Fraudulent and Corrupt Practices
Fraudulent and Corrupt Practices
FRAUDULENT PRACTICES
Procurement Fraud
Many frauds committed fall within the banner of procurement fraud as most
companies obtain products or services through some form of procurement exercise.
No
one company can operate in isolation. Often when concerns are raised, products and
services have already been procured and the contracts have been in place for some
time.
In this case, the fraud is often embedded in the contract and can be difficult to spot.
It
also presents a further difficulty as often contractual/supplier relationships have been
long established and therefore caution is required when deciding who to approach for
information or indeed who to appoint to investigate.
Types of Procurement Fraud
There are many ways that procurement fraud can be committed but the main
types are:
Bid rigging/bid splitting;
Creation of shell companies to facilitate fraudulent payments;
Collusion between suppliers;
Purchase order and contract variation orders;
Unjustified single source awards
False invoices for products and services for suppliers who do not exist.
The Law
There are many laws that apply to procurement fraud; the main law is the
Fraud Act 2006
and the offences of (1) Fraud by misrepresentation; (2) Fraud by abuse of
position; (3)
Fraud by failing to disclose.1
When considering which of these laws or acts apply, the initial consideration
would
be given to the modus operandi. In other words how did it happen? Consider:
Were the actions taken deliberate?
Continued..
Bid Suppression: This is where one or multiple competitors who can/ or who have
previously bid, withdraws a previously submitted bid or fails to bid so that the agreed
bidder is successful.
Cover Bidding: This is where bidders agree to submit bids that are too high. This
ensures that the favoured bid looks even more attractive.
Bid Rotation: This is where bidders submit costs but take turns being the lowest bidder.
That way everyone gets a turn and no-one misses out.
Market Division: This is where competitors divide markets among themselves. In such
frauds, competing firms allocate specific customers, products, or territories among
themselves
Bid or Price Patterns: This is where certain patterns of bidding or pricing conduct seem
at odds with the current market.
Purchase Order and Contract Variation
Orders
Examining purchase orders can be a valuable source of information. Thus
investigators should check that purchase orders are being used for their primary
purpose.
In other words, ensure that they are not being used instead of a contract. There
are occasions where a contract has been set up for a specific piece of work and
purchase orders are used to effectively add onto this contract for differing
works.
The reason forthis may be to hide the fact there are other works that are
required to be tendered, in addition to hiding unknown/undisclosed costs.
False Invoices for Products and Services
for Suppliers Who Do Not Exist
Investigators should examine how the request for payment was made. If made
by an invoice, examine for discrepancies as follows:
Are the company number, address and VAT registration details present and
correct?
Do the dates on the invoice correspond to when the order was placed?
How was the order placed? Was the order placed after the work had been
started or completed?
Has the work been signed off as completed, and if so, by whom?
Look at the company registration numbers. On many websites linked to
Companies
House, PDF copies of documents are available, such as certificate of incorporation
and
company description code (SIC number) and accounts. Be cautious in the event of
using different suppliers to obtain a companys financial records. There are
occasions
when these providers have information that is not up to date.
Are the numbers sequential? This may indicate that the organization is a sole
supplier
for a company. Does this company claim to be a global organization? This may
indicate an issue that requires further investigation.
TENDER STUDIED:
The Employer will reject a proposal for award if it determines that the Bidder
recommended for award has engaged in corrupt or fraudulent practices in
competing for the contract in question and will declare the firm ineligible,
either indefinitely or for a stated period of time, to be awarded a contract
with company and any other agencies, besides forfeiting the bid security.