THE BGA GROUP
PAIA Manual
prepared in terms of section 51 of the Promotion of Access to Information Act
2 of 2000 (as amended)
TABLE OF CONTENTS
- LIST OF ACRONYMS AND ABBREVIATIONS
- SCOPE OF THIS MANUAL
- INTRODUCTION
- PURPOSE
- KEY CONTACT DETAILS FOR ACCESS TO INFORMATION OF THE BGA GROUP
- GUIDE ON HOW TO USE PAIA AND HOW TO OBTAIN ACCESS TO THE GUIDE
- CATEGORIES OF RECORDS OF THE BGA GROUP WHICH ARE AVAILABLE WITHOUT A PERSON HAVING TO REQUEST ACCESS
- DESCRIPTION OF THE RECORDS OF THE BGA GROUP WHICH ARE AVAILABLE IN ACCORDANCE WITH ANY OTHER LEGISLATION
- DESCRIPTION OF THE SUBJECT ON WHICH THE BGA GROUP HOLDS RECORDS AND CATEGORIES OF RECORDS HELD ON EACH SUBJECT BY THE BGA GROUP
- PROCESSING OF PERSONAL INFORMATION
- REQUEST PROCEDURE
- AVAILABILITY OF MANUAL
- UPDATING OF THE MANUAL
1. LIST OF ACRONYMS AND ABBREVIATIONS
- “BGA” means Broom Group Africa Proprietary Limited, a private company duly incorporated in terms of the laws of the Republic of South Africa under registration number: 2022/783142/07;
- “BGA Group” means collectively the entities as contemplated in section 2 below;
- “BGPA” means Broom Group Properties Africa Proprietary Limited, a private company duly incorporated in terms of the laws of the Republic of South Africa under registration number: 2021/925432/07;
- “BLA” means Broom Logistics Africa Proprietary Limited, a private company duly incorporated in terms of the laws of the Republic of South Africa under registration number: 2020/467936/07;
- “Data Subjects” means the persons to whom Personal Information relates, including customers, employees, operators, suppliers, other persons and third parties;
- “GHL” means Good Hope Logistics Proprietary Limited, a private company duly incorporated in terms of the laws of the Republic of South Africa under registration number: 2012/058109/07;
- “Guide” means the guide on how to use PAIA by any person who wishes to exercise any right contemplated in the PAIA and the POPIA, as contemplated in section 10 of PAIA;
- “LCL” means LCL Logistics Southern Africa Proprietary Limited, a private company duly incorporated in terms of the laws of the Republic of South Africa under registration number: 2001/025274/07;
- “Manual” means this document;
- “PAIA” means the Promotion of Access to Information Act No. 2 of 2000 (as amended);
- “Personal Information” means personal information as defined under section 1 of the POPIA;
- “PLS” means Perishable Logistic Services Proprietary Limited, a private company duly incorporated in terms of the laws of the Republic of South Africa under registration number: 2012/111916/07;
- “POPIA” means the Protection of Personal Information Act No.4 of 2013;
- “Prescribed Fee” means a prescribed request fee published by the Regulator and levied to a Requestor for processing the request for information or records;
- “Record” means any recorded information, regardless of form or medium in the possession or under the control of the BGA Group, whether or not it was created by the BGA Group;
- “Regulations” means the Promotion of Access to Information Act No. 2 of 2000: Regulations Relating to the Promotion of Access to Information of 2021;
- “Regulator” means the Information Regulator of South Africa, established in terms of section 39 of the POPIA;
- “Requester” means a natural person or juristic person seeking access to information;
- “Vamos” means Vamos Holdings Proprietary Limited, a private company duly incorporated in terms of the laws of the Republic of South Africa under registration number: 2022/713208/07;
- “Werda Cargo” means Werda Cargo Proprietary Limited, a private company duly incorporated in terms of the laws of the Republic of South Africa under registration number: 2015/433552/07; and
- “Werda Holdings” means Werda Holdings Proprietary Limited, a private company duly incorporated in terms of the laws of the Republic of South Africa under registration number: 2015/151517/07.
2. SCOPE OF THIS MANUAL
- The scope of this Manual includes LCL and the following related entities in which LCL has a direct interest, BGA; BGPA; BLA; GHL; PLS; Vamos; Werda Cargo; and Werda Holdings.
3. INTRODUCTION
PAIA came into effect on 9 March 2001, giving practical implementation to the right of access to information under section 32(2) of the Constitution. A key requirement of PAIA is that private bodies must compile an information manual detailing the types and categories of records they hold. This document serves as the BGA Group’s information Manual and outlines the records in its possession, along with the procedures to follow when requesting access to these records.
