Ricegrowers Anti-Bribery and Corruption Policy. Ricegrowers Limited Anti-Bribery and Corruption Policy. Issue Date: May 2013

Size: px
Start display at page:

Download "Ricegrowers Anti-Bribery and Corruption Policy. Ricegrowers Limited Anti-Bribery and Corruption Policy. Issue Date: May 2013"

Transcription

1 Ricegrowers Anti-Bribery and Corruption Policy Ricegrowers Limited Anti-Bribery and Corruption Policy Issue Date: May 2013 Updated: June 2016

2 INTRODUCTION Through innovation, initiative and operating excellence, Ricegrowers Limited, together with its associated entities and complementary businesses (collectively, the SunRice Group, we, our or us ), develops great tasting and nutritious foods that excite and satisfy consumers all over the world. As a business in the international rice industry, the SunRice Group recognises its long-standing ethical and legal responsibilities and is committed to operating in a manner that is consistent with the laws of the jurisdictions in which it operates. Non-observance can mean millions of dollars in penalties and fines, damages actions, court injunctions, personal liability (including jail terms), loss of business and other disabling consequences. Further, an integral part of our business culture is to behave in an honest and ethical way when dealing with all of our stakeholders (customers, suppliers, employees, consumers and the community). 1 Policy Statement 1.1 The SunRice Group is committed to a zero tolerance approach towards bribery and corruption. We will not tolerate any acts, attempted acts, or assistance with any form of bribery or corruption whether direct or indirect. 1.2 This zero tolerance approach extends to the conduct of all external parties who perform services for or on behalf of the Sunrice Group. 2 Scope 2.1 This Anti-Bribery and Corruption Policy ( ABC Policy ) applies to all directors, officers, employees and contractors of the SunRice Group companies including SunRice, CopRice, Australian Grain Storage (AGS), Riviana, SunFoods, Solrice, Aqaba Processing Company (APC), Rice Research Australia Pty Ltd (RRAPL) and Trukai, regardless of whether they are working in Australia or overseas (referred to below as you or your ). 2.2 It also applies to all external parties who perform services for or on behalf of the SunRice Group including, by way of example, distributors, agents and business partners. The SunRice Group expects all external parties with whom the SunRice Group has a relationship, to act in accordance with the ABC Policy and to act in a manner consistent with the SunRice Group s expectations of ethical behaviour. 3 Purpose 3.1 The purpose of this ABC Policy is to: ensure that you are aware of and understand the SunRice Group s anti-bribery and corruption values and commitment; and provide you with guidance on the SunRice Group s anti-bribery and corruption policies and procedures so that you may act accordingly. 3.2 The ABC Policy is part of the SunRice Group s wider commitment to navigate our global business ethically, responsibly and with moral integrity. 4 Definitions Bribery: Transparency International defines bribery as The offering, promising, giving, accepting or soliciting of an advantage as an inducement for an action which is illegal, unethical or a breach of trust. Inducements can take the form of gifts, loans, fees, rewards or other advantages. Anti-Bribery and Corruption Policy 2

3 Corruption: Transparency International defines corruption as The abuse of entrusted power for private gain. 5 Relevant Legislation 5.1 The SunRice Group is committed to acting in accordance with applicable anti-bribery and corruptions laws and regulations in any location in which the SunRice Group has a footprint. 5.2 The principal applicable laws regarding Bribery and Corruption are: United States Foreign Corrupt Practices Act 1977; United Kingdom s Bribery Act 2010; (d) Chapter 4, Division 70 of the Australian Criminal Code Act 1995 (Cth): and any other anti-bribery laws that apply in the countries in which the SunRice Group operates or which the SunRice Group is otherwise required to comply with. 6 Responsibility for Compliance 6.1 Overall responsibility for this administration of the ABC Policy lies with the SunRice Group s General Counsel. 6.2 Each manager is responsible for themselves and their direct reports to monitor and apply the ABC Policy and the SunRice Group anti-bribery and anti-corruption framework which includes the implementation of the other policies referred to at section 8 below (collectively the ABC Policies ) 6.3 You are responsible for your own individual compliance including attending training. You are required to understand and comply with the ABC Policies and to follow the reporting requirements set out in the ABC Policies. You should be vigilant and report any breaches or suspicious activity in accordance with section 21 below. 6.4 Compliance with the ABC Policies will be audited from time to time. 7 Training, Awareness and Implementation 7.1 Management across the Company have ultimate responsibility for ensuring that the ABC Policies are effectively communicated to employees and demonstrating that adequate systems and controls are designed, and are operating effectively, to ensure ongoing compliance with the ABC Policies. 7.2 The SunRice Group s prohibition on bribery must be communicated to all external parties with whom the SunRice Group does business including suppliers, contractors and business partners. This must be done at the outset of the business relationship and as appropriate during the course of the business relationship in accordance with the SunRice Group s Anti- Bribery and Corruption Policy for Dealings with External Parties Policy ( External Parties Policy ). 7.3 Management and individuals are responsible for ensuring that all employees receive sufficient and adequate training on the ABC Policies and related procedures to help them execute their role. T h e S u n R i c e G r o u p s c u r r e n t A B C t r a i n i n g p r o g r a m m e i s s e t o u t i n A n n e x u r e B t o t h i s P o l i c y. Additional specific training may be required for individuals performing roles or functions that involve potentially high-risk activities. 7.4 Management are expected to periodically monitor compliance with the ABC Policies and associated procedures. 7.5 For further clarification on your compliance responsibilities, please contact the SunRice Anti-Bribery and Corruption Policy 3

4 Group s Company Secretary or General Counsel. Anti-Bribery and Corruption Policy 4

5 8 Other Policies 8.1 The ABC Policy should be read in conjunction with the following SunRice Group policies, all of which must be complied with: (d) (e) (f) (g) (h) Code of Conduct; Working with Governments and Political Contributions and Activities Policy; Donations Policy; Dealings with External Parties Policy; Procurement Sourcing Policy Gifts, Benefits and Hospitality Policy; Sponsorship Policy; and Speak Up Policy. POLICY REQUIREMENTS 9 What is bribery? 9.1 Bribery is the act of offering, promising, giving or accepting a benefit with the intention of influencing a person who is otherwise expected to act in good faith or in an impartial manner, to do or omit to do anything in the performance of their role or function, in order to provide SunRice Group with business or a business advantage that is not legitimately due. 9.2 The benefit that is offered, given or accepted may be monetary or non-monetary. For example, benefits can include non-cash gifts, political or charitable contributions, loans, reciprocal favours, business or employment opportunities or lavish corporate hospitality. 9.3 It is irrelevant if the bribe is accepted or ultimately paid. Merely offering the bribe will usually be sufficient for an offence to be committed. 9.4 Bribery can encompass both direct and indirect forms. For example: a person procures an intermediary or an agent to make an offer which constitutes a bribe to another person; or an offer which constitutes a bribe is made to an associate or family member of a person who is sought to be influenced. 10 Prohibition on bribery 10.1 It is prohibited to offer, promise, pay, receive, or solicit a financial or other advantage (a bribe) of any kind, in any form, either directly or indirectly. Examples include, but are not limited to, situations where inducements could be used: to obtain or retain business for or on behalf of the SunRice Group, or to obtain any improper advantage in furtherance of SunRice Group s business; to obtain, retain or fulfil a legal or regulatory requirement in furtherance of the SunRice Group s business; Anti-Bribery and Corruption Policy 5

