Whistleblower Report 
Introductory Findings
The Protection of Whistleblowers Act (Official Gazette of the Republic of Slovenia, No. 16/23; hereinafter: ZZPri) and the Rules on the Protection of Whistleblowers in the company ADD d.o.o. Ljubljana, regulate the establishment of an internal reporting channel for violations. The reporting mechanism is intended for all individuals – natural persons – who report violations of applicable regulations related to the operations of ADD d.o.o. that they have observed in the work environment, in accordance with the ZZPri.
Whistleblower Protection
The whistleblower is not entitled to protection if the report is submitted two years or more after the violation ceased. No one may disclose the identity of the whistleblower without their explicit consent. The same applies to all other information that could directly or indirectly reveal the whistleblower’s identity. An exception applies to disclosures made to the confidant and the external reporting authority, or where such disclosure is necessary under the ZZPri. 
Submiting a Report

Reports can be submitted in the following ways and to the following addresses:

  • by email to: zaupnik@add.si
  • in writing to:
    ADD trgovina, inženiring, vzdrževanje d.o.o.
    Tbilisijska ulica 85, 1000 Ljubljana
    with the note: “To the attention of the internal reporting confidant – do not open”

The report must include all essential elements, namely: the date, duration, and location of the violation; information about the individual involved in the violation and potentially other participants; the work area where the violation occurred; a description of the violation; and any communication between the confidant and the whistleblower.

The confidant receives and processes reports in accordance with Article 13 of the ZZPri and the internal Rules adopted by ADD d.o.o. The confidant handles reports carefully, confidentially, and independently. The information obtained is used solely for the purpose of processing the report and addressing the violation.

External Reporting in Case of Ineffective Internal Mechanism

The whistleblower may submit an external report to the competent authority under Article 14 of the ZZPri if they believe that the internal report could not be effectively addressed or that submitting an internal report poses a risk of retaliation. 

More information on external reporting is available at the following link:

KPK – Information on External Reporting 

Other Important Links

ADD d.o.o. empowers businesses to unlock the full potential of data through AI, analytics, cybersecurity, and modern IT infrastructure.

CONTACT

ADD d.o.o.
Ljubljana, Tbilisijska 85, 1000 Ljubljana, Slovenia, Europe

SUBSCRIBE

    @ Copyright 2025
    en_USEN