information on whistleblowing in section 4 below).

Incidents related to an individual employee's work environment are reported as an incident or work-related injury directly to the immediate manager.

Opinions regarding goods in our Second Hand stores are handled as feedback and submitted directly to the relevant store.

3.5 Who can file a complaint?

Anyone who comes in contact with ERIKS can make a complaint. This includes employees, volunteers, interns, partner organizations and their employees, donors, and customers. It also includes right-holders and their parents/caretakers in our programs.

3.6 How can a complaint be reported?

Complaints are reported through a form on our website (erikshjalpen.se). To enable us to act on incoming complaints, it is preferable to specify which operation or store to which the case relates. A complaint can also be reported to complaints@eriksdevelopment.org or directly to a manager or employee at ERIKS. The recipient of the complaint can then enter the information into the website form.

We also ensure that we in our Programme initiatives have easily accessible ways for children and parents to file a complaint and that our international partner organizations have their own policies and systems for handling complaints. Reporting channels should be accessible and adapted to the local context and rights holders in our work.

If a partner organization within our international programmes receives a complaint, the Regional Office can support the partner upon request. The complaint will then be reported through ERIKS complaint form.
Reporting regarding deviations from our Child Safeguarding Policy should be done promptly, if possible within 24 hours. Internationally, reporting is done according to what has been established in the partnership agreement.

3.7 Who receives the reported complaints?

Reported complaints are received by the relevant quality control group, based on the department or operation to which the case relates. There are quality control groups for different parts of the operations, including Second Hand, programme operations in Sweden, international programmes operations, and general matters relating to the organization. The groups consist of department managers and, in some cases, controllers and/or coordinators. If necessary, other functions can be involved, such as Child Protection/Safeguarding Representatives, CFO, or HR manager. If the case concerns someone in the quality control group, the next higher-level manager or relevant board or external party will be involved.

4. whistleblowing

The Swedish Act (2021:890) on the protection of persons who report misconduct ("whistleblower law") describes the rights and obligations of whistleblowers. The law is based on the EU whistleblower directive. Whistleblowers must not be hindered from reporting misconduct and must be protected against retaliation. Below is a description of how ERIKS handles whistleblowing. ERIKS HR department can provide more details on the whistleblower law if needed.

4.1 What is considered a whistleblowing?

Whistleblowing is meant to alert an organization of serious misconduct that is of such a nature that the public has an interest in it being exposed and stopped.

Whistleblowing should concern misconduct that has occurred or is most likely to occur in the organization in which the reporting person is/has been/may become active, or in another organization that the reporting person is or has been in contact with through their work. The whistleblower must have reasonable grounds to believe that the information about misconduct was true at the time of reporting in order to be covered by protection measures in relation to a whistleblower.

Whistleblower alerts may, for example, relate to:

  • Unethical behavior; such as violations of our code of conduct
  • Corruption and financial irregularities, such as bribery, unfair competition, money laundering, and fraud
  • Crimes related to health and safety, such as workplace safety violations or offenses
  • Environmental crimes; such as illegal handling of hazardous waste
  • Privacy breaches; such as improper use of personal data

 

Deviations related to the above categories that are not deemed to be so serious that the public has an interest in it being exposed and stopped can instead be reported as complaints (see section 3 above). Information that only concerns an individual employee's own work or employment relationship is normally not covered by the whistleblower legislation and should instead be raised with the immediate manager, HR or the local trade union if there is one.

4.2 Who can report a whistleblowing matter?

A whistleblower is protected by whistleblower legislation if they, in a work-related context, have become aware of or obtained information about misconduct and report it. The whistleblower must also belong to one of the following categories:

  • Employees (including temporary staff and employees of partners/contractors/suppliers)
  • Job seekers
  • Self-employed individuals
  • Persons who are part of an organization's management or supervisory body
  • Interns
  • Volunteers

 

Persons who have belonged to any of the listed categories when they became aware of the information are also covered by protection measures in relation to a whistleblower.

In addition to the whistleblower, persons who assist the whistleblower in reporting, persons connected to the reporting person, and legal entities owned, worked for, or otherwise connected to the reporting person are also protected.