6 (d) approve any offers, or make, request or receive an irregular payment or other things of value, to win business or to influence a business decision in the SunRice Group s favour; or in relation to any commercial transaction or relationship to which the SunRice Group is or may be a party In the event that an employee is offered a bribe, the employee must refuse the offer and immediately report the incident through appropriate escalation channels detailed in section Facilitation Payments, Secret Commissions and Money Laundering 11.1 Employees are prohibited from making Facilitation Payments Transparency International defines a facilitation payment as a small bribe, also called a facilitating, speed or grease payment; made to secure or expedite the performance of a routine or necessary action to which the payer has legal or other entitlement The SunRice Group does not allow facilitation payments to be made on its behalf In the event that a facilitation payment is requested from or offered to you, the request / offer must be refused and the incident immediately reported in accordance with section It is important to recognise the difference between a facilitation payment and extortion. Your health and safety is a priority. In the event that facilitation payments are made to ensure your health and safety, full details of the payment must be promptly reported to the Company Secretary or The SunRice Group s General Counsel Secret commissions are also prohibited. Secret commissions typically arise where a person or entity (such as an employee of SunRice Group) offers or gives a commission to an agent or representative of another person (such as a customer of SunRice Group) which is not disclosed by that agent or representative to their principal. Such a payment is made as an inducement to influence the conduct of the principal s business Money laundering is also prohibited. Money laundering is the process by which a person or entity conceals the existence of an illegal source of income and then disguised that income to make it appear legitimate. 12 Public and Government Officials 12.1 SunRice Group prohibits the transfer of anything of value to a domestic or foreign Public Official, with the intention to obtain or retain a business or gain any financial or other advantage Anything of value can include not only cash or a cash equivalent, but also, among many things, discounts, gifts, use of materials, facilities or equipment, entertainment, drinks, meals, transportation, lodging and promise of future favour Examples of Public Officials include, but are not limited to: (d) officials from government departments and agencies; state owned, controlled or operated companies; public International Organisations; and members of a royal family. Anti-Bribery and Corruption Policy 6

7 12.4 This also includes people who used to be Government or Public Officials and family members of politically exposed persons In the event that you are aware of existing or potential relationships with domestic or foreign public officials, please contact your General Manager or other contact detailed in section 21 for further advice. 13 Political Contributions 13.1 Examples of political causes include existing or prospective politicians, political parties and political organisations Examples of contributions include, but are not limited to: cash donations; gifts of property or service; and advertising or promotional activities endorsing a political party SunRice Group may choose to make donations or other contributions to political parties where permitted by law and strictly in accordance with the provisions of the Working with Governments and Political Contributions and Activities Policy and this ABC Policy Political contributions shall not be made at business unit or divisional level. Any political contributions must be authorised in advance by the board of directors of Ricegrowers Limited in accordance with the Working with Governments and Political Contributions and Activities Policy and disclosed as required by law and recorded in our accounts Any contributions above a level determined in Federal legislation must be disclosed annually to the Australian Electoral Commission and will be publicised on its website. 14 Political Activities 14.1 SunRice Group reserves the right to communicate its position on important issues to political candidates, elected representatives and other government officials and other political organisations. It is our policy to comply with all local, state, federal, foreign and other applicable laws, rules and regulations regarding political contributions If employees engage in personal political activity on their own time, they must take particular care not to imply that they are acting on behalf of SunRice Group. 15 Charitable Donations and Contributions 15.1 SunRice Group is committed to meeting its social responsibilities and to investing in the communities with whom we interact with on a daily basis. This commitment is reflected in SunRice Group s company strategy. It is important that SunRice Group s efforts in this regard are free from suspicion and are not made as an inducement for the purpose of obtaining any improper advantage All charitable donations and contributions must be made in accordance with the SunRice Group s Donations Policy In some countries, charities can be used as a screen for illegal bribes. Care must be taken to ensure that charitable donations are applied for the intended purpose. 16 Gifts and Entertainment 16.1 Gifts and entertainment may be perceived to be bribes, if they are given or received with the intention of improperly gaining a business advantage. Anti-Bribery and Corruption Policy 7

8 16.2 The practice of giving business gifts and taking part in corporate hospitality events varies between countries, regions and industries, and what may be normal and acceptable in one may not be in another. It is a matter to be approached conservatively and prudently It is important that gifts and entertainment given or received by SunRice Group employees are not made for the purpose of obtaining any improper business advantage or favour. All gifts and entertainment must be given and received in accordance with the provisions of the SunRice Group s Gifts, Benefits and Hospitality Policy. 17 External Parties including Distributors and Agents 17.1 It is important that any SunRice Group company proposing to engage an external party to act for or on behalf of SunRice Group, implement appropriate controls to ensure that the actions of the external party will not adversely affect SunRice Group. External parties may include agents, distributors, intermediaries, suppliers and/or purchasers or other contractors Any dealings with or engagement of external parties must be done in accordance with the External Parties Policy. It is a condition of doing business with the SunRice Group that each external party agrees to follow the External Parties Policy and this ABC Policy External parties that pose particular risk to the SunRice Group for breaching anti-bribery laws include those that operate in developing or emerging economics (which includes many Middle Eastern and Pacific countries), or are involved in negotiating any business arrangements or transactions with the public or private sector on behalf of the SunRice Group in any country (including bidding for tenders, negotiating supply contracts, arranging leases or license or providing transportation or customs clearance services). 18 Contract Tendering 18.1 In tendering for a contract the SunRice Group will operate and participate in tenders in a transparent manner and in good faith. It shall tender for any service contracts based on the information required and it shall price its services accordingly, but mindful of our commercial drivers The provisions of the SunRice Group s Procurement Sourcing Policy apply to all tendering and procurement processes. 19 Joint Ventures and Acquisitions 19.1 The SunRice Group is involved in a number of joint venture arrangements All Joint Venture parties are to agree to act in accordance with this ABC Policy and the related sub-policies Where a joint venture partnership is proposed, the External Parties Policy must be complied with. This requires completing the ABC Due Diligence Profile in Schedule 2 of the External Parties Policy before entering into contractual relations. If any issues of concern or red flags are identified by this due diligence, The SunRice Group s General Counsel must be informed immediately. Contracts with proposed joint venture partners must include standard ABC terms set out in the External Parties Policy Any SunRice Group personnel engaged with a joint venture partner should pay attention to signs of improper conduct, and voice or report concerns where appropriate. Anti-Bribery and Corruption Policy 8

9 19.5 On acquisitions, SunRice Group must conduct and keep detailed records of anti-bribery due diligence investigations on any proposed merger or acquisition target prior to entering into contractual arrangements with the entity concerned. 20 Accounting and Record Keeping 20.1 All accounts, invoices, memoranda and other documents and records including those relating to dealings with external parties, such as clients, suppliers and business contacts, should be prepared and maintained with strict accuracy and completeness. Failure to do so may amount to a criminal offence under Australian law and be in breach of international laws to which the SunRice Group is subject No accounts may be kept off-book to facilitate or conceal improper payments All expenditure by SunRice Group personnel, including gifts and entertainment, shall be included in expense reports and approved in accordance with the expense policy of the relevant business unit The SunRice Group s General Counsel will maintain registers of gifts and entertainment, political and charitable donations, sponsorships, external parties and other details associated with the SunRice Group being involved with political activities. These registers will be reported on quarterly to the Corporate Management Team and bi-annually to the Finance and Audit Committee. REPORTING AND RAISING CONCERNS 21 Reporting and Escalation 21.1 The SunRice Group has in place reporting, communication and escalation protocols and channels to allow all stakeholders to highlight and escalate potential issues, concerns and violations You must report suspected or actual instances of bribery or other improper conduct In the first instance, please approach your General Manager or The SunRice Group s General Counsel. If it is not appropriate to approach your General Manager or the General Counsel or you are not satisfied with the guidance or direction provided, reports can be escalated directly and confidentially via the Speak Up Hotline in accordance with our Speak Up Policy. Internal Reporting Channel Reports may be made internally to the Integrity Officer: Name: The SunRice Group s General Counsel Phone: +61 (02) ABCreporting@sunrice.com.au Postal address: PO Box Q166 QVB Post Shop External Reporting Channel If you are not comfortable, or there is a conflict, in reporting to your General Manager or the SunRice Group s General Counsel, reports can be made anonymously via the Speak Up Hotline in accordance with our Speak Up Policy. External reports can be made to a confidential reporting service. The details of the service are: Name: Phone (toll free): WhistleBlower Security (from Australia) Anti-Bribery and Corruption Policy 9