4. PURPOSE
- This Manual is intended to assist members of the public in understanding and exercising their rights in terms of PAIA and POPIA. Specifically, this Manual enables the public to: –
- identify the categories of records held by the BGA Group which are available without the need to submit a formal request in terms of PAIA;
- understand how to make a request for access to a record of the BGA Group, by providing a description of the subjects on which the BGA Group holds records, and the categories of records held on each subject;
- know the description of the records of the BGA Group which are available in accordance with any other legislation;
- access all the relevant contact details of the Information Officer and Deputy Information Officer, who are responsible for assisting members of public with access to records;
- know where to access the Guide on how to use PAIA, as updated by the Regulator and how to obtain access to it;
- know if the BGA Group will process Personal Information, the purpose of such processing, the description of the categories of Data Subjects and of the information or categories of information relating thereto;
- know the recipients or categories of recipients to whom the Personal Information may be supplied;
- know if the BGA Group intends to transfer or Process Personal Information outside the Republic of South Africa and the recipients or categories of recipients to whom the Personal Information may be supplied; and
- determine whether the BGA Group has appropriate security safeguards to ensure the confidentiality, integrity and availability of the Personal Information which is to be processed.
5. KEY CONTACT DETAILS FOR ACCESS TO INFORMATION OF THE BGA GROUP
- Chief Information Officers: –
- BGA:
For Attention: Dawid Kok
Telephone: 021 943 6760
Email: dawie@lclog.com - BGPA:
For Attention: Dawid Kok
Telephone: 021 943 6760
Email: dawie@lclog.com - BLA:
For Attention: Dawid Kok
Telephone: 021 943 6760
Email: dawie@lclog.com - GHL:
For Attention: Frik O’Callaghan
Telephone: 021 943 6760
Email: frik@lclog.com - LCL:
For Attention: Dawid Kok
Telephone: 021 943 6760
Email: dawie@lclog.com - PLS
For Attention: Simon Jacobus Korkie
Telephone: 021 943 6760
Email: simon@lclog.com - Vamos:
For Attention: Frik O’Callaghan
Telephone: 021 943 6760
Email: frik@lclog.com - Werda Cargo:
For Attention: Daniël Johannes Bosman
Telephone: 021 943 6760
Email: daniel.b@lclog.com - Werda Holdings:
For Attention: Daniël Johannes Bosman
Telephone 021 943 6760
Email: daniel.b@lclog.com
- BGA:
- Access to information general contacts: –
Email: info.fa@lclog.com .
For Attention: Angelique Visagie
- National or Head Office: –
Postal Address: Postnet Suite 111, Private Bag X7, Tygervallei, 7536
Physical Address: Brickfield Office 2, 13 Alberto Drive, Devonbosch, Corner Bottelary Road and R304, Stellenbosch, 7605
Telephone: 021 943 6760
Email: info.fa@lclog.com
Website: https://lclog.com/
6. GUIDE ON HOW TO USE PAIA AND HOW TO OBTAIN ACCESS TO THE GUIDE
- The Regulator has, in terms of section 10(1) of the PAIA, updated and made available revised Guide, in an easily comprehensible form and manner. The purpose of the Guide is to provide information that is needed by any person who wishes to exercise any right contemplated in the PAIA and the POPIA.