4.3 How to report whistleblowing matters?

There are four reporting channels for whistleblowing within ERIKS:

  1. Through a form on erikshjalpen.se
  2. Through email to visselblasning@erikshjalpen.se or whistleblowing@eriksdevelopment.org
  3. Through phone to the responsible recipient of reports
  4. Through a personal meeting with the responsible recipient of reports if requested via email or phone.

Form and contact information for the responsible recipients of reports can be found on erikshjalpen.se.

Whistleblowing forms guarantee anonymity if the whistleblower does not provide any personal information in the form.

Regardless of the channel you choose, your report should include the following information:

  • If your case concerns a specific store, it is desirable to specify which store.
  • Describe the misconduct you want to report.
  • When did the misconduct occur? Is it still ongoing?
  • Who are the individuals involved?
  • Are there any documentation or other evidence?
  • Have you taken any other actions regarding the misconduct?
  • Are you available for additional questions to facilitate the investigation of the case?
  • Name and contact information of the informant (optional).

Reporting regarding deviations from our Child Safeguarding Policy should be done promptly, if possible, within 24 hours. Internationally, reporting is done according to what has been established in the partnership agreement. If a partner organization within our international programmes wishes to do so, the Regional Office can support the reporting of whistleblowing cases to ERIKS.

4.4 Who are the responsible recipients of whistleblower reports?

ERIKS HR manager and a designated HR specialist are the responsible recipients of reports on misconduct. They are also the ones who receive reports through the whistleblowing form on erikshjalpen.se as well as the email address visselblasning@erikshjalpen.se and whistleblowing@eriksdevelopment.org.

If the HR manager or the designated HR specialist is directly involved in the reported misconduct, the report can also be made to the highest operational manager, ERIKS Secretary-General, or the Chairman of the Board. Contact information can be found on erikshjalpen.se and eriksdevelopment.org.

The designated recipients of reports have the mandate to handle and investigate incoming reports independently and autonomously. In order to investigate and address the misconduct, additional individuals may need to be involved, and access to any personal information will be limited to what each person needs to fulfil their duties. The person handling a whistleblower case must not unlawfully disclose information that could reveal the identity of the reporting person, or any other individual involved in the case.

5 Complaints and whistleblowing regarding partner organizations

ERIKS collaborates with local partner organizations to implement children's rights initiatives. According to ERIKS' Project Agreement, the partner organization is committing to work to prevent, detect and identify any illegal action or misuse of funds.

ERIKS accepts complaints and whistleblowing regarding local partner organizations and their employees but also encourages partners to develop their own complaint handling systems to enhance accessibility and transparency in project areas. Reporting channels should be accessible and adapted to the local context and rights holders in our work.

6. can I report anonymously?

When you report a complaint or whistleblowing matter through the form on our website, you can choose to remain anonymous. However, we encourage you to provide your name and contact information so that we can investigate the incident and address it properly, and you can receive feedback on the actions taken. Even when personal information is provided, it is handled confidentially, meaning that the information is only accessible to individuals who are authorized to access it.

7 Principles for handling cases:

When handling cases, we work according to these principles.

  • Accessibility - ERIKS has easily accessible ways to report misconduct. This also includes a complaint reporting system tailored for children.
  • Transparency - ERIKS strives for openness and transparency in all aspects of the organization. This increases the possibility of scrutiny and ensures that any irregularities are addressed in a secure manner.
  • Accountability - ERIKS aims to have clarity in mandates and responsibilities, as well as structures and systems to trace mistakes and intentional errors. Individuals who have responsibilities within the organization should be held accountable for their actions.
  • Confidentiality - The information in reported cases is only shared with individuals who are authorized to access it. Access to personal information is limited to what each person needs to fulfill their duties.
  • Security and protection - ERIKS places great importance on guaranteeing the security and protection of those who report misconduct or have been subjected to any irregularities related to our operations.
  • Non-retaliation - Those who raise complaints or report whistleblowing matters should not face any form of retaliation, reprisals, or negative consequences as a result of their reporting.
  • Objectivity - The persons handling cases strive to handle them professionally and conduct as objective investigations as possible.
  • Right to appeal - ERIKS offers the right to appeal when a case has not been handled as expected.