10 (from New Zealand) (global number) Website: If you are unsure whether a particular act constitutes bribe, a facilitation payment, a secret commission or money laundering, or you have any other queries, please ask your General Manager. If it is not appropriate to consult with your General Manager or you are not satisfied with the guidance or direction provided please refer your query to the SunRice Group s Company Secretary or General Counsel. Anti-Bribery and Corruption Policy 10

11 21.5 Suppliers, contracts or other business partners who have any concerns which they wish to raise under the ABC Policy should approach the SunRice Group s Company Secretary, General Counsel or utilise the Speak Up Hotline, the details of which are set out above. 22 Protection 22.1 It is important to the SunRice Group that all incidents of non-compliance and violations with the ABC Policy are reported SunRice Group personnel: who wish to raise a concern or report another s wrongdoing; or have refused pressure to either accept or offer a bribe, may be worried about possible repercussions. The SunRice Group encourages openness and will support anyone who raises genuine concerns in good faith under the ABC Policy, even if they turn out to be mistaken The SunRice Group is committed to ensuring no one suffers detrimental treatment as a result of refusing to take part in conduct that may constitute bribery or corruption or raises a genuine concern in respect of any such conduct Detrimental treatment includes dismissal, disciplinary action, threats or other unfavourable treatment connected with raising a concern. If you are subjected to such treatment please inform your General Manager immediately. If the matter is not remedied you should raise it formally with the SunRice Group s Company Secretary or General Counsel Please refer to the SunRice Group s Speak Up Policy for more information. YOUR RESPONSIBILITIES 23 Know and Understand this Anti-Bribery and Corruption Policy 23.1 The SunRice Group expects all employees and external parties acting for or on our behalf, to read and understand the information included in the ABC Policy and the other policies referred to at section 8 above. If you have any queries on the information included within the ABC Policy document or require further information on anti-bribery and compliance risks, legislation or compliance responsibilities, please contact The SunRice Group s General Counsel. 24 Do Not Feel Pressured 24.1 The SunRice Group is unequivocal in its commitment towards compliance with all anti-bribery and corruption legislation and behaving ethically at all times. Employees will never be expected to violate any law, policy or ethical standard, and should never feel pressured to do so. Employees are expected to act with integrity and report any pressure received. 25 Do Not Make Assumptions 25.1 The SunRice Group encourages all employees to take personal responsibility for reporting all concerns and potential violations, incidents or breaches of the ABC Policy. All reports will be investigated and action taken as required in accordance with the ABC Policy. 26 Behave Ethically 26.1 The SunRice Group expects all employees, and external parties acting for, or on behalf of the SunRice Group, to behave and act in a professional and ethical manner at all times. Employees and external parties are expected to apply the principles of the ABC Policy to everyday actions in connection with the SunRice Group. Anti-Bribery and Corruption Policy 11

12 27 How to raise a concern 27.1 All questions and concerns should be raised in accordance with section 21 above. CONSEQUENCES OF NON-COMPLIANCE 28 Zero Tolerance 28.1 In summary: all employees have an obligation to report actual or suspected acts of bribery or corruption; non-compliance with the ABC Policy will be investigated and actioned firmly, potentially resulting in the termination of employment with SunRice Group; and individuals who in any way impede a report, or individual making a report, will be subject to the same disciplinary procedures included in the ABC Policy A SunRice Group employee who violates or attempts to violate this anti-bribery and corruption policy, or any of the other policies refer to at section 8, may be subject to disciplinary action, up to and including termination. 29 Consequences 29.1 The following is a non-exhaustive list of possible consequences for non-compliance with the ABC Policies Non-compliance may lead to: criminal, civil or regulatory liabilities or penalties for the Sunrice Group; unenforceability of contracts entered into by the Sunrice Group as a result of illegality; and/or damage to the Sunrice Group s reputation. Individuals 29.3 Non-compliance may lead to: personal liability under the laws of one or more jurisdictions that may result in criminal prosecutions, imprisonment and/or fines; disciplinary action which may include termination of employment; and/or damage to your reputation and inability to find employment elsewhere. External Parties 29.4 Non-compliance may lead to: the Sunrice Group terminating its relationship with you; and / or the Sunrice Group reporting your non-compliance to external regulators as appropriate The SunRice Group may also take civil action against employees and external parties for noncompliance with the ABC Policy. Anti-Bribery and Corruption Policy 12

13 MONITORING AND REVIEW 29.6 Annexure A to this ABC Policy is a diagram which depicts the SunRice Group s anti-bribery and corruption monitoring, review and reporting channels Internal control systems and procedures will be subject to regular audits to provide assurance that they are effective in mitigating the risk of non-compliance. RED FLAGS 30 Red Flags 30.1 All employees, and external parties acting for, or on behalf, of SunRice Group, must ensure that they have read and understood the ABC Policy and must remain alert to potential bribery and corruption risks. In particular, SunRice Group wishes to highlight the following examples of bribery and corruption risks that employees and external parties should remain alert to: (d) Cash Payments: Employees should be extremely cautious of requests received from individuals or companies to pay cash for goods or services provided. In the event that a cash payment is requested, the request should be immediately declined and full information of the incident escalated through the Regional, Group and Global escalation channels detailed in section 21. High Commission Payments: Commission payments must be made in accordance with contractual agreements for example Agency Agreements. Employees should remain alert to requests for unusually high commission payments as these are often key risk indicators for potential bribery. Offer of Inducements: SunRice Group reminds employees, and external parties acting for, or on behalf, of SunRice Group, to remain vigilant to any offers of potential inducement. If you are unsure, refuse the offer and escalate the incident accordingly. Consultant Appointment Recommendations: Be cautious in the event that an external party consultant is recommended to SunRice Group by a government official for example as part of a tendering process. In these instances, escalate details of the offer through the Regional, Group and Global escalation channels as detailed in section Some potential risk scenarios may include the following: (d) (e) (f) You learn that an external party engages in, or has been accused of engaging in, improper business practices. You learn that an external party has a reputation for paying bribes, or requiring that bribes are paid to them. An external party insists on receiving commission or fee payment before committing to sign up a contract with SunRice Group or carrying out a government function or process for SunRice Group. An external party requests payment in cash and/or refuses to sign a formal commission or fee agreement, or to provide an invoice or receipt for payment made. An external party requests that a payment is made to a country or geographic location different from where the external party resides or conducts business. An external party requests an unexpected additional fee or commission to facilitate a service. Anti-Bribery and Corruption Policy 13

14 (g) (h) (i) (j) (k) (l) (m) (n) (o) (p) An external party demands lavish entertainment or gifts before commencing or continuing contractual negotiations or provision of services. You learn that a colleague has been taking out a particular supplier for very expensive and frequent meals. An external party requests that a payment is made to overlook potential legal violations. An external party requests that SunRice Group people provide employment or some other advantage to a friend or relative. You receive an invoice from an external party that appears to be non-standard or customised. An external party insists on the use of side letters or refuses to put terms agreed in writing. You notice that SunRice Group has been invoiced for commission or fee payment that appears large given the service states to have been provided. An external party requests or requires the use of an agent, intermediary, consultant, distributor or supplier that is not typically used by or known to SunRice Group. You are offered an unusually generous gift or offered lavish hospitality by an external party. You learn that external party used to be Government or Public Officials or is a family member of politically exposed person. Anti-Bribery and Corruption Policy 14

