Practicing Ethically in Rule-of-Law Challenged Countries. Cristina K. Lunders Senior Associate Fulbright & Jaworski LLP October 3, 2014

Size: px
Start display at page:

Download "Practicing Ethically in Rule-of-Law Challenged Countries. Cristina K. Lunders Senior Associate Fulbright & Jaworski LLP October 3, 2014"

Transcription

1 Practicing Ethically in Rule-of-Law Challenged Countries Cristina K. Lunders Senior Associate Fulbright & Jaworski LLP October 3, 2014

2 Hypothetical You are working with an attorney in the United States who needs to serve an individual, who resides in Brigadoon, with a subpoena in connection with a federal court case. How should this individual be served? 2

3 Hypothetical Federal Rule of Civil Procedure 4(f)(1) instructs that the proper method of service is: By complying with Brigadoon law regarding service of subpoenas; Through a Brigadoon court by sending a letter rogatory; If not prohibited by Brigadoon law, by (i) personally delivering a copy of the subpoena, or (ii) using any form of mail that requires a signed receipt; or By obtaining a U.S. court order for alternative service. How do you proceed? 3

4 Today s Topic Attorneys practicing in the U.S. may face issues that implicate foreign law. Some of these countries may face rule-of-law challenges. For example: A lack of transparency Corruption in the legal and judicial systems. How can attorneys navigate these systems? 4

5 Topics to be Discussed Practicing Foreign Law Ethical Rules of Competence Unauthorized Practice of Law Applicable Laws in Direct Conflict Low-Transparency Legal Systems Corruption 5

6 Hypothetical Continuing our earlier scenario, you decide to conduct internet research on Brigadoon s law regarding service of subpoenas, and consider serving the individual in compliance with Brigadoon law. What are the potential pitfalls? 6

7 Practicing Foreign Law 7

8 Practicing Foreign Law Representation of a client may involve issues that implicate both U.S. and foreign law. Attorneys in the U.S. should generally offer advice on U.S. law (i.e. federal and state law (for states in which they are licensed)). Attorneys providing advice on foreign law should be wary of potential pitfalls that can arise from failing to retain local counsel, such as: Disciplinary action under a state bar s ethical rule of competence; or Foreign jurisdictions considering such advice as the unauthorized practice of law. 8

9 Ethical Rules of Competence U.S. lawyers advising on foreign law have an ethical duty to do so competently. "A lawyer admitted to practice in this jurisdiction is subject to the disciplinary authority of this jurisdiction, regardless of where the lawyer's conduct occurs. ABA Model Rule 8.5 This duty can require an attorney to acquire adequate knowledge of the relevant foreign law, or retain local counsel to provide such advice. 9

10 Ethical Rules of Competence, cont d. If an attorney fails to uphold this duty, the disciplinary board of the jurisdiction in which the attorney is licensed could take disciplinary action, which can include: Reprimand, Probation, Suspension, or Disbarment. The disciplinary board of the jurisdiction in which the attorney is providing or offering to provide services could also take disciplinary action. 10

11 Unauthorized Practice of Law The definition of the practice of law varies among different countries, and consequently, attorneys providing advice on foreign law may unknowingly engage in the unauthorized practice of law. There have been cases where a foreign jurisdiction has alleged U.S. attorneys engaged in the unauthorized practice of law. 11

12 Unauthorized Practice of Law, cont d. Lawyers Collective v. Bar Council of India (Dec. 16, 2009) Bombay High Court held that a decision by the Reserve Bank of India (RBI) allowing foreign law firms to open liaison offices in India was not justified. Two U.S. multinational law firms headquartered in New York and one U.K. multinational law firm headquartered in London were permitted by the RBI to open liaison offices in India. The court held that although these were liaison offices, the attorneys were allegedly practicing law in non-litigious matters by: Presenting themselves as experts in the field of law; and Rendering legal assistance by drafting documents, advising clients, and giving opinions. 12

13 Practicing Foreign Law Tips Where possible, avoid providing advice on foreign law without appropriate guidance. Retain foreign counsel to guide you through complex legal systems. Be wary of local counsel who do not understand your commitment to practice ethically and all that entails. 13

14 Practicing Foreign Law Tips (cont d.) Utilize available resources to identify competent counsel, such as: The international law section of state or local bar associations; The foreign country s embassy or consulate; and The Martindale-Hubbell Directory search engine. 14

15 Hypothetical Continuing our earlier scenario, you serve your subpoena, but the subpoenaed party refuses to provide documents, claiming the Hague Evidence Convention prohibits the removal of such documents from Brigadoon. What discovery laws apply? 15