- This Guide will specifically assist Data Subjects, on how to access his/her or its personal information in terms of section 23 of the POPIA. The Regulator has made available the Guide which can be obtained:
- upon request to the Information Officer by completing Form 01 and submitting same via conventional mail or email using the address indicated in clause 5 above; or
- from the website of the Regulator being https://inforegulator.org.za/
- A copy of the Guide is also available in the following two official languages, for public inspection during normal office hours: –
- Afrikaans; and
- English
7. CATEGORIES OF RECORDS OF THE BGA GROUP WHICH ARE AVAILABLE WITHOUT A PERSON HAVING TO REQUEST ACCESS
In accordance with PAIA, the following categories of records held by the BGA Group are readily available to any person, without the need to submit a formal request for access in terms of PAIA. Such information may be accessed through LCL’s official website or obtained upon informal request via telephone or email (“Informal Request“): –
|
Category of Records |
Types of Records |
Available on Website |
Available upon Informal Request |
|
Company profile and group network information |
Logistics network; |
x |
x |
|
Company profile; |
x |
x |
|
|
General information; |
x |
x |
|
|
Contact details of affiliated offices; |
x |
x |
|
|
Physical address of entities within LCL; |
x |
x |
|
|
Overview of services offered by affiliated entities; and |
x |
x |
|
|
Overview of partnerships including a link to the affiliate’s website. |
x |
x |
|
|
Policies and Guidelines |
PAIA Manual; and |
x |
x |
|
Privacy Policy. |
x |
x |
8. DESCRIPTION OF THE RECORDS OF THE BGA GROUP WHICH ARE AVAILABLE IN ACCORDANCE WITH ANY OTHER LEGISLATION
The BGA Group holds the following records in accordance with the following legislation: –
|
Category of Records |
Applicable Legislation |
|
Statutory company documents and company secretarial documents |
Companies Act 71 of 2008 Competition Act 89 of 1998 Electronic Communications and Transactions Act 25 of 2002 Protected Disclosures Act 26 of 2000 Regulation of Interception of Communications and Provision of Communication-related Information Act 70 of 2002 |
|
PAIA Manual |
Promotion of Access to Information Act 2 of 2000 |
|
POPIA Manual |
Protection of Personal Information Act 4 of 2013 |
|
Employment records |
Basic Conditions of Employment Act 75 of 1997 Broad Based Black Economic Empowerment Act 53 of 2003 Compensation for Occupational Injuries and Transaction Act 130 of 1993 Employment Equity Act 55 of 1998 Immigration Act 13 of 2002 Labour Relations Act 66 of 1995 Occupational Health and Safety Act 85 of 1993 Pension Funds Act 24 of 1956 Skills Development Act 97 of 1998 Skills Development Levies Act 9 of 1999 Unemployment Insurance Contributions Act 4 of 2002 Unemployment Insurance Fund Act 63 of 2001 |
|
Financial and accounting records |
Financial advisory and Intermediary Services Act 37 of 2002 Financial Markets Act 19 of 2012 Financial Sector Regulations Act 9 of 2017 Financial Services Board Act 97 of 1990 Financial Intelligence Centre Act 38 of 2001 Income Tax Act 58 of 1962 South African Revenue Services Act 34 of 1997 Tax Administration Act 28 of 2011 Value Added Tax Act 89 of 1991 |
|
Transportation compliance and regulatory records |
Administrative Adjudication of Road Traffic Offences Act 46 of 1998 Cross-Border Road Transport Act 4 of 1998 Carriage by Air Act 17 of 1946 Carriage of Goods by Sea Act 1 of 1986 Customs and Excise Act 91 of 1964 National Road Traffic Act 93 of 1996 National Land Transport Act 5 of 2009 |
|
Consumer and credit compliance |
Consumer Protection Act 68 of 2008 National Credit Act 34 of 2005 |
|
Anti-money laundering and regulatory reporting records |
Prevention of Organised Crime Act 121 of 1998 Prevention and Combating of Corrupt Activities Act 12 of 2004 Protection of Constitutional Democracy Against Terrorist and Related Activities Act 33 of 2004 |
|
Environmental, safety and compliance records |
National Environmental Management Act 107 of 1998 National Environmental Management: Waste Act 59 of 2008 National Regulator for Compulsory Specifications Act 5 of 2008 |
9. DESCRIPTION OF THE SUBJECT ON WHICH THE BGA GROUP HOLDS RECORDS AND CATEGORIES OF RECORDS HELD ON EACH SUBJECT BY THE BGA GROUP
- In terms of POPIA, Personal Information must be Processed for a specific, lawful, and explicitly defined purpose. The purpose for which Personal Information is processed by the Data Subject depends on the nature of the information and the specific category of Data Subject involved.
- The BGA Group process the following categories of information: –
|
Subject on which the BGA Group holds records |
Category of records |
|
Accounting records |
Accounting records; Annual financial statements; Auditors’ reports; Bank statements; Business plans; Capital expenditure; Credit agreements; Invoices; Record of assets; Record of liabilities and obligations; Record of liabilities; Record of loans to related parties; Record of revenue and expenses; Tax returns and assessments; Insurance Records, BBB-EE certificates and records; and VAT returns. |
|
Tax records |
Income tax returns; Tax assessments; Documents relating to where the objection and appeal is lodged; Provisional tax returns; and VAT documents. |
|
Legal agreements |
Agreements with personnel; and Agreements with customers. |
|
Statutory company records |
Annual statutory returns; Registrar of allotment; Registrar of directors and shareholders; Resolutions; Shareholders’ agreements; CIPC documents (certificate of change of name, certificate to commence business and certificate of incorporation; and Memorandum of Incorporation. |
|
Employment records |
Employee evaluation and performance records; UIF, PAYE and SDL returns; employee personal information records; Bank details; Medical Aid Information; Tax numbers; Employment contracts; IRP 5 and IT3 certificates; Payroll; Employee remuneration; Criminal Checks; Background Checks; Personal profile assessments. |
10. PROCESSING OF PERSONAL INFORMATION
- The BGA Group Processes the Personal Information of the following categories of persons: stakeholders; employees; website users; prospective employees; customers; clients; and creditors.