15 Annexure A POLICY REGISTERS Gifts, Hospitality Political Donations Sponsorship Donations Speak Up External Parties Tenders QUARTERLY ASSURANCES General Managers Subsidiary CEO s DUE DILIGENCE ANNUAL EXTERNAL PARTIES REVIEW/ BIENNIAL RISK ASSESSMENT CMT IF RISK IDENTIFIED RISK 6 MONTHLY REPORTS FINANCE AND AUDIT COMMITTEE Key BLUE = Quarterly GREEN = Every year/ every 2 years BOARD Anti-Bribery and Corruption Policy 15

16 Annexure B SunRice Group ABC Training Programme Low Risk Roles Medium Risk Roles High Risk Roles Employees who do not have any work related interactions which come within the classification criteria. Employees who: Negotiate contracts with 3rd parties less than AU$50,000 Manage ongoing relationships with 3rd parties with a contract value of less than AU$50,000 Have dealings with a country with a Corruptions Perceptions Index 2015 risk perception rating of is medium risk. CAPEX approval limit less than AU$50,000 General procurement limits less than AU$50,000 Employees who: Interact with foreign public officials. Negotiate contracts with 3rd parties above AU$50,000 Manage ongoing relationships with 3rd parties with a contract value of more than AU$50,000. Approve transactions and payments with potentially inherently high bribery and corruption risk such as agency payments, political contributions and charitable donations. Have dealings with a country with a Corruptions Perceptions Index 2015 risk perception rating of 0-40 is high risk. Capital procurement and tendering procedures. Have sales and Marketing responsibilities.. are involved in interactions with domestic public officials (e.g. lobbying). CAPEX approval limit of more than AU$50,000. General procurement limits of more than AU$50,000. Online training on induction only Online training every two years Alternate online and face to face training each year Anti-Bribery and Corruption Policy 16

Anti-Bribery and Corruption Policy

Anti-Bribery and Corruption Policy Ricegrowers Ricegrowers Limited Issue Date: May 2013 Updated: July 2014 INTRODUCTION Through innovation, initiative and operating excellence, Ricegrowers Limited, together with its associated entities

More information

Anti-Bribery and Corruption Policy. Viva Energy Group Limited (ACN )

Anti-Bribery and Corruption Policy. Viva Energy Group Limited (ACN ) Anti-Bribery and Corruption Policy Viva Energy Group Limited (ACN 626 661 032) Adopted by the Board on 18 June 2018 1 Introduction and purpose 1.1 Viva Energy Group Limited (together with its subsidiaries

More information

Anti-bribery Policy. This policy applies across the IGE Group to all directors and employees of IGE Group companies (IGE personnel).

Anti-bribery Policy. This policy applies across the IGE Group to all directors and employees of IGE Group companies (IGE personnel). Anti-bribery Policy INTRODUCTION AND PURPOSE IGE is committed to complying with the laws and regulations of Myanmar in which its businesses operate and acting in an ethical manner, consistent with the

More information

Fraud, Bribery and Corruption Control Policy

Fraud, Bribery and Corruption Control Policy Fraud, Bribery and Corruption Control Policy 1. Introduction DuluxGroup acknowledges the need for directors, executives, employees and contractors to observe the highest ethical standards of corporate

More information

Financial Crime Policy

Financial Crime Policy Financial Crime Policy Anti-Bribery and Corruption and Prevention of the Facilitation of Tax Evasion 1. Policy statement 1.1 This policy has been adopted by the Board of Capco and is to be communicated

More information

Anti-bribery policy. Lynas Corporation Limited ACN

Anti-bribery policy. Lynas Corporation Limited ACN Lynas Corporation Limited ACN 009 066 648 Contents Lynas Corporation Limited... 1 1. Introduction... 1 2. Application... 1 3. Objectives... 2 4. Bribes... 2 5. Political Contributions and Charitable Contributions/

More information

Anti-Bribery and Corruption Policy

Anti-Bribery and Corruption Policy Anti-Bribery and Corruption Policy Version Date Document Owner Reviewed by Approved by Rev 0 16 th April 2018 GB BH Anti-Bribery and Corruption Policy Issue Date: 16 th May 2018 Last Review Date: not applicable

More information

ANTI CORRUPTION AND BRIBARY POLICY

ANTI CORRUPTION AND BRIBARY POLICY ANTI CORRUPTION AND BRIBARY POLICY 1. Introduction It is the general policy of Hughes and Salvidge Holdings limited incorporating Hughes and Salvidge Limited ( the Company ) to conduct all of our business

More information

Anti-Bribery Policy. Gifts include money, goods, services or loans given ostensibly as a mark of friendship or appreciation.

Anti-Bribery Policy. Gifts include money, goods, services or loans given ostensibly as a mark of friendship or appreciation. Anti-Bribery Policy Policy Owner Stephen Martin Date of Approval October 2014 Approved by Club Board Scheduled for next review October 2014 1. Definitions Anti-Bribery & Corruption Officer: Steamship s

More information

ANTI-BRIBERY & CORRUPTION POLICY

ANTI-BRIBERY & CORRUPTION POLICY 1 INTRODUCTION 1.1 The Board of Directors of Ascendant Resources Inc. 1 has determined that, on the recommendation of the Corporate Governance Committee, Ascendant should formalise its policy on compliance

More information

Anti-Bribery, Anti- Corruption Policy

Anti-Bribery, Anti- Corruption Policy Anti-Bribery, Anti- Corruption Policy Reviewed by: B Carroll (Global Head of Compliance, Safety and Quality) Date: 21 Sep 2017 Approved by: A McLean (CEO) Date: 27 Sep 2017 Commercial-in-Confidence. All

More information

Anti-Bribery & Corruption Policy. OneMarket Limited ACN (Company)

Anti-Bribery & Corruption Policy. OneMarket Limited ACN (Company) Anti-Bribery & Corruption Policy OneMarket Limited ACN 623 247 549 (Company) Approved by the Board on 2 May 2018 Anti-Bribery & Corruption Policy Contents 1 Introduction 1.1 Overview 1 1.2 Who does this

More information

Anti-Bribery & Corruption Policy

Anti-Bribery & Corruption Policy Anti-Bribery & Corruption Policy 3P Learning Limited ( Company ) Dated and amended November 21 2014 King & Wood Mallesons Level 61 Governor Phillip Tower 1 Farrer Place Sydney NSW 2000 Australia T +61

More information

Subject ANTI BRIBERY POLICY Section POLICY STATEMENT Sponsor CHIEF LEGAL OFFICER

Subject ANTI BRIBERY POLICY Section POLICY STATEMENT Sponsor CHIEF LEGAL OFFICER Subject ANTI BRIBERY POLICY Section POLICY STATEMENT Sponsor CHIEF LEGAL OFFICER Number Version 1.0 Effective Date: December 2014 Anti Bribery Policy Indivior PLC, its subsidiaries and related companies

More information

ANTI BRIBERY FRAUD AND CORRUPTION. RES-CG-003-V02 Anti Bribary, Fraud and Corruption If printed this document is uncontrolled

ANTI BRIBERY FRAUD AND CORRUPTION. RES-CG-003-V02 Anti Bribary, Fraud and Corruption If printed this document is uncontrolled ANTI BRIBERY FRAUD AND CORRUPTION RES-CG-003-V02 Anti Bribary, Fraud and Corruption If printed this document is uncontrolled 1. Scope This policy applies to all employees of the company and to temporary

More information

ANTI-BRIBERY AND ANTI-CORRUPTION POLICY

ANTI-BRIBERY AND ANTI-CORRUPTION POLICY INTRODUCTION This Policy sets out the following: 1. Purpose 2. Objective 3. Compliance 4. General policy requirements 5. Corrupt payments prohibited 6. Dealing with public officials 7. Dealing with third