16 Applicable Laws in Direct Conflict 16

17 Applicable Laws in Direct Conflict Attorney advising on foreign law should also be aware of barriers in foreign legal systems which may conflict with U.S. laws or regulations. One major barrier is blocking statutes, or laws enacted in one jurisdiction to obstruct the local application of a law enacted in another jurisdiction. Canada's Foreign Extraterritorial Measures Act (FEMA) and orders issued under FEMA may directly conflict with the U.S. s Cuban Liberty and Democratic Solidarity (LIBERTAD) Act. 17

18 Blocking Statutes One area of legal practice where blocking statutes can be particularly impeding is discovery. Blocking statutes in some countries restrict or prohibit the disclosure, copying, transfer, inspection or removal of documents for use in foreign proceedings unless the transfer complies with the Hague Evidence Convention. The Hague Evidence Convention only permits evidence to be transmitted to other countries via a letter of request, which can be impractical in some cases. Can be implicated where a lawsuit is filed in one country and relevant records are located in another. 18

19 Blocking Statutes, cont d. Examples of blocking statutes: France s Law : Imposes criminal penalties, including imprisonment, on parties who, among other things, transmit outside of the Hague Evidence Convention process documents or information for use in foreign judicial or administrative proceedings. Can present a Catch 22 situation for an attorney and his or her client. A U.S. court can sanction a litigant who refuses to produce documents or information subject to a discovery order, regardless of whether a blocking statute impedes that production. A foreign court may sanction local counsel for complying with a U.S. discovery order. 19

20 Blocking Statutes, cont d. Tips Understand that there can be a direct conflict of laws in two different jurisdictions. Obtain advice from local counsel regarding the subtleties of local law. Consider what action is in your client s best interest, and avoid violating either law. 20

21 Hypothetical Continuing our earlier scenario, your local counsel instructs you that the President of Brigadoon makes radio addresses, and those radio addresses become the unwritten law of the country. Local counsel seems to recall that the President indicated that the Hague Evidence Convention did not need to be followed. Is this radio address enough to defeat the subpoenaed party s response? 21

22 Low-Transparency Legal Systems 22

23 Low-Transparency Legal Systems What is legal transparency? A legal system is transparent if the individuals subject to its law or attorneys representing those individuals can see through the system. For example, transparency includes a determination of: Whether individuals can understand and comply with the requirements of laws; Whether individuals can foresee the consequences of compliance or noncompliance; and Whether the legal system has written laws that are available to the public. 23

24 Examples of Low-Transparency Legal Systems Equatorial Guinea No independent judiciary. Laws are created by presidential decrees, which are not published in an official manner for public display or knowledge. Even justices of EG s Supreme Court have trouble accessing legal archives and current legislation. For example, in February 2005, after allegations of corruption, EG s president issued a decree ordering all civil servants and members of the armed forces to declare their assets to a national public ethics commission, but failed to specify whether the order included the president, and failed to include any penalties for non-compliance. 24

25 Examples, cont d. Lack of finality in a court s decision District Court A issues a take-nothing judgment against Plaintiff. After that judgment, Plaintiff files the exact same case in District Court B, and is awarded damages. Lack of clarity in a court s jurisdiction District Court A, which traditionally has not exercised personal jurisdiction over individuals residing in District B, allows Plaintiff to proceed with a case against Defendant, who resides in District B, even though there is no connection between Defendant and District Court A. 25

26 Examples, cont d. Lack of a central filing system for property records Bank executes a $50,000 loan with Mr. Smith and holds his property deed as collateral. Mr. Smith later defaults on the loan, and when the Bank tries to foreclose on the property, it discovers that Mr. Smith transferred the property, before the loan was closed, but notice was not provided to the bank because local law does not require the new property owner to file the transfer. How can attorneys navigate these legal systems? 26

27 Low-Transparency Legal Systems Practice Tips When the legal system you're working in lacks transparency, you need to ensure your actions are transparent. Questions those practicing in low-transparency legal systems should ask themselves: What am I basing my actions and decisions on? What reasonable steps have I taken to verify the legal authority I am relying on? What reasonable steps have I taken to verify the appropriateness of my actions? Try to avail yourself of a more transparent legal system. 27

28 Hypothetical Continuing our earlier scenario, local counsel informs you that he can have the local police seize responsive documents, but he needs a sizeable retainer before he takes any action. Permissible? 28

29 Corruption 29

30 Corruption Corruption generally refers to providing value to an individual (or group of individuals) to obtain or retain business or a business advantage (particularly when that business or business advantage is provided by a government). Corruption affects the business and governance systems of many countries, both developed and developing. 30

