91Èȱ¬

Section 1: The 91Èȱ¬'s Editorial Standards

Section 1

1.1 Introduction

The 91Èȱ¬â€™s Royal Charter [1] specifies the 91Èȱ¬â€™s Mission, which is to act in the public interest, serving all audiences through the provision of impartial, high-quality and distinctive output and services which inform, educate and entertain. It also establishes our independence from government, guarantees our editorial and artistic freedom and safeguards the licence fee, the unique funding arrangement which enables the 91Èȱ¬ to pursue a distinctive mission.

The Charter sets out the 91Èȱ¬â€™s Public Purposes:

  1. To provide impartial news and information to help people understand and engage with the world around them.
  2. To support learning for people of all ages.
  3. To show the most creative, highest quality and distinctive output and services.
  4. To reflect, represent and serve the diverse communities of all of the United Kingdom’s nations and regions and, in doing so, support the creative economy across the United Kingdom.
  5. To reflect the United Kingdom, its culture and values to the world.

The Royal Charter and the accompanying Framework Agreement [2] establish that it is a duty of the 91Èȱ¬ Board to set the standards for the 91Èȱ¬â€™s editorial and creative output and services. The 91Èȱ¬ must publish, review periodically and ensure the observance of guidelines designed to secure appropriate editorial standards for our UK Public Services and safeguard the editorial integrity and high quality of the World Service and maintain high standards of editorial integrity and quality for 91Èȱ¬ Monitoring.

Producing and upholding these Editorial Guidelines fulfils those requirements; making our content to the standards in them is an obligation on all of us, led by the Director-General, as the 91Èȱ¬â€™s editor-in-chief. All output made in accordance with these Editorial Guidelines will also thereby meet the requirements of our regulator, Ofcom [3].

[1]  .

[2]  .

[3]  .

1.2 Our editorial values

Our audiences trust us and they expect us to adhere to the highest editorial standards. 

We have a right to freedom of expression, included in the Charter and protected under the European Convention on Human Rights and the Human Rights Act 1998. This freedom is at the heart of the 91Èȱ¬â€™s independence. Our audiences have a right to receive creative material, information and ideas without interference. But our audiences also expect us to balance our right to freedom of expression with our responsibilities to our audiences and to our contributors, subject to restrictions in law. 

We operate in the public interest – reporting stories of significance to our audiences and holding power to account. In our journalism in particular, we seek to establish the truth and use the highest reporting standards to provide coverage that is fair and accurate. Our specialist expertise provides professional judgement and clear analysis. We are impartial, seeking to reflect the views and experiences of our audiences – so that our output as a whole includes a breadth and diversity of opinion and no significant strand of thought is under-represented or omitted. We are independent of outside interests and arrangements that could compromise our editorial integrity. Our editorial standards do not require absolute neutrality on every issue or detachment from fundamental democratic principles. 

Free speech enables the exchange of information and ideas without state interference. It helps to inform public debate – encouraging us to be curious, engaged and critical. It allows, for example, dramatists, satirists and comedians to comment on the world around us. However, freedom of expression is not an absolute right – it carries duties and responsibilities and is also subject to legal restrictions and limits.

In exercising freedom of expression, we must offer appropriate protection to vulnerable groups and avoid causing unjustifiable offence. We must also respect people’s privacy – only putting private information into the public domain where the public interest outweighs an individual’s legitimate expectation of privacy.

We have a particular responsibility towards children and young people and must preserve their right to speak out and be heard. Where they contribute to or feature in our output, we must take due care to ensure that their dignity and their physical and emotional welfare are protected.

(See Section 9 Children and Young People as Contributors: 9.1)

As members of our audiences, they have a right to access information and ideas; however, we must ensure that content that might be unsuitable for them is scheduled appropriately.

1.3 The public interest

The 91Èȱ¬â€™s Mission [4] specifies that we must ‘act in the public interest’. It is in the public interest to fulfil our mission to produce output to inform, educate and entertain. There is no single definition of public interest, but it includes freedom of expression; providing information that assists people to better comprehend or make decisions on matters of public importance; preventing people being misled by the statements or actions of individuals or organisations. The public interest is also served in exposing or detecting crime or significantly anti-social behaviour and by exposing corruption, injustice, significant incompetence or negligence. 

[4].

1.4 Ofcom

Under the Charter, Ofcom must regulate the standards of relevant 91Èȱ¬ UK Public Service content to ensure it meets the requirements of Ofcom’s Standards and Fairness Codes [5]. It therefore considers complaints against some 91Èȱ¬ broadcast content.