More information

Anti-bribery and corruption policy. The Perse School

Anti-bribery and corruption policy. The Perse School Anti-bribery and corruption policy The Perse School January 2019 Contents Introduction... 1 Gifts and hospitality... 2 Facilitating tax evasion... 4 Unacceptable behaviour... 6 Facilitation payments and

More information

Financial Policies and Procedures Preventing Bribery, Corruption and Money Laundering (August 2018)

Financial Policies and Procedures Preventing Bribery, Corruption and Money Laundering (August 2018) Institute of Development Studies Financial Policies and Procedures Preventing Bribery, Corruption and Money Laundering (August 2018) Contents Page 1. Introduction 1 2. Principles 4 3. Bribery prevention

More information

VESUVIUS plc. Anti-Corruption and Bribery Policy GUIDELINES ON BUSINESS CONDUCT IN ORDER TO PREVENT BRIBERY AND CORRUPTION

VESUVIUS plc. Anti-Corruption and Bribery Policy GUIDELINES ON BUSINESS CONDUCT IN ORDER TO PREVENT BRIBERY AND CORRUPTION VESUVIUS plc GUIDELINES ON BUSINESS CONDUCT IN ORDER TO PREVENT BRIBERY AND CORRUPTION 1.0 Introduction 1.1 This Policy has been produced to provide guidance on business ethics. It supplements the principles

More information

GLOBAL ANTI-CORRUPTION POLICY

GLOBAL ANTI-CORRUPTION POLICY GLOBAL ANTI-CORRUPTION POLICY Contents Foreword by the Chief Executive Officer 2 Glencore s objective a Compliance Culture 3 1. Introduction 4 2. What is bribery? 5 3. Applying the law on bribery in practice

More information

SAPIENT CORPORATION ANTI-CORRUPTION POLICY

SAPIENT CORPORATION ANTI-CORRUPTION POLICY SAPIENT CORPORATION ANTI-CORRUPTION POLICY PURPOSE As a global corporation, we are bound by the anti-bribery and anti-corruption laws applicable in all the countries where we do business, and are committed

More information

Anti-Bribery Policy. The Company Compliance Officer is the Director of Organisational Effectiveness.

Anti-Bribery Policy. The Company Compliance Officer is the Director of Organisational Effectiveness. Anti-Bribery Policy Definitions For the purposes of this policy, the terms staff or member of staff/staff member shall mean officers of the Company, employees, service providers, contractors, consultants

More information

ANIXTER GLOBAL ANTI-BRIBERY POLICY

ANIXTER GLOBAL ANTI-BRIBERY POLICY ANIXTER GLOBAL ANTI-BRIBERY POLICY Policy Statement It is Anixter s policy to conduct all of our business in an honest and ethical manner everywhere we do business. We take a ZERO tolerance approach to

More information

Penspen Group Legal Code of Conduct Anti-Bribery&Corruption

Penspen Group Legal Code of Conduct Anti-Bribery&Corruption Penspen Group Legal Code of Conduct Anti-Bribery&Corruption Document number LEG-COD-001Rev 0 Penspen Group, 3 Water Lane, Richmond upon Thames, Surrey TW9 1TJ, United Kingdom Contents 1. PURPOSE 3 2. SCOPE

More information

CALIX, INC. ANTI-BRIBERY COMPLIANCE POLICY

CALIX, INC. ANTI-BRIBERY COMPLIANCE POLICY CALIX, INC. ANTI-BRIBERY COMPLIANCE POLICY 1.0 INTRODUCTION AND PURPOSE STATEMENT The Foreign Corrupt Practices Act ( FCPA ) is a US federal law that applies to both individuals and businesses. All Calix,

More information

GLOBAL ANTI-CORRUPTION POLICY

GLOBAL ANTI-CORRUPTION POLICY GLOBAL ANTI-CORRUPTION POLICY Version of March, 2017 Policy Owner: VP Integrity and Legal Compliance Date Change log March 31 st 2017 Policy release Global Anti-Corruption Policy Page 1 Subject Page 1.

More information

Risk Management and Compliance

Risk Management and Compliance POLICY Anti-Corruption and Bribery Policy Risk Management and Compliance approval of the original. INDEX 1. INTRODUCTION... 3 2. DEFINITIONS... 4 3. APPLICATION... 5 4. RESPONSIBILITIES... 5 5. PROHIBITION

More information

Anti-Bribery and Corruption Policy

Anti-Bribery and Corruption Policy Introduction Crawford & Company and all of its subsidiaries throughout the world ( Crawford or the Company ) acts ethically and complies with all anticorruption laws, including the United States Foreign

More information

ANTI-BRIBERY AND ANTI-CORRUPTION POLICY

ANTI-BRIBERY AND ANTI-CORRUPTION POLICY ANTI-BRIBERY AND ANTI-CORRUPTION POLICY I. POLICY STATEMENT A. It is the policy of Equinox Gold Corp. and its Subsidiaries (collectively the Company ) to conduct its business in an honest and ethical manner.

More information

ANTI-BRIBERY POLICY. The Guidance sets out six principles which underpin the Company s procedures for dealing with the risk of bribery.

ANTI-BRIBERY POLICY. The Guidance sets out six principles which underpin the Company s procedures for dealing with the risk of bribery. ANTI-BRIBERY POLICY Bribery is a criminal offence carrying potential custodial sentences and inevitable reputational harm. ENDEKA GROUP (the Company ) and its Directors are committed to the prevention

More information

CORPORATE AFFAIRS POLICY

CORPORATE AFFAIRS POLICY 1 PURPOSE This policy sets out BCI Minerals Limited and its subsidiaries (the Company ) commitment to communicate with its shareholders, media, government and other stakeholders. 2 SCOPE All Company offices,

More information

ANTI-FACILITATION OF TAX EVASION POLICY

ANTI-FACILITATION OF TAX EVASION POLICY Issue 1 Page 1 ANTI-FACILITATION OF TAX EVASION POLICY This policy is endorsed by Harworth s Board of Directors and will be reviewed regularly. This policy may be changed from time to time and you will

More information

ANTI BRIBERY & CORRUPTION POLICY

ANTI BRIBERY & CORRUPTION POLICY ANTI BRIBERY & CORRUPTION POLICY 1. Introduction 1.1 The Karoon group (comprising Karoon Gas Australia Ltd and its subsidiary companies (Karoon)) is committed to conducting its operations and business

More information

Anti-Bribery Policy. 1 Introduction

Anti-Bribery Policy. 1 Introduction Anti-Bribery Policy 1 Introduction 1.1 Purpose The purpose of this policy is to ensure that Ebiquity and its employees comply with anti-bribery laws and best practice in combating corruption in all of

More information

Dear NETGEARians, Thank you for helping NETGEAR achieve these important goals. Sincerely, Patrick

Dear NETGEARians, Thank you for helping NETGEAR achieve these important goals. Sincerely, Patrick Dear NETGEARians, NETGEAR prides itself on a commitment to build our business by providing customers with high quality and innovative products with integrity and honest conduct. NETGEAR prides itself on

More information

CODE OF CONDUCT AND ETHICS POLICY ON BRIBERY & IMPROPER PAYMENTS

CODE OF CONDUCT AND ETHICS POLICY ON BRIBERY & IMPROPER PAYMENTS CODE OF CONDUCT AND ETHICS POLICY ON BRIBERY & IMPROPER PAYMENTS Magna International Inc. Policy on Gifts & Entertainment 1 POLICY ON BRIBERY & IMPROPER PAYMENTS Magna prohibits bribery and improper payments

