- Jersey Finance
- |5/8/25
The Jersey Employment Forum has released a report and recommendation on the introduction of public interest disclosure (whistleblowing) legislation in Jersey which will give legal protection to individuals who report certain types of wrongdoing.
The proposed framework draws upon best practices from the United Kingdom (UK) and aims to improve Jersey’s reputation for good governance.
The unanimous feedback from the attendees of a roundtable Walkers hosted last year as part of the consultation process was that there is widespread support for a UK style protected disclosure regime to be introduced. Learn more about the current whistleblowing regime in England and Wales and the feedback from the attendees of the roundtable in this previous article.
In this article we share a high-level overview of the recommendations and our key takeaways for financial services businesses in Jersey.
Overview of the proposed regime
Coverage: The legislation would protect a broad range of individuals including direct employees, agency workers, officers of the States of Jersey Police and officeholders in Crown employment. Protection could also be extended to partners, non-executive directors and charity trustees.
Protected activity: Protection is set to include instances where a whistleblower has a reasonable belief that one of the following is occurring: an organisation is breaking the law (including health and safety and data protection laws), environmental damage, a miscarriage of justice, covering up of wrongdoing or an intention to break the law.
Procedure: The process for making a protected disclosure should be straightforward and easy to understand and follow. The recommendation is that internal reporting lines should usually be exhausted before external reporting to prescribed persons (such as regulators or government officials) if necessary. The report recommends that the definition of prescribed persons should include the JFSC and the JOIC, among others.
Key takeaways
We will follow up with a more detailed review and insights when we have sight of the draft legislation. Please do not hesitate to reach out if you have any queries in the meantime:
daniel.read@walkersglobal.comsian.langley@walkersglobal.comgemma.palmer@walkersglobal.com