BSCIC QUALITY POLICY & IMPARTIALITY PRINCIPLES

 

BSCIC is committed to achieving the Compliance to ISO/IEC 17021-1:2015 and ISO/IEC 17020:2012. The relevant IAF/ILAC Guidance documents and communiqués available time to time throughout their business operations whilst ensuring compliance with applicable laws & regulations and relevant accreditation body requirements.
 
BSCIC endeavors to achieve operational excellence, enhancement of customer satisfaction and continual improvement in its processes associated with the Management Systems Certification/Third-Party Inspection services to the applicable criteria.
 
BSCIC endeavors to provide its services in utmost high professional & Impartiality standards and business ethical manners thus ensuring the objectivity of its Management System Certification/Third-Party Inspection services.
 
BSCIC’s Impartiality Management decisions are based on objective evidence obtained during Audit/Inspection, not on the basis of bias or prejudice caused by influence of different interests of individuals or other involved parties. Threats to impartiality are permanently identified, reviewed and controlled by the Advisory Committee for Safeguarding Impartiality.
 
BSCIC’s Impartiality decisions are assured by independence of staff, competence of audit/inspection teams, exercising due professional care in conducting the audits, collecting of objective evidence and independent certification/inspection decisions.
 
 
BSCIC have identified following impartiality principles to safeguard the management of impartiality.
 
Competence BSCIC adopts a policy of recruiting personnel who possess suitable qualifications and appropriate training and experience. It assesses the resources required to undertake each audit and assign suitably skilled staff to the work, provide a good distribution of skills to auditing tasks and a sufficient number of persons for the audit.
 
Responsibility When considering responsibility to assess sufficient objective evidence upon which to base a certification decision, BSCIC refers to fairness, disinterestedness and factuality. Decisions are taken only when audit related information include everything that is necessary to determine or demonstrate the truth of an assertion.
 
Openness By implementing this principle, BSCIC establishes rules for providing public access or disclosure of non confidential information by responding positively to requests for information, answer requests for information quickly and helpfully, giving reasons for not providing information where this is not possible, ensuring that there are clear and effective arrangements to deal with complaints and concerns about provided certification services and access to information, and that these arrangements are clearly publicized and effectively monitored.
 
Confidentiality BSCIC ensures that information is accessible only to those interested parties authorized to have access and specific rules are established for auditors/surveyors, administrative staff and other interested parties. Information related to customers are not used or disclosed for purposes other than registration of the management system without the client’s explicit consent, or where there is a legal justification to do so.
 
Responsiveness to complaints All complaints will be investigated and responded to quickly and within specified time targets. The complaint handling process recognizes the need to be fair to both the complainant and the organization or individual against whom the complaint is made and, if the complaint is found to be valid, reasonable effort will be made to resolve the complaint by appropriate measures.
 
BSCIC has identified it’s mechanism to achieve the performance of above principles into its Certification processes and this is achieved by following practices.
 
 
Potential Threats Management of Risks to BSCIC Impartiality (Applicable For Management System Certification Activities):
 
In order to continually provide the Impartial Services BSCIC has identified the following potential threats on its impartiality and also addresses the prevention as Preventive Action:
A.1 self-Review:

  • Application Process influenced by Consultants:
  • Contract Review Process:

A.2 Self-Interest:
A.3 Familiarity (or trust):
A.4 Intimidation:

  • Consultants may try choosing an Auditor.
  • Consultants may be present at the time of assessment and may intimidate Assessors.

 
A.5 BSCIC does not accept application for ISO 9001:2015 or other schemes Registration from a Certification Body who is already providing Certification of  ISO 9001:2015 or other schemes. In one straight forward way, we don’t certify our competitors i.e. Certification Bodies.
 
A.6 BSCIC does not provide any Management System Consultancy to any kind of organization or “Internal Audit Service to its any Registered / Applicant Organization”.
 
BSCIC has ensured that its Senior Management Personnel is inducted / recruited considering they don’t have a Management Consultancy Background at least in present or in last 2 years.
 
A.7 BSCIC does not market or offer its services as being linked with the activities of an organization that provides management system consultancy nor it promotes any such organization to an applicant organization.
 
A.8 BSCIC applies suitable controls when its impartiality may be affected by any consultancy organization towards its clients or assessors. Such controls are described in PM032 series (e.g. its paras 15, 16, 17, 18 & 19)
 
A.9 BSCIC may accept applications for the conduct of the Internal Audits of the Clients however such clients are not considered for its Registration.
 
This will be achieved by establishing quantifiable and measurable Quality and Business Objectives at relevant functions & levels within BSCIC.
 
These will be reviewed as a minimum annually and will be linked into the BSCIC Annual Management Review..
 
Chief Executive
26.03.2021