More information

The London Metal Exchange Limited. Anti-Corruption Policy

The London Metal Exchange Limited. Anti-Corruption Policy The London Metal Exchange Limited Anti-Corruption Policy 1. INTRODUCTION All employees of The London Metal Exchange Limited and LME Holdings Limited (together the "LME") are required to adhere to high

More information

Thornhill Associates Anti-Bribery Policy

Thornhill Associates Anti-Bribery Policy Thornhill Associates Anti-Bribery Policy Date: 01 June 2015 Approved by the Board of Directors Introduction Thornhill Associates is committed to conducting its business responsibly and in accordance with

More information

Automatic Data Processing, Inc. ADP Anti-Bribery Policy

Automatic Data Processing, Inc. ADP Anti-Bribery Policy Automatic Data Processing, Inc. ADP Anti-Bribery Policy Adopted August 2008 Revised November 17, 2009 and August 9, 2011 Statement by Chief Executive Officer AUTOMATIC DATA PROCESSING, INC. ANTI-BRIBERY

More information

Title: Anti-Bribery Policy

Title: Anti-Bribery Policy Title: Anti-Bribery Policy Approved May 2012 Reviewed September 2016 1 1. Introduction The Bribery Act 2010 (the Act) introduces a new, clearer regime for tackling bribery that applies to all commercial

More information

Anti-Bribery and Corruption Policy

Anti-Bribery and Corruption Policy Anti-Bribery and Corruption Policy Steadfast Group Limited ABN: 98 073 659 677 Anti-Bribery and Corruption Policy 1 Contents Our commitment 2 1. INTRODUCTION 3 1.1 Summary of policy... 3 1.2 Who does this

More information

ANTI-BRIBERY & CORRUPTION POLICY. Anti-Bribery Anti-Bribery Policy 1

ANTI-BRIBERY & CORRUPTION POLICY. Anti-Bribery Anti-Bribery Policy 1 ANTI-BRIBERY & CORRUPTION POLICY Anti-Bribery Anti-Bribery Policy 1 INTRODUCTION AND PURPOSE This policy commits the Carlsberg Group to conducting business ethically and with the utmost integrity in all

More information

Global Policy on Anti-Bribery and Anti-Corruption

Global Policy on Anti-Bribery and Anti-Corruption 1 Global Policy on Anti-Bribery and Anti-Corruption OUR GLOBAL POLICY ON ANTI-BRIBERY AND ANTI-CORRUPTION Did You know?? PolyOne is committed to the prevention, deterrence and detection of fraud, bribery

More information

John Laing Group plc Anti Bribery and Corruption Policy

John Laing Group plc Anti Bribery and Corruption Policy Adopted by the John Laing Group plc Board Updated June 2017 John Laing Group plc Anti Bribery and Corruption Policy Introduction The Bribery Act 2010 (the 2010 Act ), introduced a new corporate offence

More information

UNIVERSITY OF BATH Anti-Bribery Policy V2.1

UNIVERSITY OF BATH Anti-Bribery Policy V2.1 ANTI-BRIBERY POLICY 1 INTRODUCTION 1.1 Purpose of Policy The University of Bath is committed to ethical standards of business conduct, and adopts a zero-tolerance approach to bribery and corruption in

More information

THE KEMNAL ACADEMIES TRUST. Gifts and Hospitality Policy (including fraud, bribery and corruption)

THE KEMNAL ACADEMIES TRUST. Gifts and Hospitality Policy (including fraud, bribery and corruption) THE KEMNAL ACADEMIES TRUST Gifts and Hospitality Policy (including fraud, bribery and corruption) 1. Policy Statement 1.1 The purpose of this policy is to set out The Kemnal Academies Trust (The Trust)

More information

ANTI-BRIBERY & ANTI-CORRUPTION POLICY

ANTI-BRIBERY & ANTI-CORRUPTION POLICY ANTI-BRIBERY & ANTI-CORRUPTION POLICY 1. Introduction The Board of Directors of Endeavour Mining Corporation (together with its subsidiary companies, referred to as the "Corporation") has determined that,

More information

POLICY. Tiger Brands Anti-Bribery and Anti-Corruption Policy

POLICY. Tiger Brands Anti-Bribery and Anti-Corruption Policy and Anti- TABLE OF CONTENTS DOCUMENT CONTROL INFORMATION... 3 1 INTRODUCTION... 5 2 SCOPE... 5 3 OBJECTIVE... 5 4 POLICY DETAILS... 6 5 ROLES AND RESPONSIBILITIES... 10 6 COMPLIANCE... ERROR! BOOKMARK

More information

Anti-Bribery & Corruption Policy

Anti-Bribery & Corruption Policy Anti-Bribery & Corruption Policy TABLE OF CONTENTS 1 INTRODUCTION... 4 2 GENERAL PRINCIPLES... 4 2.1 What is prohibited?... 4 2.2 What does "Anything of Value" mean?... 5 2.3 Who is a "Government Official"?...

More information

Anti-Corruption and Anti-Bribery Guidelines Innergex Renewable Energy Inc.

Anti-Corruption and Anti-Bribery Guidelines Innergex Renewable Energy Inc. Anti-Corruption and Anti-Bribery Guidelines Innergex Renewable Energy Inc. ANTI-CORRUPTION AND ANTI-BRIBERY GUIDELINES At Innergex (which includes Innergex Renewable Energy Inc. and all of its subsidiaries),

More information

Anti-Bribery and Anti-Corruption Policy

Anti-Bribery and Anti-Corruption Policy Anti-Bribery and Anti-Corruption Policy Kirkland Lake Gold Ltd. and its subsidiaries (together, Kirkland Lake Gold, the Company, or we ) are committed to honest and ethical conduct. This theme is emphasized

More information

Anti-Bribery and Corruption Policy

Anti-Bribery and Corruption Policy Anti-Bribery and Corruption Policy 1 Introduction Saracen is committed to conducting its business and activities with integrity. To achieve this objective: Saracen will not engage in corrupt business practices;

More information

Millicom Anti-Corruption Policy

Millicom Anti-Corruption Policy Millicom Anti-Corruption Policy Table of Contents Policy Statement... 2 1.0 Definitions... 2 2.0 General Principle... 4 3.0 Roles and Responsibilities... 5 4.0 Key Provisions of Anti-Corruption Laws...

More information

ANTI-BRIBERY POLICY STATEMENT

ANTI-BRIBERY POLICY STATEMENT ANTI-BRIBERY POLICY STATEMENT 1. BACKGROUND AND PURPOSE Department 13 (D13) maintains an Anti-Bribery Policy prohibiting any improper or unethical payment to government officials or a party to a private

More information

LRS Anti-Tax Evasion Policy

LRS Anti-Tax Evasion Policy November 2017 LRS Anti-Tax Evasion Policy 1. What is the purpose of this policy? It is the policy of Lucozade Ribena Suntory ("LRS") to conduct all of our business in an honest and ethical manner. We take

More information

UNIVERSAL AVIONICS SYSTEMS CORPORATION Anti-Bribery Compliance Policy

UNIVERSAL AVIONICS SYSTEMS CORPORATION Anti-Bribery Compliance Policy UNIVERSAL AVIONICS SYSTEMS CORPORATION Anti-Bribery Compliance Policy Executive Summary Purpose. The purpose of this Policy is to assist directors, officers, employees, and business partners in identifying

More information

ANTI-BRIBERY COMPLIANCE POLICY

ANTI-BRIBERY COMPLIANCE POLICY ANTI-BRIBERY COMPLIANCE POLICY (Revised September 2016) Executive Summary The purpose of this Policy is to assist employees in understanding, identifying and complying with applicable anti-bribery standards.

