Receiving a POSH Complaint the Right Way
Every POSH (Prevention of Sexual Harassment) investigation begins with a single step: the receipt of a complaint. This is far more than an administrative requirement it is the moment where an organization demonstrates its commitment to dignity, respect, and fairness at the workplace. How this step is handled sets the tone for the entire investigation, influences employee trust, and ensures compliance with the Sexual Harassment of Women at Workplace (Prevention, Prohibition and Redressal) Act, 2013.
1. How a Complaint Can Be Filed
The POSH Act requires all complaints to be made in writing. To make this process inclusive and accessible, the law allows flexibility:
- A handwritten or typed letter can be submitted directly to the Internal Committee (IC) or its Presiding Officer.
- An email from the complainant’s official or personal ID is equally valid.
- If the complainant is unable to write, the IC must assist her in recording and formalizing the complaint.
This ensures that the inability to draft or format a complaint never becomes a barrier to seeking justice.
2. Timelines for Submitting a Complaint
Time-bound redressal is at the heart of the POSH framework. The law prescribes:
- A complaint should be filed within 3 months of the incident.
- If harassment occurred over a series of incidents, the 3-month period is calculated from the last incident.
- The IC may extend this timeline by another 3 months, provided it is convinced that valid reasons (such as trauma, fear of retaliation, or unawareness) prevented timely filing.
This balance of structure and flexibility reflects the law’s understanding of the sensitive nature of sexual harassment cases.
3. Essential Contents of a Complaint
While the law does not enforce a rigid format, certain details strengthen the complaint and ease the inquiry process:
- Date, time, and location of the incident(s).
- Name, designation, or identifiable details of the respondent(s).
- Clear description of the incident(s): including words, actions, gestures, or
- behaviors.
- Impact on the complainant: emotional, professional, or physical consequences.
- Witnesses, if any, who were present or can corroborate.
- Supporting documents or evidence, such as emails, text messages, CCTV footage, or call logs.
Such details allow the IC to assess the complaint thoroughly and prepare for a fair inquiry.
4. The IC’s Role Upon Receipt
The Internal Committee’s responsibilities begin the moment a complaint is received. These include:
- Acknowledgment: Confirming receipt in writing and reassuring confidentiality.
- Registration: Logging the case with a unique reference ID for systematic record-keeping.
- Preliminary review: Assessing whether the matter falls under the scope of POSH. If not, redirecting to other appropriate channels (e.g., HR grievance redressal).
- Confidentiality: Ensuring details are shared strictly on a need-to-know basis. A sensitive, structured response demonstrates professionalism and builds the complainant’s trust in the process.
5. Why the First Step Matters Most
The first step of receiving a complaint is not just procedural — it is symbolic and foundational.
- It is a signal of trust: the complainant has chosen to rely on the IC and the organization for justice.
- It is a legal trigger: activating the POSH timelines and compliance obligations.
- It is the foundation of fairness: a properly received and documented complaint prevents misinterpretation, bias, or mishandling later.
If mishandled, this stage can erode trust, compromise confidentiality, and even result in non- compliance with the law.
Conclusion
“When the First Word Matters” captures the essence of Step 1 in POSH investigation the receipt of complaint. This stage requires empathy, clarity, and strict adherence to legal procedures. By handling complaints with sensitivity and diligence from the very start, organizations not only comply with the POSH Act but also create a culture where employees feel safe to speak up and seek justice.
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