
R 385
Road Traffic Management Corporation Act, 1999 (Act No. 20 of 1999)Chapter 7 : Compliance and Monitoring40. Monitoring duties and powers of chief executive officer |
(1) | The monitoring duties of the chief executive officer are to— |
(a) | receive a complaint from any person regarding non-compliance as contemplated in section 41 and direct such complaint to the manager of the functional unit concerned for further action; |
(b) | monitor, and report to the Shareholders Committee on, compliance by the Corporation with public service obligations, which include— |
(c) | levels of public safety as described in the business and financial plan or the governance agreement, whichever is applicable; |
(d) | quality and levels of service as described in that plan or that agreement, whichever is applicable; and |
(e) | pricing of services as described in that plan or that agreement, whichever is applicable; and |
(f) | monitor and report to the Shareholders Committee on— |
(i) | the level of, and potential for further, private sector involvement in road traffic service provision; |
(ii) | the level of, and potential for further, involvement by provincial authorities and local government bodies in road traffic service provision; |
(iii) | the development of. and potential for, monopolistic practices arising from performance in terms of investment contracts, and strategies to discourage such or similar practices; and |
(iv) | the impact of the Corporation’s activities on other transport modes and its contribution to modal complementarily. |
(2) | The chief executive officer may— |
(a) | request the manager of the functional unit concerned to report on compliance with the business and financial plan at intervals determined by the chief executive officer; |
(b) | respond to a complaint received from any person; and |
(c) | conduct an independent investigation, survey or audit. |
(3) | The chief executive officer must, prior to conducting an audit in terms of subsection (1)(c), publish a notice in the media inviting any person or entity to provide written comments or suggestions regarding compliance. |