RYPLEX SOLUTIONS LTD.

Ethics Reporting and Whistleblower Protection Policy

The procedure for reporting suspected misconduct, regulatory breaches, or unethical behaviour, and how persons making reports are protected from retaliation.

1. Policy Statement

Ryplex Solutions Ltd. (“Ryplex”, “Company”, “we”, “our”, or “us”) is committed to maintaining a business environment based on lawful conduct, integrity, accountability, and responsible corporate governance.
This Policy sets out the procedure for reporting suspected misconduct, regulatory breaches, unethical behaviour, financial crime concerns, or serious violations of Company rules. It also explains how such reports are reviewed and how persons making reports are protected from retaliation.
The purpose of this Policy is to ensure that concerns are raised early, reviewed fairly, and addressed through an appropriate internal process.

2. Application of this Policy

This Policy applies to persons who have a professional, contractual, corporate, or business-related connection with Ryplex Solutions Ltd., including:
Reports may be made regardless of seniority, role, or length of relationship with the Company.

3. Matters That May Be Reported

A report may concern any suspected, actual, or attempted misconduct involving Ryplex Solutions Ltd., its personnel, customers, counterparties, or service providers.
Reportable concerns may include, without limitation:
This Policy is not intended to replace ordinary HR, support, or customer complaint procedures unless the matter involves serious misconduct or public-interest concerns.

4. Legal and Compliance Context

Ryplex Solutions Ltd. maintains this Policy with reference to applicable Canadian legal, regulatory, employment, financial crime, and corporate governance requirements.
Relevant areas may include:
The Company may also apply internal standards that are stricter than the minimum legal requirement where necessary to protect the integrity of its operations.

5. Reporting Channels

Email Reporting. Reports may be sent to the Company through its designated compliance or support contact channel.
Written Reporting. Reports may also be submitted in writing to the Company’s registered office:
Ryplex Solutions Ltd., 1110 Finch Avenue West, Unit 1293 North York, Ontario, M3J2T2, Canada

6. Information to Include in a Report

To allow the Company to assess and investigate a concern effectively, a report should, where possible, include:
A report does not need to be legally proven at the time of submission. However, it should be made honestly and based on reasonable belief.

7. Anonymous Reports

Ryplex Solutions Ltd. may accept anonymous reports where permitted by law and operationally possible.
Anonymous reporting can help protect the identity of the person raising the concern, but it may also limit the Company’s ability to:
Where anonymity is requested, the Company will make reasonable efforts to respect it, subject to legal, regulatory, and investigative requirements.

8. Confidentiality

Reports will be handled confidentially to the extent reasonably possible.
Information relating to a whistleblowing report may be shared only with persons who need access for review, investigation, legal advice, regulatory reporting, disciplinary action, or remediation.
Confidentiality may be limited where disclosure is required by:

9. Protection Against Retaliation

Ryplex Solutions Ltd. prohibits retaliation against any person who raises a concern in good faith.
Retaliation may include:
Any person who retaliates against a whistleblower may be subject to disciplinary action, contractual remedies, or other appropriate measures.

10. Good Faith Requirement

Whistleblowers are expected to make reports honestly and with a reasonable belief that the information may be true.
The Company will not penalise a person for raising a concern in good faith, even if the concern is not ultimately confirmed.
However, knowingly false, malicious, or deliberately misleading reports may result in disciplinary action or other consequences.

11. Review and Investigation Process

After receiving a report, Ryplex Solutions Ltd. may take the following steps:
Investigations will be conducted objectively, proportionately, and with due regard to confidentiality and fairness.

12. Outcomes and Remedial Action

Depending on the findings, the Company may take one or more actions, including:
The Company may be unable to disclose full investigation results where confidentiality, privacy, employment, legal, or regulatory restrictions apply.

13. Recordkeeping

Ryplex Solutions Ltd. will maintain appropriate records of whistleblowing reports, assessments, investigations, evidence reviewed, decisions made, and remedial steps taken.
Records will be retained for a period consistent with legal, regulatory, employment, and operational requirements.
Access to whistleblowing records will be limited to authorised persons with a legitimate need to know.

14. External Reporting

Where permitted or required by law, individuals may have the right to report certain matters to competent external bodies, regulators, law enforcement, or other authorities.
Nothing in this Policy prevents a person from making a protected disclosure to an appropriate authority where such disclosure is lawful.
However, the Company encourages internal reporting first where this is safe, appropriate, and does not interfere with legal obligations or urgent risk prevention.

15. Policy Review

This Policy may be reviewed and updated periodically to reflect changes in law, regulatory expectations, Company structure, operational risks, or internal governance arrangements.
Updated versions will become effective once approved and published or otherwise communicated by the Company.
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