31 Corruption Perception Index Source: Transparency International Corruption Perceptions Index an annual index of 178 countries, indicating the perceived level of public-sector corruption in a country/territory: (

32 Corruption Corruption is a significant issue in the legal profession. In 2010, the International Bar Association, Organization for Economic Co-operation and Development, and the United Nations Office on Drugs and Crime conducted a survey concerning corruption in the legal profession. Surveyed 642 legal professionals in 95 jurisdictions. 32

33 Corruption 33 Source: Risk and Threats of Corruption and the Legal Profession. International Bar Association, Organization for Economic Co-operation and Development, and the United Nations Office on Drugs and Crime survey of 574 IBA members concerning corruption in the legal profession.

34 Case Example TSKJ: , $1.15 billion A four-company joint venture allegedly paid $182 million in bribes to Nigerian government officials, in part through Jeffrey Tesler (a UK solicitor), winning four contracts to build liquefied natural gas facilities on Bonny Island, Nigeria, worth over $6 billion. In addition to penalizing members of the joint venture a total of over $1.8 billion, enforcement authorities also went after Tesler. Tesler was neither a U.S. citizen nor a resident. He fought extradition to the U.S., but was unsuccessful. Tesler was sentenced to 21 months in prison, ordered to forfeit $149 million, and was also fined $25,

35 Corruption The U.S. battles corruption of foreign public officials through the U.S. Foreign Corrupt Practices Act ( FCPA ), which applies to U.S. companies, citizens, or residents, whether or not they act within or outside of the U.S. Many foreign jurisdictions also have anti-corruption laws. Some examples: United Kingdom, Russia, China, Brazil, Canada, Australia, Germany 35

36 The FCPA 36 Foreign Corrupt Practices Act, 15 U.S.C., 78dd-1 et seq., 78m, enacted in Creates both civil and criminal liability for individuals and companies and is enforced by the Department of Justice and the Securities and Exchange Commission. Two components: Anti-bribery provisions: prohibit offering or providing anything of value to a foreign official to obtain or retain business, direct business to any person, or obtain a business advantage. Accounting and internal controls provisions: require U.S. public companies to maintain accurate books and records and internal controls sufficient to detect and prevent violations.

37 Hypothetical Continuing our earlier scenario, this situation presents several red flags, including: 37 Local counsel requests a large upfront payment; and Local counsel suggests that he/she can get government officials to take action (unclear whether action is legal or not). Red flags should be addressed to determine if a reasonable, noncorruption-related explanation can be provided for the red flag. In the absence of a reasonable explanation, the inference is that these red flags present a corruption risk.

38 Hypothetical Opposing counsel files a motion to quash the subpoena. You seek to file a motion to have their case thrown out for lack of jurisdiction. The court clerk refuses to stamp your motion as filed unless you make a one-time cash payment of $50. Permissible? 38

39 The FCPA Under the FCPA, in general there is no prohibition on paying the government for services, licenses, etc. However, in a low-transparency jurisdiction it can be difficult to determine whether the money is going to the government or a corrupt official. Facilitating Payments Exception Made to secure routine governmental action Must be low-value, reasonable, and well-documented Many local laws prohibit them Examples include: Obtaining copies of permits, licenses, or other official documents Processing governmental papers (e.g., visas, customs clearance) Providing police protection Scheduling inspections 39

40 Hypothetical Continuing our earlier scenario, the court clerk is a government official. The $50 payment could be: A legitimate processing fee paid to the government; A facilitation payment (which may be illegal under local law); or A bribe. 40

41 Judicial Corruption An effective judiciary guarantees fairness in legal processes, yet many countries struggle with judicial corruption, which can take many forms, including: Political interference from executive or legislative branches of government to influence judges rulings; and Bribery of judges and/or other court personnel. Rule-of-law challenged countries face a high risk of judicial corruption, but such corruption can occur in other countries as well. 41

42 Examples of Judicial Corruption Ecuador Republic of Ecuador v. ChevronTexaco Corp. (March 4, 2014) After losing a $181.1 billion judgment in an Ecuadorian court (later reduced to $9.5 billion by the Ecuador Supreme Court), Chevron filed multiple lawsuits against the American plaintiffs' attorneys, American consulting firms, and Ecuadorian coconspirators involved (the Ecuador Plaintiffs ) alleging fraud and corruption in the Ecuadorian case. 42