More information

Anti Corruption Compliance Policy

Anti Corruption Compliance Policy Page 1 of 7 1. Policy: INTRODUCTION Net Logistics ( Net Logistics also referred to as The Company in this document) is committed to conducting its business ethically and in compliance with all applicable

More information

ABF Anti-Bribery Policy

ABF Anti-Bribery Policy ABF Anti-Bribery Policy Introduction Associated British Foods plc (ABF) is committed to acting professionally, fairly and with integrity in all its business dealings. As part of its commitment to ethical

More information

Policies and Procedures. Code of Ethics Policy

Policies and Procedures. Code of Ethics Policy Policies and Procedures Code of Ethics Policy Approved by: Group CEO Department: Group Company Secretariat Table of Contents 1. Introduction... 3 2. Purpose... 3 3. Scope... 3 4. Policy Standards... 3

More information

Anti-Bribery and Anti-Corruption Policy

Anti-Bribery and Anti-Corruption Policy Anti-Bribery and Anti-Corruption Policy New Gold Inc. and its subsidiaries (together, New Gold, the Company, or we ) are committed to honest and ethical conduct. This theme is emphasized in our Code of

More information

ANTI-BRIBERY & ANTI-CORRUPTION POLICY

ANTI-BRIBERY & ANTI-CORRUPTION POLICY ANTI-BRIBERY & ANTI-CORRUPTION POLICY Message from the Group Chief Executive Officer... 2 1. INTRODUCTION & PURPOSE... 3 2. THE COMPANY'S APPROACH TO ANTI-BRIBERY & ANTI-CORRUPTION... 3 3. GIFTS, ENTERTAINMENT

More information

FRONTERA ENERGY CORPORATION ANTI-BRIBERY AND ANTI-CORRUPTION POLICY

FRONTERA ENERGY CORPORATION ANTI-BRIBERY AND ANTI-CORRUPTION POLICY FRONTERA ENERGY CORPORATION ANTI-BRIBERY AND ANTI-CORRUPTION POLICY 1. INTRODUCTION 1.1. This Policy sets out the responsibilities of Frontera Energy Corporation, all of its subsidiaries (as such term

More information

Breaching anti-bribery and anti-corruption law is a serious offence and represents a failure of our commitment to business integrity.

Breaching anti-bribery and anti-corruption law is a serious offence and represents a failure of our commitment to business integrity. Anti-Bribery and Anti- Corruption Policy PURPOSE This document sets out Control Risks policy on bribery and corruption. Control Risks is committed to the highest ethical standards, and vigorously enforces

More information

Anti-Corruption Compliance Policy

Anti-Corruption Compliance Policy Anti-Corruption Compliance Policy I. Introduction Purpose Gibraltar s reputation in the marketplace - with customers, vendors, business partners, and with regulators and other legal authorities - is among

More information

NTI-BRIBERY CORRUPTION OLICY

NTI-BRIBERY CORRUPTION OLICY NTI-BRIBERY CORRUPTION OLICY Policy Owner: The Board of Huisman Equipment Document prepared by: Legal Counsel Applicable to: All persons and entities acting for and on behalf of Huisman Version: January,

More information

Anti-Bribery and Anti-Corruption Policy

Anti-Bribery and Anti-Corruption Policy Anti-Bribery and Anti-Corruption Policy New Gold Inc. and its subsidiaries (together, New Gold, the Company, or we ) are committed to honest and ethical conduct. This theme is emphasized in our Code of

More information

KATOEN NATIE ANTI-BRIBERY AND CORRUPTION POLICY

KATOEN NATIE ANTI-BRIBERY AND CORRUPTION POLICY KATOEN NATIE ANTI-BRIBERY AND CORRUPTION POLICY 1. PRINCIPLES 1.1 What do we mean by Ethical Business? As set out in our Corporate Sustainability policy, we are committed to high ethical standards and

More information

Anti-fraud and Corruption Policy

Anti-fraud and Corruption Policy Contents Introduction... 2 Policy Statement scope and responsibilities... 2 Breaching the Policy... 3 What is Fraud?... 4 What are Bribery and/or Corruption?... 5 Guiding Principles... 5 Steps to prevent

More information

Anti-facilitation of Tax Evasion Policy

Anti-facilitation of Tax Evasion Policy Anti-facilitation of CONTENTS 1 Policy statement 04 2 About this policy 04 3 Who must comply with this policy? 05 4 Who is responsible for the policy? 05 5 What is tax evasion facilitation? 06 6 What you

More information

Code of Conduct for Anti Bribery and Corruption Compliance

Code of Conduct for Anti Bribery and Corruption Compliance John Laing Code of Conduct for Anti Bribery and Corruption Compliance The Bribery Act 2010 (the 2010 Act ), in addition to consolidating previous legislation into one statute, introduces a new corporate

More information

Li & Fung Limited. Anti-Bribery Policy

Li & Fung Limited. Anti-Bribery Policy Li & Fung Limited 1. INTRODUCTION The foundation of Li & Fung s culture lies in our history and our values. We believe that we should always conduct ourselves and our business openly, honestly and in compliance

More information

Foreign Corrupt Practices Act Policy

Foreign Corrupt Practices Act Policy Foreign Corrupt Practices Act Policy Current as of April 1, 2015 IPM Headquarters 8401 Colesville Road, Suite 200 Silver Spring, MD 20910 USA Phone 1-301-608-2221 Fax 1-301-608-2241 www.ipmglobal.org Introduction

More information

BACAntibriberypolicySEPT2013 ANTI-BRIBERY POLICY

BACAntibriberypolicySEPT2013 ANTI-BRIBERY POLICY ANTI-BRIBERY POLICY 1. INTRODUCTION. The British Athletes Commission (the BAC) is committed to the highest standards of ethical conduct and integrity in its business activities in the UK (and overseas).this

More information

2017 All rights reserved Elbit Systems Anti-Bribery Compliance Policy

2017 All rights reserved Elbit Systems Anti-Bribery Compliance Policy Executive Summary Purpose. The purpose of this Policy is to assist directors, officers, employees and business partners in identifying anti-bribery related issues and in understanding and complying with

More information

SASOL ANTI-BRIBERY POLICY

SASOL ANTI-BRIBERY POLICY SASOL ANTI-BRIBERY POLICY 2 March 2015 Applicable to: All employees within the Sasol Group of Companies Next review date: Document owner: Approver: Date approved: February 2016 Ignatius Pohl Vuyo D. Kahla

More information

Anti-Bribery and Corruption. Code of Ethics

Anti-Bribery and Corruption. Code of Ethics Code of Ethics May 2015 Code of Ethics Overview 1. Explain Link Natural Resources : a. Anti-bribery and corruption policy b. Anti-bribery and corruption procedures 2. Provide overview of the UK Bribery

More information

Code of borrdrilling.com Conduct

Code of borrdrilling.com Conduct borrdrilling.com Code of Conduct 2 Borr Drilling Code of Conduct Borr Drilling Limited shall conduct its business with integrity, respecting the laws, cultures, and rights of individuals in all the countries

More information

WHL ANTI-BRIBERY, CORRUPTION AND SANCTIONS POLICY

WHL ANTI-BRIBERY, CORRUPTION AND SANCTIONS POLICY WHL ANTI-BRIBERY, CORRUPTION AND SANCTIONS POLICY 1. POLICY OVERVIEW Woolworths Holdings Limited ( WHL ) and its subsidiaries ( the Group ) is committed to conducting its business in accordance with all

More information

Anti-Bribery and Corruption Policy (including Gifts and Hospitality)

Anti-Bribery and Corruption Policy (including Gifts and Hospitality) Anti-Bribery and Corruption Policy (including Gifts and Hospitality) Royal Mail Group has a strict zero tolerance policy towards bribery and corruption. This policy sets out the standards of behaviour

