The misplaced responsibility that POSH is!
Who should implement POSH?

The misplaced responsibility that POSH is!

I often engage with HR professionals tasked with overseeing the adherence to the Prevention of Sexual Harassment (POSH) laws, and I've observed a troubling pattern that merits discussion. The lack of involvement from the upper echelons of company leadership, such as CEOs and COOs, in championing POSH compliance is a glaring oversight. Leadership must forefront the initiative, setting a tone that emphasizes the significance of these guidelines.

A notable error in the implementation of POSH regulations is the assignment of Internal Committee membership responsibilities solely to HR departments. This approach overlooks the necessity for members who possess a nuanced understanding of compliance beyond the HR scope, including budgeting considerations for compliance initiatives.


Moreover, relegating POSH compliance to the realm of employee engagement activities diminishes its importance as a critical compliance obligation. While Learning & Development departments can contribute valuable awareness training, such efforts should be recognized as distinct from general engagement activities. The misguided attempt to integrate POSH into 'fun' activities underlines this confusion.

Another critical misstep is the exclusion of the finance team from discussions on POSH implementation or, worse, delegating pivotal decisions to procurement teams, driven by cost considerations. This often leads to the selection of the least expensive options for compliance, which can be detrimental. It's essential for the finance team to grasp the importance of allocating adequate resources to support POSH initiatives, ensuring compliance isn't compromised by budgetary constraints.

Legal teams, too, play a crucial role in the POSH framework. They should be consulted not only for their expertise in compliance matters but also for their input on the selection of external partners to aid in POSH execution. Their involvement ensures that the company's POSH strategy is robust, legally sound, and effectively implemented.

The distribution of responsibilities among stakeholders needs clarification. HR's focus should be on the logistical aspects of conducting awareness and training sessions, rather than on content creation or the selection of external partners. Training programs should aim to empower the Internal Committee with the necessary skills to manage cases efficiently and report findings accurately, with ongoing oversight and audits conducted by the legal team to guarantee compliance.

In summary, for a company to successfully navigate POSH compliance, it's imperative to engage senior management in establishing the framework, consult with legal teams for procedural and legal guidance, involve finance in ensuring adequate resource allocation, and task HR with the organization of educational initiatives. This strategic division of roles ensures a comprehensive, compliant, and effective POSH program, avoiding the significant repercussions of non-compliance in the long term.


As we navigate the complexities of implementing the Prevention of Sexual Harassment (POSH) guidelines effectively within organizations, it's crucial to engage in continuous dialogue and reflection on our practices. Here are some prompt questions for you to consider, aimed at fostering a deeper understanding and commitment to creating a safe and compliant workplace:

  1. How actively involved is your top management in setting the tone and expectations for POSH compliance within your organization? What steps could be taken to enhance their participation and commitment?
  2. Reflect on how your organization assigns responsibilities for POSH compliance. Are the right teams and individuals empowered with the tasks that match their expertise and roles within the company?
  3. Consider whether your organization treats POSH compliance as a critical investment or a minimal requirement. How does your current budgeting for POSH initiatives reflect your commitment to a safe workplace?
  4. Evaluate the effectiveness of your current POSH awareness and training programs. Are they designed to be engaging, informative, and capable of equipping your team with the knowledge and tools they need?
  5. Assess how integrated your legal and finance teams are in the POSH compliance process. Are their insights and expertise being utilized to strengthen your POSH framework?
  6. If your organization relies on external partners for POSH compliance, how do you ensure they align with your legal and ethical standards? What criteria do you use for their selection?

Reflecting on these questions can help illuminate areas for improvement and reinforce the importance of a comprehensive approach to POSH compliance. If you find yourself seeking further guidance or needing expert advice on how to navigate these challenges effectively, our team at Ungender is here to assist.

Ungender specializes in providing expert consultancy services to organizations aiming to create safer, more inclusive workplaces. Our expertise encompasses legal compliance, policy formulation, and the development of engaging training programs tailored to your unique organizational needs.

To explore how we can support your POSH compliance journey and foster a workplace culture rooted in respect and safety, reach out to our team of experts at Ungender. Together, we can make meaningful strides towards a workplace environment where everyone feels valued and protected.

Contact us today (www.ungender.in)to start a conversation about how we can help your organization not just comply with POSH regulations, but excel in creating a truly inclusive workplace.


Ayushi Dikshit

Lawyer and POSH, and POCSO Facilitator

4 个月

Well said ma'am. I couldn't agree more on this.

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S K

Analyst , Raising Funds for "Legal Tech Products" & "Real Estate Startups " │ Legal, Tech & Finance Enthusiasts │ I L?VΞ TΞcHN?L?G? , Ζ???H?L??? & ??????L?

7 个月

Pallavi Pareek Jee, #Excellent #Coverage #CFBR #NoMeansNo #POSH #WomenEmpowerment

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Vidhi Kumar

Building A Degree Above | Let's Rethink Early Careers!

7 个月

Really like the way you have structured the stakeholders' roles. I remember when we partnered, your early interventions were all around building this clarity.

updesh madan

Director Fin.&CG FHT Ex.VP-Arcil & Ex DGM-State Bank Mumbai Turn around specialist

7 个月

Quite meaningful!!

updesh madan

Director Fin.&CG FHT Ex.VP-Arcil & Ex DGM-State Bank Mumbai Turn around specialist

7 个月

Quite meaningful!!

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