Chartered Accountants
Insolvency Practitioners
Business Advisors

Provision of services


PROVISION OF SERVICES REGULATIONS SUMMARY SHEET FOR ANG (UK) LTD (“ANG”)

The following information is designed to draw the attention of interested parties to the information required to be disclosed by the Provision of Services Regulations 2009.

Licensing Body
Muhammad Usman Nazir (11290) is licensed to act as Insolvency Practitioners in the United Kingdom by the Institute of Chartered Accountants in England and Wales, and is registered with the Insolvency Service under the IP number quoted. Muhammad Usman Nazir is a member of the Institute of Chartered Accountants in England and Wales and the Association of Chartered Certified Accountants. ANG is also a member of the Institute of Chartered Accountants in England & Wales and the Association of Chartered Certified Accountants.

Rules Governing Actions
IP is bound by the rules of his professional body, including any that relate specifically to insolvency. The rules of the professional body that licences Muhammad Usman Nazir of ANG can be found at https://www.icaew.com/-/media/corporate/files/members/regulations-standardsand-guidance/master--insolvency-regulations-and-guidance-notes-010518.ashx?la=en and
https://www.accaglobal.com/uk/en/about-us/regulation/ethics/acca-code-of-ethics-andconduct.html; In addition, IPs are bound by the Statements of Insolvency Practice (SIPs),
details of which can be found at https://www.r3.org.uk/what-wedo/publications/professional/statements-of-insolvency-practice.

Ethics
All IPs are required to comply with the Insolvency Code of Ethics and a copy of the Code can
be found at https://www.icaew.com/technical/insolvency/sips-regulations-and-guidance/insolvency-code-of-ethics

 Complaints
At ANG we always strive to provide a professional and efficient service. However, we recognise that it is in the nature of insolvency proceedings for disputes to arise from time to time. As such, should you have any comments or complaints regarding the administration of a particular case then in the first instance you should contact the IP acting as office holder.
If you consider that the IP has not dealt with your comments or complaint appropriately you should then put details of your concerns in writing to us. Most disputes can be resolved amicably either through the provision of further information or following negotiations. However, in the event that you have exhausted our complaints procedure and you are not satisfied that your complaint has been resolved or dealt with appropriately, you may complain to the regulatory body that licences the insolvency practitioner concerned. Any such complaints should be addressed to The Insolvency Service, IP Complaints, 3rd Floor, 1 City Walk, Leeds, LS11 9DA, and you can make a submission using an on-line form available at www.gov.uk/complain-about-insolvency-practitioner; or you can email insolvency.enquiryline@insolvency.gov.uk; or you may phone 0300 678 0015 - Information on the call charges that apply is available at https://www.gov.uk/call-charges. 

Professional Indemnity Insurance
ANG’s Professional Indemnity Insurance is provided by Omnyy LLP of 9th Floor, John Stow House, 18 Bevis Marks, London, EC3A 7JB. This professional indemnity insurance provides worldwide coverage, excluding professional business carried out from an office in the United States of America or Canada, and any action for a claim brought in any court in the United States of America
or Canada.

VAT - ANG is registered for VAT under registration no 195501206.

Bribery Act 2010
ANG is committed to applying the highest standards of ethical conduct and integrity in its business activities. Every employee and individual acting on ANG’s behalf is responsible for maintaining our reputation and for conducting company business honestly and professionally.
ANG take a zero-tolerance approach to bribery and corruption and are committed to acting professionally, fairly and with integrity in all our business dealings and relationships wherever we operate.
ANG requires all those who are associated with it to observe the highest standards of impartiality, integrity and objectivity.
ANG prohibits anyone acting on its behalf from:
  •  bribing another person. A bribe includes the offering, promising or giving of any financial or other type of advantage;
  •  accepting a bribe. This includes requesting, agreeing to receive or accepting any financial, or another kind of advantage;
  •  bribing a foreign public official; and
  •  condoning the offering or acceptance of bribes.
ANG will:
  •  avoid doing business with others who do not accept our values and who may harm our reputation;
  •  maintain processes, procedures and records that limit the risk of direct or indirect bribery;
  •  promote awareness of this policy amongst its staff, those acting on its behalf and entities with which it has any commercial dealings;
  •  investigate all instances of alleged bribery, and will assist the police, and other authorities when appropriate, in any resultant prosecutions. In addition, disciplinary action will be considered against individual members of staff;
  •  review this policy regularly and update it when necessary.
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