- The BGA Group processes Personal Information for purposes reasonably necessary to carry out its functions and objectives as service providers in the logistics and related services industry. These purposes include, but are not limited to: –
- ensuring that customer orders are fulfilled, including but not limited to the linking of Personal Information to specific freights, senders and/or receivers;
- providing logistics, transport, and freight forwarding services internationally;
- managing relationships with customers, employees and stakeholders;
- complying with legal and regulatory obligations;
- communicating with customers, employees, stakeholders or any other Data Subjects, including sending service updates, notices, and marketing communications;
- ensuring the safety and security of goods transported, information systems, and employees;
- distributing industry-related information to authorised and necessary / relevant parties;
- electing and communicating with directors, shareholders and regional representatives;
- handling enquiries received via the website;
- administering statutory levy collection, compliance, and reporting;
- maintaining records of correspondence, stakeholder interactions, and operational statistics;
- recruiting and selecting employees or stakeholders (for example receiving and evaluating CVs and conducting background checks);
- keeping record of employees (drafting employment contracts and maintaining employee records);
- administering payroll and employee benefits; and
- complying with labour laws and tax regulations.
- Description of the categories of Data Subjects and of the information or categories of information relating thereto: –
|
Categories of data subjects |
Personal Information that may be processed |
|
Customers |
Name and surname; Contact details; Registration number(s) and/ or identity number(s); Bank details; KYC documents (as required by the Financial Intelligence Centre Act 38 of 2001, as amended); Registration certificates (to the extent that it contains Personal Information); VAT numbers; and Physical Address. |
|
Stakeholders |
Name and Surname; Address; Registration certificates (to the extent that it contains Personal Information; Registration numbers and/ or identity number(s); and VAT numbers. |
|
Employees |
Names and surname; Identity number; Address; Qualifications; Gender; Age; Contact details; Race; Banking details. |
|
Creditors |
Name and surname; Contact details; Registration number(s); Physical address; and Banking details. |
- The recipients or categories of recipients to whom the Personal Information may be supplied: –
|
Category of Personal Information |
Recipient or category of recipients to whom the Personal Information may be supplied |
|
Identity numbers and names and surname, for criminal background checks |
South African Police Services |
|
Credit and payment history, for credit information |
Credit Bureaus |
|
Client information, to service providers |
Third-party platforms (only to the extent that the Customer has consented to the sharing of his/her/its Personal Information with third parties). The receiver of the transported goods (to the extent that the receiver is a registered user of the third-party platforms utilised by the BGA Group). |
- Planned transborder flow of Personal Information: –
- The BGA Group makes use of third-party platforms to batch-track the origin of transported goods.
- Customers’ Personal Information is uploaded to these platforms, to the extent that the Customer has consented to such information being used for the coordination of transported goods.
- Recipients of the transported goods can access the platform to track the origin of the goods received, provided that the recipient is a registered user of the third-party platform.
- General description of information security measures to be implemented by the responsible party to ensure the confidentiality, integrity and availability of the information, include, adequate security safeguards, measures and controls have been implemented by the BGA Group to ensure the confidentiality and integrity of Personal Information, and to minimise the risk of loss, unauthorised access, disclosure, interference, modification or destruction of personal information.
11. REQUEST PROCEDURE
It is important to note that the completion and submission of Form 02 does not automatically allow the requester access to the requested record. An application for access to a record is subject to certain limitation if the requested record falls within a certain category as specified within Part 3 Chapter 4 of PAIA (see the sections “Grounds for refusal” and “Discretionary grounds for refusal” below).
- Who may request information?
- Any person, whether a South African citizen or not, may submit a request for access to information under PAIA (the “Requester”). The Requester may be either a natural person or a juristic person.
- A Requester who seeks access to records held by the BGA Group must clearly indicate the right they are seeking to protect or exercise by means of the requested information.
