Events

How India Uses Digital Infrastructure

ITW Panel Discussion – The Next Billion Users in South Asia & South-East Asia How India Uses Digital Infrastructure Listen..

Latency is the New Currency

ITW Panel Discussion – The Next Billion Users in South Asia & South-East Asia Latency is the New Currency Latency..

Perfect Storm in South Asia

ITW Panel Discussion – The Next Billion Users in South Asia & South-East Asia Perfect Storm in South Asia Digital..

Performance Security Reliability

ITW Panel Discussion – The Next Billion Users in South Asia & South-East Asia Performance Security Reliability Why is there..

Bottoms Up Redesign of Networks

ITW Panel Discussion – The Next Billion Users in South Asia & South-East Asia Bottoms Up Redesign of Networks Out..

Need for Efficiency

ITW Panel Discussion – The Next Billion Users in South Asia & South-East Asia Need for Efficiency Need For Efficiency..

Disrupting South Asia Digital Space

ITW Panel Discussion – The Next Billion Users in South Asia & South-East Asia Disrupting South Asia Digital Space What..

Connection of Connections

ITW Panel Discussion – The Next Billion Users in South Asia & South-East Asia Connection of Connections Whether it is..

How is The Digital Infrastructure Growing in South Asia?

ITW Panel Discussion – The Next Billion Users in South Asia & South-East Asia How is The Digital Infrastructure Growing..

Whistleblower Policy


The Whistleblower can make a Protected Disclosure by emailing his/ her concerns at - ethics@lightstormtelecom.com. The reporting channel will be managed by the Compliance Officer and will be over seen by the Audit Committee or the Nominated Director, as applicable.

The Whistleblower may choose to make a Protected Disclosure anonymously or by sharing his/her identity. Protected Disclosure should be written to provide clear understanding of the issues raised and should either be typed or written in a legible handwriting in English or Hindi or any vernacular language. All Protected Disclosure concerning financial or accounting matters or those concerning the Compliance Officer or HOD and above shall be addressed directly to the Audit Committee or the Nominated Director, as applicable. Protected Disclosures should be factual and should contain as much specific information as possible to allow proper assessment of the Protected Disclosure.

The allegation should be supported by specific/minimum information as below:

i. Location of incident

ii. Timing of incident

iii. Personnel involved

iv. Specific evidence or source of evidence

v. Detailed description of the incident

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