8. procedure for handling complaints and whistleblowing matters

Below is a description of the procedure following an incoming case. In all steps, the principles outlined in section 7 are followed.

8.1 Reception

Cases reported through the website forms are directly entered into a case management system and assigned a category for the specific type of case. The case is given a reference number. Only authorized individuals have access to the specific categories. If the case is reported verbally, the reporter and recipient can jointly fill out the form.

This specifically applies to whistleblowing matters:

In the case of verbal whistleblower reports, the recipient should document the report. This can be done through a recording if the reporter consents to it, or by creating a written document. The reporting person should be given the opportunity to review, correct, and approve the written record through their signature. A case is created in the case management system where documentation is stored.

The recipient sends confirmation that the whistleblowing matter has been received within seven days of receiving it, unless the reporting person has waived confirmation or the recipient has reason to believe that a confirmation would reveal the person's identity.

8.2 Investigation

The case is investigated by the designated recipients. Additional individuals may be involved, when necessary, but the number of individuals involved should always be kept to a minimum.

Whistleblowing matters are investigated to determine their accuracy.

All whistleblowing matters and complaints containing sensitive information, such as allegations of gross misconduct, corruption, sexual exploitation and abuse, harassment, and assault, are investigated with special discretion and protection for the affected individuals.

If it is determined that the investigation can better be handled by an external party - for example, due to conflicts of interest, credibility reasons, or the need for expertise - such a party will be engaged.

If the case involves a failure to comply with our Child Safeguarding Policy and if the case involves children, action should always be taken promptly. If necessary, ERIKS Child Protection/Safeguarding Representative may be involved in the investigation.

Serious matters are promptly reported to the Secretary General of ERIKS and/or the Executive Director of ERIKS Second Hand. They determine whether to inform the boards.

If the case is deemed to be serious enough to pose a risk of an organizational crisis, the crisis management group will be involved, and handling will be done according to the established crisis management plan.

8.3 Actions

The recipients will decide on any necessary actions based on the results of the investigation. If needed, other functions will be involved to carry out necessary actions. Even in this case, discretion is observed and personal data is protected.

If there is suspicion that a child is in danger, a report of concern should be made to Social Services in countries where this is possible. Further details can be found in the Guidelines for Child Safeguarding, appendix 2.

If the case involves a criminal offense, it should be reported to the nearest police authority. Before making a report, the immediate manager should be contacted.

The recipients will follow up to ensure that the decided actions are implemented.

8.4 Feedback

If the reporter has chosen not to remain anonymous, the recipients will ensure that the reporter receives feedback on their case, preferably on an ongoing basis throughout the process when possible.

In the case of whistleblowing, confirmation of receipt should be provided within 7 days. The actions taken and the reasons for them should be communicated to the whistleblower within 3 months if they can be reached and wish to receive feedback.

Regardless of the type of case, our goal is to provide feedback as soon as possible, but no later than within one month.

8.5 Reporting, Evaluation, Control and Deletion

All incoming cases that are deemed to be of high severity will be communicated to the management and the board. Reporting will be done in an anonymized format when appropriate.

Once a year, cases and actions will be compiled and reported to the management and, when appropriate, the board, also in an anonymized format. In conjunction with the compilation, an evaluation of the process for handling incoming cases will be conducted, and any identified improvements will be implemented.

To ensure that whistleblowing cases are properly handled by the designated recipients, a quarterly review is carried out by the Secretary General or the Executive Director, who reviews all cases received in the previous quarter and ensures that they have been handled correctly. The results of the review are reported to the Board as part of the reporting of the internal control plan.

Whistleblowing cases are deleted at the latest two years after the case is closed.

9. Appeal handling of case

If the reporter is not satisfied with the handling of a case, a new case can be logged through the same form on the website where the case reference number and the dissatisfaction can be addressed.

10. external reporting of whistleblowers

In Sweden, the government has appointed several authorities that have external reporting channels on their websites that can be used if one wants to report a whistleblowing matter to an external party. The different authorities receive different types of whistleblowing reports, see the list of their areas of responsibility here:

List of authorities with responsibility according to the regulation 2021:949 - Swedish Work Environment Authority (av.se)

Internationally, the availability of external reporting channels may vary. If necessary, the relevant Regional Office can refer to the relevant party.