More information

ANTI BRIBERY AND CORRUPTION POLICY

ANTI BRIBERY AND CORRUPTION POLICY GUINNESS ATKINSON ASSET MANAGEMENT INC (London Branch) GUINNESS ASSET MANAGEMENT LTD GUINNESS CAPITAL MANAGEMENT LTD ANTI BRIBERY AND CORRUPTION POLICY I Introduction Guinness Atkinson Asset Management

More information

HEALTHCARE GLOBAL ENTERPRISES LIMITED HCG ANTI BRIBERY AND ANTI CORRUPTION POLICY

HEALTHCARE GLOBAL ENTERPRISES LIMITED HCG ANTI BRIBERY AND ANTI CORRUPTION POLICY HEALTHCARE GLOBAL ENTERPRISES LIMITED HCG ANTI BRIBERY AND ANTI CORRUPTION POLICY 1 CONTENT INDEX S.No. Particulars Page No 1. Introduction 3 2. Objectives 3 3. Scope 3 4. Purpose 4 5. General Guidelines

More information

MTI WIRELESS EDGE LTD - Anti-Bribery Compliance Policy

MTI WIRELESS EDGE LTD - Anti-Bribery Compliance Policy Purpose - The purpose of this Policy is to assist directors, officers, employees and business partners in identifying anti-bribery related issues and in understanding and complying with applicable antibribery

More information

Anti-Bribery Manual for Saferoad Group

Anti-Bribery Manual for Saferoad Group Anti-Bribery Manual for Saferoad Group Table of Contents 1. Introduction to Anti-Bribery 5 2. Executive Summary 7 3. Fundamental Requirements 8 4. Expected Conduct 8 4.1 Key Principles 8 4.2 The definition

More information

Midas Gold Policy Manual

Midas Gold Policy Manual Midas Gold Policy Manual July 2015 POLICY LIST AND SIGN-OFF I have read, understand and agree to abide by the following Corporate Policies (please initial beside each policy): Policy Name Initial 1 Anti-Bribery

More information

Version 1. October, 2017

Version 1. October, 2017 Version 1. October, 2017 Contents 1. Purpose 1 2. Scope 1 3. Introduction 1 4. What is bribery and corruption? 2 5. What is a bribe? 2 6. Why are the policy and procedure important? 2 7. What is expected

More information

ANTI-BRIBERY AND CORRUPTION POLICY. Brookfield Asset Management Inc.

ANTI-BRIBERY AND CORRUPTION POLICY. Brookfield Asset Management Inc. ANTI-BRIBERY AND CORRUPTION POLICY Brookfield Asset Management Inc. March 2018 I. Introduction This Anti-Bribery and Corruption Policy ( the Policy ) applies to all directors, officers and employees (collectively,

More information

ORMAT TECHNOLOGIES, INC. ANTI-CORRUPTION POLICY

ORMAT TECHNOLOGIES, INC. ANTI-CORRUPTION POLICY ORMAT TECHNOLOGIES, INC. ANTI-CORRUPTION POLICY Ormat Technologies, Inc., and its direct and indirect subsidiaries (collectively, Ormat ), operates in many countries and conducts business around the world.

More information

ANTI-CORRUPTION AND GIFTS (GLOBAL POLICY GP-20.A)

ANTI-CORRUPTION AND GIFTS (GLOBAL POLICY GP-20.A) ANTI-CORRUPTION AND GIFTS (GLOBAL POLICY GP-20.A) This is a global policy of Armstrong Flooring, Inc. It applies to you, in your capacity as an Armstrong Flooring employee, and to all employees, directors

More information

SCIENCE CARE, INC. ANTI-BRIBERY POLICY

SCIENCE CARE, INC. ANTI-BRIBERY POLICY SCIENCE CARE, INC. ANTI-BRIBERY POLICY It is the policy of Science Care, Inc., and its affiliated entities (collectively, Science Care ) to conduct its business ethically and in compliance with various

More information

PETCO INTERNATIONAL, LLC FOREIGN CORRUPT PRACTICES ACT AND ANTI-BRIBERY POLICY. Effective: January 1, 2012

PETCO INTERNATIONAL, LLC FOREIGN CORRUPT PRACTICES ACT AND ANTI-BRIBERY POLICY. Effective: January 1, 2012 PETCO INTERNATIONAL, LLC FOREIGN CORRUPT PRACTICES ACT AND ANTI-BRIBERY POLICY Effective: January 1, 2012 ( PETCO ) must comply with all anti-bribery laws, including the U.S. Foreign Corrupt Practices

More information

Version / Date of applicability:

Version / Date of applicability: Version / Date of applicability: 31 st August, 2018 Prepared by: M. Goutham Reddy / Satya Adamala Approved by: Board of Directors This document is the sole property of Ramky Enviro Engineers Limited. Any

More information

Flint Group Anti-Bribery and Corruption Policy

Flint Group Anti-Bribery and Corruption Policy Flint Group Anti-Bribery and Corruption Policy I Introduction Integrity is one of Flint Group s guiding principles and it is important that every employee and company connected to Flint Group understands

More information

ANTI-BRIBERY CODE. September 2017

ANTI-BRIBERY CODE. September 2017 ANTI-BRIBERY CODE September 2017 4 CONTENTS CHIEF EXECUTIVE OFFICER S MESSAGE 1 GENERAL RULES 1.1. COFACE HAS ZERO TOLERANCE ON BRIBERY 1.2. THE CODE SETS THE MINIMUM STANDARD 1.3. WHAT IS THE LEGAL FRAMEWORK?

More information

Anti-Bribery Compliance Policy & Guidance Manual

Anti-Bribery Compliance Policy & Guidance Manual Anti-Bribery Compliance Policy & Guidance Manual Page 1 of 31 Version Control Version: 2.1 Issue Date: Approver: Carol Keery Status: Final Next Review Date: Version Author / Reviewer Review Date Reason

More information

THIRD PARTY CODE OF CONDUCT

THIRD PARTY CODE OF CONDUCT THIRD PARTY CODE OF CONDUCT TABLE OF CONTENTS Message from the CEO...2 Coverage and Scope of the Code...2 Compliance with The Code...2 Anti-Corruption Policies and Improper Payments...3 Financial Integrity

More information

Anti-Bribery and Anti-Corruption Policy

Anti-Bribery and Anti-Corruption Policy Anti-Bribery and Anti-Corruption Policy (Applicable to all brands, divisions, joint ventures, subsidiaries, suppliers, directors and employees of Tsebo Solutions Group) 1. Introduction Tsebo Solutions

More information

SOUTHWESTERN ENERGY COMPANY ANTI-CORRUPTION COMPLIANCE POLICY

SOUTHWESTERN ENERGY COMPANY ANTI-CORRUPTION COMPLIANCE POLICY SOUTHWESTERN ENERGY COMPANY ANTI-CORRUPTION COMPLIANCE POLICY I. Introduction At Southwestern Energy Company, we and our controlled subsidiaries and joint ventures (collectively, SWN or the Company ) build

More information

LION RE:SOURCES UK LIMITED (the Company ) ANTI-BRIBERY AND CORRUPTION POLICY

LION RE:SOURCES UK LIMITED (the Company ) ANTI-BRIBERY AND CORRUPTION POLICY LION RE:SOURCES UK LIMITED (the Company ) ANTI-BRIBERY AND CORRUPTION POLICY applicable to third parties acting on behalf of UK Publicis Groupe companies Our values and principles This Policy has been

More information

Meyer Sound Global Anti-Corruption Policy and Guidelines (as adopted on September 17, 2013)

Meyer Sound Global Anti-Corruption Policy and Guidelines (as adopted on September 17, 2013) Meyer Sound Global Anti-Corruption Policy and Guidelines (as adopted on September 17, 2013) I. INTRODUCTION Meyer Sound Laboratories, Inc. and its affiliated companies (collectively, Meyer Sound or the

More information