- A public body is considered a juristic person and may make a request for access to records held by private bodies, but only if the public body is acting in the interest of the public; and if the records are required to fulfil or protect any rights other than those of the public body.
- Notification
The BGA Group will within 30 (thirty) days of receipt decide whether to grant or decline the request and give notice using Form 03 (or a form that corresponds substantially with Form 03) with reasons (if required) to that effect. The 30 (thirty) day period within which the BGA Group has to decide whether to grant or refuse the request maybe extended for a further period of not more than 30 (thirty) days, if the request is for a large volume of information, or he request requires a search for information held at another office and the information cannot reasonably be obtained within the 30 (thirty) day period. Should an extension be required, the BGA Group will notify the requester in writing, together with reasons explaining why the extension is necessary.
- How is the request made?
In order to facilitate a timely response to request for access, all Requesters should take note of the following:
-
- A request to access information is made by completing the prescribed Form 02 available on the Regulators website at https://inforegulator.org.za/paia/.
- Proof of identity is required to authenticate the identity of the Requester.
- If the request is made on behalf of another person, the requester must submit proof of the capacity in which the requester is making the request.
- Every question in the Form 02 should be answered in BLOCK LETTERS.
- If there is insufficient space on a printed form, additional information may be provided on an additional attached folio.
- When the use of an additional folio is required, preceded each answer with the applicable title.
- In addition to Form 02, the following Forms are also available on the Regulators website at https://inforegulator.org.za/paia/:-
- Form 01: Request for a Guide from the Regulator;
- Form 01: Request for a Copy of the Guide from an Information Officer;
- Form 03: Outcome of request and of fees payable;
- Form 04: Internal Appeal Form;
- Form 05: Complaint Form; and
- Form 13: PAIA Request for Compliance Assessment Form.
- Submission of Request for Access to Record Form
- The completed Form 02, together with a copy of the identity document of the requester, and the additional folio’s (if applicable), must be addressed to the Information Officer and submitted either via conventional mail or the email address indicated in clause 5 above.
- A request fee (based on the Prescribed Fee) is payable on submission. This fee is not applicable to Data Subjects seeking access to records that contain their Personal Information.
- If it is reasonably suspected that the requester obtained access to records through the submission of materially false or misleading information, legal proceedings may be instituted against such requester.
- Fees
The BGA Group may require the Requester to pay a fee or a deposit fee. These fees must be reasonable and may only cover the time and resources needed to locate and prepare the requested record.
- Grounds for refusal
- The Information Officer must refuse a request for information if the following grounds apply: –
- Mandatory protection of the privacy of a third party (natural person), unless consent is given or the information is already public knowledge.
- Mandatory protection of certain South African Revenue Services (“SARS”) records.
- Mandatory protection of commercial information of a third party (for example trade secrets).
- Mandatory protection of certain confidential information of a third party if a duty of confidentiality is owed to a third party in terms of an agreement.
- Mandatory protection of an individual’s safety and the protection of property.
- Mandatory protection of police dockets and law enforcement procedures.
- Mandatory protection of information which is regarded as privileged in legal proceedings.
- Mandatory protection of research information of third party, and protection of research information of public or private body.
- The commercial activities of the BGA Group which may include trade secrets or financial, commercial, commercial, scientific or technical information which disclosure could likely cause harm to the financial or commercial interest of the BGA Group.
- The Information Officer must refuse a request for information if the following grounds apply: –
- Discretionary grounds for refusal
- The Information Officer may refuse a request for information if one or more of the following grounds apply: –
- Protection of South Africa’s defence, security, or international relations.
- Protection of the Republic’s economic, financial, or commercial interests.
- Where disclosure would hamper the operations of public bodies.
- Frivolous or vexatious requests.
- The Information Officer may refuse a request for information if one or more of the following grounds apply: –
12. AVAILABILITY OF MANUAL
- A copy of this Manual is available –
- at https://lclog.com/paia-policy/;
- at Brickfield Office 2, 13 Alberto Drive, Devonbosch, Corner Bottelary Road and R304, Stellenbosch, 7605 for public inspection during normal business hours;
- to any person upon request made and submitted to the Information Officer on Form 02 and upon the payment of the Prescribed Fee; and
- to the Information Regulator upon request.
- The Prescribed Fee for a copy of the Manual shall be payable per each size A4 photocopy made.
13. UPDATING OF THE MANAUL
The Information Officer of the BGA Group will update this Manual on a regular basis.
Issued by
DAWIE KOK
Date of Compilation: 1 June 2025
Date of Revision: 1 June 2025