ERIKS Anti-Corruption Policy is Erikshjälpens Antikorruptionspolicy in English. The policy describes how we define and relate to corruption and how we work to counteract, detect and act on corruption. Adopted by Erikshjälpen's Board of Directors April 2024.

1 Introduction and Purpose

ERIKS Development Partner (hereafter ERIKS) is a non-profit second-hand business and a child rights organization that works to ensure that children's rights are respected, protected, and fulfilled in Sweden and around the world. Corruption is always an obstacle to social and economic development. It also risks damaging ERIKS´ trust among those we work with in our programs, as well as in relation to private and institutional donors, partners, and customers in our stores. ERIKS, therefore, sees corruption as a serious risk that counteracts our vision of a changed world where children's dreams come to life.

Parts of ERIKS´ programs, both in Sweden and internationally, are carried out in environments and contexts with a relatively high risk of corruption, which requires specific measures and approaches. Countries with a high level of inequality, weak democracy, and conflicts often have a higher risk of corruption. Likewise, internal risks such as handling large amounts of money, close and long-term relationships between colleagues and representatives of different actors, along with weak internal control can foster corruption. There is also a risk of corruption in, for example, procurements, purchases, and corporate collaborations that often occur in Sweden.

The purpose of this policy is to describe how ERIKS defines and relates to corruption and how we work to prevent, detect, and act on corruption.

ERIKS' work with anti-corruption is based on our identity document "In the Service of Love", which establishes our values. In addition to this, the following documents are linked to our work on anti-corruption:

  • Policy for Feedback, Complaints and Whistleblowing
  • Procurement Policy
  • Code of conduct
  • Child Safeguarding Policy
  • Personnel and Recruitment Policy

 

This policy is valid for all parts of ERIKS´ operations, i.e., both ERIKS Development Partner and ERIKS Second Hand, in Sweden and internationally, and applies to ERIKS' staff, interns, volunteers, elected officials, and consultants. Through agreements, the policy also applies to ERIKS´ international partner organizations.

2. definition and approach

Definition of

ERIKS follows Sida's definition of corruption, which is the abuse of trust, power, or position for improper gain. Corruption includes, among other things, bribery, embezzlement, extortion, conflict of interest, nepotism, and other similar improprieties. The definition thus means that someone uses their position of power to benefit themselves, a relative, or their own interests. The benefit can include both financial and other advantages. Corruption also refers to the neglect to take action.

 

Approach

ERIKS' approach to corruption is based on Sida's anti-corruption rule, which means to always prevent, never accept, always inform, and always act. This should be applied in all situations, even if it means that interventions are delayed or partnerships terminated.

ERIKS is subject to Swedish law. Swedish laws and regulations apply to ERIKS' work abroad, where local legislation and rules must also be followed and respected. However, local legislation can never be used as an excuse for corrupt or unethical actions.

3. implementation

Always prevent

ERIKS works at all levels to make risk assessments that include risks of corruption. Structures and systems within the organization should always be designed to minimize the risk of corruption and at the same time values and ethics should continuously be discussed. All employees, elected officials, and volunteers have a responsibility to prevent corruption and should be given training and support in how they can do this.

 

Trust is also an important part of preventing corruption. Therefore, ERIKS works constantly to build trusting relationships with partners and to create a good and constructive dialog.

 

Never accept

ERIKS' employees, interns, elected officials, volunteers, and consultants should never accept corruption or corrupt actions, whether in ERIKS' own programmes or in programmes that we support financially or in other ways. It is our collective responsibility to ensure that every part of our operations is characterized by fairness, transparency, and accountability. Never accepting corruption means not only compliance with the law but also acting based on our values and being role models for ethical behaviour in all situations. At the slightest suspicion of an irregularity, this should be reported.