43 Examples of Judicial Corruption Ecuador: Chevron (cont d). The United States District Court of the Southern District of New York agreed with Chevron, finding overwhelming evidence of fraud in the Ecuadorian case, including evidence showing: The bribery of the deciding Ecuadorian judge; An environmental report allegedly written by an independent expert was actually written by the Ecuador Plaintiffs American attorneys; The Ecuador Plaintiffs schemed to engage in judicial intimidation; and The Ecuador Plaintiffs participated in a concerted effort to provide misinformation to members of the U.S. Government, Chevron investors, and others to force Chevron to settle. The U.S. District Court therefore refused to enforce the judgment against Chevron. 43

44 Examples of Judicial Corruption, cont d. Indonesia The Constitutional Court Chief Justice, Akil Mochtar, was charged with corruption in October 2013 for allegedly receiving a $262,000 bribe to issue a favorable verdict in an election dispute. An investigation revealed that Mochtar had cash and assets worth more than $6 million. China In 2004, two vice-presidents of the Wuhan Intermediate Court, three deputy divisional directors, seven mid-ranking judges and one court clerk, were tried for receiving more than $600,000 in bribes. The bribery investigation implicated more than 100 other judges and court officials who also participated in some sort of bribery. 44

45 Examples of Judicial Corruption, cont d. United Kingdom In November 2011, Munir Patel, a clerk at Redbridge Magistrates Court, was convicted of taking 500 ($828) to avoid entering details of a traffic summons on a court database. The indictment alleged that Patel had engaged in similar misconduct for over a year and earned at least 20,000 ($33,159) by helping 53 offenders. Patel was sentenced to three years for bribery and six years for misconduct in a public office, and was the first person convicted under the U.K. Bribery Act. 45

46 Minimizing Corruption Risk Tips: Be cautious in selecting and observant in supervising local counsel. Do not recommend or retain local counsel that has displayed or implied an ability to influence a foreign official. When making a payment to a government official: Request documentation, such as an official record, a receipt, or an invoice; and Be transparent in your intent and expectations. 46

47 Minimizing Corruption Risk, cont d. Tips (cont d): When in doubt, treat all foreign individuals like they are government officials. Seek guidance before making a payment that you believe may be questionable. Non-compliance with the FCPA can be very costly. Consult with local counsel to help you navigate foreign judicial systems. 47

48 Questions? 48

49 Thank you! For more information please contact: Cristina K. Lunders Senior Associate Norton Rose Fulbright LLP Tel

50

51 Disclaimer Norton Rose Fulbright LLP, Norton Rose Fulbright Australia, Norton Rose Fulbright Canada LLP, Norton Rose Fulbright South Africa (incorporated as Deneys Reitz Inc) and Fulbright & Jaworski LLP, each of which is a separate legal entity, are members ( the Norton Rose Fulbright members ) of Norton Rose Fulbright Verein, a Swiss Verein. Norton Rose Fulbright Verein helps coordinate the activities of the Norton Rose Fulbright members but does not itself provide legal services to clients. References to Norton Rose Fulbright, the law firm, and legal practice are to one or more of the Norton Rose Fulbright members or to one of their respective affiliates (together Norton Rose Fulbright entity/entities ). No individual who is a member, partner, shareholder, director, employee or consultant of, in or to any Norton Rose Fulbright entity (whether or not such individual is described as a partner ) accepts or assumes responsibility, or has any liability, to any person in respect of this communication. Any reference to a partner or director is to a member, employee or consultant with equivalent standing and qualifications of the relevant Norton Rose Fulbright entity. The purpose of this communication is to provide information as to developments in the law. It does not contain a full analysis of the law nor does it constitute an opinion of any Norton Rose Fulbright entity on the points of law discussed. You must take specific legal advice on any particular matter which concerns you. If you require any advice or further information, please speak to your usual contact at Norton Rose Fulbright.

Freedom of Expression in the Context of Airports Richard J. Charney Global Head, Employment and Labour Norton Rose Fulbright Canada LLP September 24,

Freedom of Expression in the Context of Airports Richard J. Charney Global Head, Employment and Labour Norton Rose Fulbright Canada LLP September 24, Freedom of Expression in the Context of Airports Richard J. Charney Global Head, Employment and Labour Norton Rose Fulbright Canada LLP September 24, 2016 Freedom of Expression and the Charter: s.2(b)

More information

Case 1:10-cv RJL Document 3-1 Filed 03/22/10 Page 1 of 12 UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLUMBIA

Case 1:10-cv RJL Document 3-1 Filed 03/22/10 Page 1 of 12 UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLUMBIA Case 110-cv-00473-RJL Document 3-1 Filed 03/22/10 Page 1 of 12 UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLUMBIA UNITED STATES SECURITIES AND EXCHANGE COMMISSION, 100 F Street, NE Washington, DC

