This disclosure asks an organisation to report the corruption incidents it has confirmed during the reporting period, and what it did in response. The emphasis is on actual, verified cases rather than allegations or untested concerns, so the report should distinguish confirmed incidents from broader ethics or whistleblowing activity.
In practice, the focus is on giving a clear picture of where confirmed incidents occurred across the organisation and what follow-up action was taken. That means looking beyond flagship sites or headquarters and considering the full scope of operations, so readers can see whether incidents were isolated or part of a wider pattern, and whether the response was disciplinary, remedial, preventive, or a combination of these.
This LRA educational guidance supports disclosure preparation. For the exact requirements, always refer to the official GRI source.
A quick mental checklist before you prepare this disclosure — tick each as you settle it.
Key datapoints to prepare
How to prepare it
Request the corruption case log and outcomes
Translate the disclosure into an internal business question — then adapt it to your organisation's own language.
Use your organisation’s own terms first, then map them to the reporting fields. For example, ask for the ethics case log, investigations register, disciplinary outcomes, contract exit records, and litigation tracker if those are the names used internally. Keep the request in business language and check the source material before sign-off.
Please provide the GRI 205-3 data for confirmed incidents of corruption, including the number of incidents, disciplinary actions, contract terminations, and legal cases.
Why it fails: This uses framework wording only, so the owner has to translate the request before they can act. It does not say which internal records to pull, what period to cover, which boundary to use, or how to show the evidence. It also bundles several measures without telling the team how to identify the underlying cases.
Please send the ethics/investigations case log for [reporting period] covering confirmed corruption matters in [organisation boundary], plus the related outcomes. For each case, include the internal reference, date confirmed, your usual case label, a short summary, whether any employee was disciplined or dismissed, whether any partner contract was ended or not renewed, and whether any public legal case was brought and how it ended. Please attach the source extract or link and note any gaps.
Notes that turn data into a disclosure
LRA training templates — adapt them to your organisation, and check the official source before sign-off.
State how you defined a confirmed corruption case, how you counted each incident, and whether the figures cover the whole reporting period and all relevant parts of the organisation and its business relationships.
Explain what the figures indicate about the scale and character of corruption-related issues, including whether any cases led to staff sanctions, contract changes, or public legal action.
If the numbers moved materially from the prior period, note whether that was driven by a small number of larger cases, improved detection, changes in reporting practice, or a genuine shift in underlying conduct.
Preparation tools & forms
Professional preparation tools for GRI 205-3 — free with an LRA Community membership. Register once (it's free) and every download unlocks, together with the Disclosure Library, templates and the LRA AI-assistant.
For each claim, check the evidence
Evidence pack to prepare
Common reporting gaps
Mistakes to avoid when collecting the data
Where judgement is often needed
Illustrative examples
Synthetic, written by LRA — not from a company report, not text from any standard.
We recorded 4 confirmed corruption incidents in the year, all involving improper gifts or hospitality; 2 led to dismissal or formal discipline, and 1 business contract was ended after a partner breach. There were no public court cases brought against us or our staff during the period.
Synthetic illustration only. Shows how to report the count of confirmed corruption matters, the broad nature of those matters, the number of staff sanctions, the number of partner-contract terminations, and whether any public legal cases arose and how they ended.
We confirmed 3 corruption incidents, made up of 2 procurement-related bribery cases and 1 facilitation-payment case; 1 employee was dismissed, and 2 supplier agreements were not renewed. No public legal proceedings were filed against the company or its employees in the reporting year.
Synthetic illustration only. Shows a second plausible reporting pattern with a different mix of incident types, while still covering the incident count, the nature of the cases, staff consequences, partner-contract outcomes, and the presence or absence of public legal action.
How companies report GRI 205-3
Real reports where this topic is disclosed. These are report practice, not exact disclosure templates to copy.

Scenarios to work through
During the year, an internal investigation confirms one bribery case involving a procurement manager and two separate supplier-side kickback cases. The HR file shows the manager was dismissed, one supplier contract was ended, and the other was allowed to run to term.
A whistleblowing review finds that a sales employee offered a payment to speed up a permit, but the allegation against a regional director is not substantiated. The employee is disciplined, and the permit application is withdrawn before any contract is signed.
The legal team reports that a public court case was filed against the company and one employee over alleged bribery. By year-end, the case is still open, with no judgment and no settlement, while a separate internal case has already been confirmed and led to dismissal.
Two confirmed corruption incidents led to employee discipline, and one of those incidents also caused a distributor agreement to be ended early. A third confirmed incident involved a consultant, but the contract was not renewed for commercial reasons unrelated to the misconduct.
Related framework references
How this disclosure maps across the major reporting frameworks.
Questions this page answers
The page says to prepare five datapoints: confirmed corruption count, corruption incident types, disciplinary corruption cases, partner contract terminations, and corruption legal cases. Use those as your starting data list before you draft anything.
Use the page’s step-by-step preparation section to define what you are counting, where the data comes from, and how you will treat each datapoint consistently. The page is designed to help you turn that into a draft, so keep the method clear enough for review and assurance.
The page is aimed at sustainability/ESG managers, HR or data owners, and assurance reviewers, so ownership should sit with the people who can source, check, and evidence the five datapoints. The workbook and evidence pack are there to help you coordinate that handover.
The page includes an evidence pack with five items for assurance readiness, plus five assurance claims to verify using claim, risk, and evidence. Use those materials to build a file that shows how each datapoint was prepared and checked.
The page says there are five assurance claims to verify, each framed around claim, risk, and evidence. Use them as a checklist to test whether your draft is supported by the underlying records before review.
The page includes a section on common reporting gaps and mistakes so you can spot issues before finalising the disclosure. Use it as a pre-submission check against your draft, data table, and evidence pack.
The Download Centre provides a Prep & Assurance workbook in .xlsx format and a printable Library Card in .pdf. Use the workbook to organise the data, checks, and evidence, and the Library Card as a quick reference while drafting.
Yes, but only as a synthetic illustration. The page includes example disclosures and a quantitative table to show how the data can be presented, so use it as a formatting guide rather than copying the numbers.
The page has a draft-output section with visualisation ideas, narrative starters, and a GRI content-index line. Use those prompts to convert your verified datapoints into a short narrative and a clean index reference.
The page notes ESRS G1 as the closest correspondence, so you can reuse the same underlying data where relevant. Treat it as a practical cross-reference, not as a statement that the reporting requirements are identical.
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