 

Always inform

ERIKS´ employees, interns, elected officials, volunteers, and consultants are obliged to report suspected or detected corruption through our complaint and whistleblowing functions on our international website (eriksdevelopment.org) or our Swedish website (erikshjalpen.se). Further reporting measures and descriptions of responsibilities are available in our Guidelines for Complaints and Response Mechanism. If it concerns an intervention financed by Sida, the Swedish Mission Council (SMR) must be informed. If the intervention has another institutional donor, the respective donor must be informed.

 

Always act

ERIKS must always act on tips, warning signals, and suspicions of corruption. The action should be taken with discretion and respect for those involved. ERIKS investigates all suspicions of corruption, and appropriate measures are taken to handle the specific case and prevent something similar from happening again. Internal and external informants and whistleblowers are offered anonymity and other security measures if needed. The routines for how a case is assessed are the same whether the information first reaches ERIKS through our complaint or whistleblowing functions or in another way. More information about the procedure in case of suspected corruption is available on our website and in our Policy for Feedback, Complaints and Whistleblowing.

 

Transparency

ERIKS always strives for openness and transparency in all parts of the organization's operations. This applies to policies, strategies, plans, decisions, and reports. Through this, insight into and scrutiny of the operations are made possible, which can contribute to increasing trust in ERIKS among employees, volunteers, and elected officials, as well as partners and other actors.

Accountability

ERIKS strives for clarity in mandate and division of responsibilities and to have structures and systems to trace mistakes and deliberate errors. Those responsible within the organization should be held accountable for their actions. An important part of this work is our complaint and whistleblowing functions through which suspected corruption can be reported. What we define as complaints and whistleblowing is described on our website and in our Policy for Feedback, Complaints and Whistleblowing.

 

Partner organizations

ERIKS encourages and supports our international and national partner organizations to have their own systems and routines for working preventively with corruption and to detect and report on corruption as early as possible. Through our agreements with partners, it is regulated how partner organizations and ERIKS act in case of suspected corruption.

ERIKS strives for an open and continuous dialogue with partners on the issue of corruption and around values and ethics. Support is given to partner organizations that need to improve their internal control systems or implement other measures that prevent corruption.

 

Communication

This policy should be available on ERIKS' intranet and website as well as shared and attached as an appendix when agreements are signed with a partner organization. It should also be presented to new employees as well as elected officials, interns, volunteers, and consultants within the organization.

4. follow up

To have a successful work against corruption, continuous follow-up and evaluation of the work must be done. The Secretary General is ultimately responsible for the work with anti-corruption, that the policy is followed, and that the work is evaluated. The policy is approved by ERIKS' board and revised as needed.

All directors and managers within both ERIKS Development Partner and ERIKS Second Hand have a responsibility to integrate anti-corruption work into their operations. The immediate manager also has a responsibility to ensure that employees are aware of the policy and the other documents that reflect ERIKS' view on and work with corruption. All employees, in turn, have a responsibility to contribute to the realization of the policy's intentions and to work for anti-corruption.

ERIKS Code of Conduct is Erikshjälpen's Code of Conduct policy in English. The policy governs that Erikshjälpen's vision and values are reflected in all work and conduct, both inside and outside the organization. Adopted by Erikshjälpen's board 2013-10-01.

1. introduction

Being involved with ERIKS brings with it great responsibility, not only in the implementation of the work, but also in terms of the behavior of the people involved. The vision and values of ERIKS are to be reflected in all our work and conduct, inside and outside the organization. This means that it is very important for you to maintain our good reputation, in your work with partner organizations, in contact with authorities and with people in general - in-country and abroad.

These guidelines are expected to be adhered to by everyone who engages in assignments on behalf of ERIKS; all staff, board members, and those engaged as experts or consultants.

2. transparency

Decisions must be open and transparent. Everything you do in your work must be transparent and verifiable for collegues and others ERIKS chooses to involve in this work.

3. respect

You have a responsibility to treat all people with respect. You must have understanding for the opinions and views of others. When working to promote child rights and ERIKS' vision and values in a context which conflicts with these values, it is important to act wisely and with sensitivity.

