
Accountability Counsel, Inclusive Development International, and Gender Action
March 8, 2024

March 8, 2024 – On this International Women’s Day, the International Finance Corporation (IFC) is asking its Executive Directors to endorse an inadequate and flawed Management Action Plan (MAP) in response to the Compliance Advisor Ombudsman’s (CAO) investigation of child sexual abuse at Bridge International schools in Kenya. Executive Directors should reject the proposed MAP.The facts are clear. IFC supported a reckless educational experiment on African children, financing Bridge to rapidly expand their private school network in Kenya and beyond. Yet, IFC failed to conduct due diligence required by its own policies to make sure the schools were safe. Bridge employed sexual predators. Bridge students were abused and suffered long-term harm. Even after multiple cases of abuse were brought to IFC’s attention, IFC did nothing to ensure that these children received redress. Instead, IFC colluded with Bridge to delay the CAO investigation and cover up the allegations of abuse, lest these “spook” new investors.Now, IFC is dismissing CAO’s recommendation that the MAP include financial compensation for the Bridge survivors on a no-fault basis. Instead, IFC proposes a non-targeted “collective response” to support programs for any survivor of child sexual abuse in Kenya–– a development project that IFC has no demonstrated expertise to implement. IFC claims that this response, of undefined scope and cost, is consistent with “global good practice.” It isn’t. While the goal of supporting child abuse service providers in Kenya is laudable, it is not responsive to the specific harms the CAO unearthed. IFC’s MAP fails to do the one thing that is required of it: provide remedy to the Bridge survivors.In January, eleven World Bank Group Executive Directors, representing 103 countries and over half the total shareholding of the IFC, issued a joint statement recognizing the obvious shortcomings of IFC’s proposed MAP. The joint statement said that IFC should not exclude any form of financial support or compensation suggested by CAO until IFC engaged in additional consultations, including with the Bridge survivors. This was the right position and we applaud the Executive Directors for sending the MAP for revision.However, IFC didn’t listen to the Executive Directors and in an updated MAP, refuses to acknowledge that it would consider providing financial support or compensation for harm to sexual abuse victims if proper consultations reveal this to be an appropriate remedy. Instead, IFC remains focused on increasing access to a yet-to-be-decided service program by paying for transportation or other costs stemming from accessing care. There is no guarantee that any Bridge survivors will benefit at all from the proposed program.So here is what we have: a MAP developed in Washington, without consultation, without a budget, and which is not tailored to the needs of the Bridge survivors. That is not global good practice. It is a global embarrassment that signals the moral bankruptcy of the IFC’s leadership. We ask Executive Directors to not waver on their January position. The option of meaningful financial support for the Bridge survivors must remain on the table pending consultations with them.Further, we urge Executive Directors not to approve this MAP on an absence of objection basis. Every MAP in response to a CAO investigation – and especially a case involving impacts of this gravity – should be the subject of a formal Board discussion and, if the conditions of your January statement are not met, as is currently the case, we ask that you oppose the MAP.For more information on best international practices for remediation of child sexual abuse in schools and other care facilities, see our Frequently Asked Questions below.For a downloadable version of this press release, please find a PDF here.Margaux Day, Executive DirectorAccountability CounselElaine Zuckerman, Executive DirectorGenderActionDavid Pred, Executive DirectorInclusive Development InternationalDustin Schäfer, Head of IFI Teamurgewald e.V.——Frequently Asked Questions on Good Practice for Compensation as Part of Remedy for Sexual AbuseInternational law and globally established practice demonstrate that a “survivor centered” and “rights based” approach to addressing the impacts of child sexual abuse must be grounded in consultation with survivors and include scope for financial compensation as part of a broader approach to remedy. The below questions and answers provide examples of international guidance and established practice.Q: What does international law have to say on this topic?Remedy may include a range of measures to address harm. Compensation is ordinarily a component of remedy, and there is no exception for victims of sexual abuse.
Q: What are global practice examples of compensation as part of remedy for sexual abuse?There are many. Examples include:
Q: What are global good practice examples for addressing abuse of children in care settings?
Q: Is reimbursement of costs equivalent to compensation?No. As defined in the UN Basic Principles and Guidelines on the Right to a Remedy, compensation includes payments in recognition for lost economic opportunities, psychological harm and “moral damage” (para. 20). Reimbursement of costs (such as medical or legal costs) may be required in order to achieve remedy, however, this cannot be conflated with compensation.Q: Isn’t making cash payments to poor and vulnerable individuals problematic? Won’t this risk doing more harm than good?The World Bank and other development agencies support a range of programs that provide cash payments to poor and vulnerable households. While there are risks that need to be managed in relation to such programs, they are generally seen as effective in improving recipients’ wellbeing.13 Programs that provide cash payments directly to women have been found to be particularly effective in improving the wellbeing of women and children, including reducing the vulnerability of women to GBV.14 Cash transfers have also been integrated into GBV programs.15 Lessons learned from the design of cash transfer programs could be adapted to ensure maximum benefit from compensation payments to the Bridge survivors.Q: Do global good practice examples of redress schemes for child sexual abuse include outreachand awareness functions?Yes. Respecting the right of survivors to self-identify and access redress schemes voluntarily, good practice examples of redress schemes include targeted communications and stakeholder engagement activities to ensure that there is maximum awareness of the scheme among survivors. For example, as part of the National Redress Scheme, the Australian government committed to fund: “a communication strategy to build trust and increase awareness of the Scheme among survivors, including; specific strategies to reach vulnerable people; Aboriginal and Torres Strait Islander people; people with disability; and regional, remote, and culturally and linguistically diverse communities.”16Footnotes:1 Committee on the Rights of the Child, General Comment No. 5 (CRC/GC/2003/527 (2003)), para. V.2 CEDAW, General recommendation No. 35 on gender-based violence against women, updating general recommendation No. 19 (CEDAW/C/GC/35 (2017)), para. 33(a).3 ACHPR/Res.111 (XXXXII) 07, para. 2.4https://www.theguardian.com/global-development/2012/jun/28/peru-civil-war-victims-sexual-violence5https://www.aljazeera.com/news/2017/4/27/court-upholds-life-sentence-of-chads-hissene-habre.6E.g., Working Together to Prevent Sexual Exploitation and Abuse: Recommendations for World Bank Investment Projects (2017) (“In addition to enabling provision of services to survivors, resources may be needed to provide some form of compensation to survivors and/or their families to address lost productivity or income.”).7https://pace.coe.int/en/files/33368/html.8https://www.redress.scot/.9https://www.nationalredress.gov.au/.10FAQs About the Archdiocese of New York’s Independent Reconciliation and Compensation Program (IRCP) | Catholic New York (cny.org).11Redress Scheme | The Church of England.12Law Commission of Canada report (2000) entitled “Restoring Dignity: Responding to Child Abuse in Canadian Institutions.”13What have we learned about cash transfers? (worldbank.org).14Could digital cash transfers help tackle gender-based violence? (worldbank.org).15Integrating cash transfers into gender-based violence programs in Jordan: Benefits, risks and challenges | International Rescue Committee (IRC).16Australian-government-response-second-year-review-national-redress-scheme_0.pdf (nationalredress.gov.au), p. 25.
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