Anonymous Report (HinSchG)

Mandatory handling of anonymous reports since 01.01.2025

Practitioner's note: This article is practice-oriented compliance documentation, not legal advice. We are a compliance specialist, not a law firm. For legally binding information please consult a licensed lawyer.

TL;DR

Pursuant to Section 16 (1) of the German Whistleblower Protection Act (HinSchG), an anonymous report is a tip without identification of the sender. Since 01.01.2025, reporting offices must be able to process and follow up on anonymous reports.

What is an Anonymous Report (HinSchG)?

Requirements:

Tools with an anonymous return channel:

Practical example

An employee anonymously reports suspected corruption. The software issues a token. The whistleblower can later use the token to query the status — without disclosing their identity.

Frequently asked questions

Is an email address sufficient for anonymity?
No — pseudonymity is not anonymity. Specialized software is required.
Fine for failure to handle anonymous reports?
Section 40 HinSchG: up to EUR 50,000. Supervisory authority practice in 2025: intensified controls from 02/2025.

See also