4. No Abuse of Your Position of Power

Development aid and assistance not only means a transfer of financial resources and knowledge, it often brings with it an aspect of power. In your work, it is therefore likely that you will come into contact with people who are or who feel as though they are in a position of dependence to you. This could be people in the partner organization or people in the target group, or other people within ERIKS. You must never abuse your position of power. In addition, you must not abuse your position of power to give other people benefits that they would not normally have had. Your behaviour and relationship with the partner organization and other people must not be such that people believe you are demanding or expecting different services or benefits.

5. Non-Discrimination

You must not discriminate against any individual person or group, irrespective of gender, age, ethnic background, religion, sexual preference, political beliefs or functional impairment; either within ERIKS, the partner organization or people in general. It is important that you pursue this obligation actively in the framework of partnership collaboration, as project and its activities should aim at making it possible for the aforementioned groups or people to take part.

6. No Sexual Abuse or Harassment

All forms of sexual abuse are forbidden, as are all forms of sexual contact between adults and children, i.e. persons under the age of 18. Purchasing sexual services is strictly forbidden. It is forbidden to use the technical equipment (computers etc.) that ERIKS provides you with to look at or spread pornographic material. No employee or person that you come into contact with should in any way be exposed to sexual harassment, either physically or psychologically. Sexual harassment refers to unwelcome behavior based on gender, or unwelcome behavior of a sexual nature that violates the person's integrity. You have an obligation to know about and follow ERIKS' Child Protection Policy.

7. Non-Corruption

Corruption means misusing an organization's/company's/authority's resources for your own benefit. You must not in any way contribute to corruption, for example by giving or receiving bribes, either in the form of money or other benefits with the aim of giving you advantages over others. ERIKS' Anti-Corruption policy and response plan have a zero tolerance approach to corruption. If you suspect any irregularities, the response plan tells you whom at ERIKS to contact.

8. alcohol and drugs

When you are working (in-country or abroad), alcohol consumption is only allowed in exceptional circumstances, such as official dinners or similar occasions. On these occasions, it is extremely important to consume alcohol in moderation. During your free time on work mission, you should also be restrained in your alcohol consumption, as you are a representative for ERIKS. ERIKS never pays or offers alcohol. Alcohol consumption is completely forbidden when driving, and as a passenger, you should always react if you suspect that the driver is drunk. All forms of involvement with, possession or consumption of narcotic preparations are forbidden, unless when they are prescription drugs for your own use.

9. Knowledge of the Guidelines

Everyone who engages in assignments on behalf of ERIKS; all staff, board members, and those engaged as experts or consultants, must be made familiar with this Code of Conduct. Being one of these persons, you are obliged to familiarize yourself with and follow these guidelines.

10. follow-up

This code of conduct is a guiding document that has been adopted by ERIKS' Board of Directors. From October 1st 2013, this document must be signed by all engaged in assignments on behalf of ERIKS; all staff, board of directors, and those engaged as experts or consultants. In case of suspected breach of the Code of Conduct, you must be given a written warning and the possibility to respond to the allegations. Repeated or deliberate breach of the Code of Conduct may result in termination of the employment/assignment. Any termination of employment will be presented to the Board of Directors for a final decision on the matter. If a failure to follow the regulations is also a breach of Swedish law, you can also be taken to court.

The Global Programme Report 2021 is a detailed global program report in English, showing ERIKS Development's achievements in our four thematic areas. The report also includes strategic developments, lessons learned and children's stories.

Global Program Report 2021 ERIKS

The Global Programme Report 2020 is a detailed global program report in English, for 2020 that shows ERIKS Development's achievements in our four thematic areas. The report also includes strategic developments, lessons learned and children's stories.

Global Program Report 2020 ERIKS

The Romania Country Strategy 2024-2028 is a strategic document in English for our work in Romania.

Romania Country Strategy 2024 2028

The Mali Country Strategy 2023-2027 is a strategic document in English for our work in Mali.

Mali Country Strategy 2023 2027

The Burkina Faso Country Strategy 2023-2027 is a strategic document in English for our work in Burkina Faso.

Burkina Faso Country Strategy 2023 2027

The Moldova Country Strategy 2023-2027 is a strategic document in English for our work in Republic of Moldova.

Moldova Country Strategy 2023 2027 Public Version Web

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