(See Section 1 The 91Èȱ¬â€™s Editorial Standards: 1.6)

It must also regulate 91Èȱ¬ UK Public On-Demand Programme Services (‘91Èȱ¬ ODPS’) in line with these requirements, so far as Ofcom determines them relevant. These requirements are set out in Ofcom’s Broadcasting Code.

Ofcom also considers complaints against 91Èȱ¬ online material if the complainant is dissatisfied with the 91Èȱ¬ response. Ofcom will give an opinion as to whether the relevant content meets these Editorial Guidelines, and may require the 91Èȱ¬ to reconsider the matter. However, Ofcom has no further enforcement powers and the final decision is the 91Èȱ¬â€™s [6].

Ofcom does not regulate standards for the 91Èȱ¬ World Service. 91Èȱ¬ commercial broadcast services, provided by 91Èȱ¬ companies, are not UK Public Services but they are subject to Ofcom’s content standards regulation where they are distributed under Ofcom licences. 

Where Ofcom finds a breach of its Broadcasting Code, it may require the 91Èȱ¬ to broadcast a statement of its findings. Where Ofcom considers its code has been breached ‘seriously, deliberately, repeatedly or recklessly’ it can impose sanctions which range from a requirement to broadcast a correction or statement of finding to a fine of no more than £250,000.

All 91Èȱ¬ services are regulated by these Editorial Guidelines.

[5] .

[6] This does not apply to some categories of 91Èȱ¬ content, including material on third-party platforms, social media and 91Èȱ¬ corporate information. 

1.5 Accountability

The Charter sets out our duty to be transparent and accountable. We must publish an Annual Report and Accounts which must include information about how high editorial standards have been set, reviewed and met. It must also include information about how we have served the nations and regions of the UK and whether there have been significant changes to any of our Public Services. We must also report on how complaints have been handled and what we have learned from them.

1.6 Complaints

We are open in acknowledging mistakes when they are made and want to learn from them. We are required to set and publish procedures for the handling and resolution of complaints. The 91Èȱ¬ Complaints Procedure [7] sets out the timeframes that complaints will normally be answered within and must relate both to the obligations of our Public Services and also our commercial operations.

Complaints about most 91Èȱ¬ content [8] are dealt with initially by the 91Èȱ¬, as set out in the Complaints Procedure [9]. Complaints are handled by 91Èȱ¬ Audience Services in the first instance, but complainants dissatisfied with the response can ask the 91Èȱ¬â€™S Executive Complaints Unit to investigate.

The Executive Complaints Unit deals with serious complaints about possible breaches of the 91Èȱ¬â€™s editorial standards in connection with specific programmes or items of content. It deals with complaints about any 91Èȱ¬ service or product where the 91Èȱ¬ has editorial responsibility. This includes international, public and commercial services and 91Èȱ¬-branded magazines.

The Executive Complaints Unit’s decisions are subject to review by the Director-General, as the 91Èȱ¬â€™s editor-in-chief.

Where the Executive Complaints Unit identifies a serious breach of the editorial standards set out in these Guidelines, its finding will normally be published on the 91Èȱ¬ complaints website. It may also direct the 91Èȱ¬ to broadcast an apology or correction.

If complainants are not satisfied with the Executive Complaints Unit finding, and the complaint relates to 91Èȱ¬ content regulated by Ofcom, the complainant can refer the matter to Ofcom, after the 91Èȱ¬ has finished considering the complaint. Ofcom will adjudicate on whether there has been a breach of the Ofcom Broadcasting Code.

If the complaint relates to online material, Ofcom will consider and give an opinion as to whether the material breaches these Editorial Guidelines and may ask the 91Èȱ¬ to reconsider the matter; however, Ofcom has no further enforcement powers.

Complaints about World Service content and our content on social media do not come within Ofcom’s remit and are considered within the 91Èȱ¬â€™s complaints process, in line with the Complaints Procedure.

[7] .

[8] .

[9] .

1.7 Accessibility

The 91Èȱ¬ is committed to being inclusive and accessible to all our audiences. We are required by law to make ‘reasonable adjustments’ to our content to ensure disabled people can access our output. 

The 91Èȱ¬ provides subtitling, audio-description and sign language services, but what is considered ‘reasonable’ will evolve as technology develops [10]

Ofcom also sets mandatory requirements for all broadcasters [11].

Decisions taken throughout the production process will affect whether output is accessible to people with some visual impairment (including colour blindness), hearing or speech impairment (for voice recognition). Producers must take account of the requirement that, as far as reasonably practicable, our content is accessible to those audiences.

(See Guidance: Visually Impaired Audiences and Hearing Impaired Audiences)

[10] 91Èȱ¬ Policies: Subtitles on TV and Audio description on TV. Available on Gateway for 91Èȱ¬ staff or via commissioning editors for independent producers.

[11] .


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