More information

ICC Canada International Arbitration Conference Arbitrator Independence, Impartiality and Disclosure Re-visited

ICC Canada International Arbitration Conference Arbitrator Independence, Impartiality and Disclosure Re-visited ICC Canada International Arbitration Conference Arbitrator Independence, Impartiality and Disclosure Re-visited Moderator: Panelists: Alison G. FitzGerald Norton Rose Fulbright Canada LLP Andrea Carlevaris,

More information

ANTI-BRIBERY POLICY 1 POLICY STATEMENT

ANTI-BRIBERY POLICY 1 POLICY STATEMENT ANTI-BRIBERY POLICY Issued/approved by: Modern Water plc Board on 14 June 2011 Last updated: 17 September 2014 Applies to: Modern Water plc and any company or other entity (registered or operating anywhere

More information

UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLUMBIA. Plaintiff, Civil Action No. CONSENT OF DEFENDANT SIEMENS AKTIENGESELLSCHAFT

UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLUMBIA. Plaintiff, Civil Action No. CONSENT OF DEFENDANT SIEMENS AKTIENGESELLSCHAFT Case 1:08-cv-02167-RJL Document 1-2 Filed 12/12/08 Page 1 of 31 UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLUMBIA U.S. SECURITIES AND EXCHANGE Commission, 100 F. Street, NE Washington, D.C. 20549,

More information

Understanding the UK Bribery Act 2010: Extraterritorial Reach of the Act

Understanding the UK Bribery Act 2010: Extraterritorial Reach of the Act Understanding the UK Bribery Act 2010: Extraterritorial Reach of the Act 12 October 2010 Presented by Patrick Gilfillan, Senior Associate, McGuireWoods London LLP 2 Key Offences Offences of bribing another

More information

HYDRATIGHT GROUP ANTI-BRIBERY AND ANTI- CORRUPTION POLICY 11 MAY 2016

HYDRATIGHT GROUP ANTI-BRIBERY AND ANTI- CORRUPTION POLICY 11 MAY 2016 HYDRATIGHT GROUP ANTI-BRIBERY AND ANTI- CORRUPTION POLICY 11 MAY 2016 CONTENTS SECTION 1. Our commitment to ethical performance... 1 2. Who is covered by the policy?... 2 3. What is bribery?... 2 4. Gifts

More information

1. offering, promising or giving a bribe (in the UK or overseas); 2. requesting, agreeing to receive or accepting a bribe (in the UK or overseas);

1. offering, promising or giving a bribe (in the UK or overseas); 2. requesting, agreeing to receive or accepting a bribe (in the UK or overseas); BRIBERY ACT POLICY Explanation - Bribery Act Bribery can be defined as an inducement or reward offered, promised or provided in order to gain commercial, contractual, regulatory or personal advantage.

More information

The ITV Management Board is ultimately responsible for overseeing compliance with this policy.

The ITV Management Board is ultimately responsible for overseeing compliance with this policy. Anti-Bribery Policy Bribery Policy at a glance for ITV staff Don t: pay or receive any bribes, including any facilitation payments give or accept any gifts in cash or cash equivalents make any charitable

More information

Attorney-Client Privilege for the Compliance Officer:

Attorney-Client Privilege for the Compliance Officer: Attorney-Client Privilege for the Compliance Officer: Who has it? When do you have it? How do you keep it? April 22, 2014 Marsha Gerber (Moderator) Partner Norton Rose Fulbright (713) 651-5296 Marsha.gerber@nortonrosefulbright.com

More information

ANTI-BRIBERY AND CORRUPTION POLICY

ANTI-BRIBERY AND CORRUPTION POLICY Table of Content 1. Purpose... 2 2. Scope... 2 3. Responsibility... 2 4. General principles... 3 a. What is Bribery?... 3 b. Bribery of Government Officials... 4 c. Commercial Bribery... 6 d. Preventing

More information

CAC/COSP/IRG/2011/CRP.4

CAC/COSP/IRG/2011/CRP.4 27 May 2011 English only Implementation Review Group Second session Vienna, 30 May-3 June 2011 Item 2 of the provisional agenda Executive summary: Spain Legal system According to the Spanish Constitution

More information

Liberty Global. Anti-Corruption. Legal 1 February 2017 Version 1 Internal

Liberty Global. Anti-Corruption. Legal 1 February 2017 Version 1 Internal Liberty Global Anti-Corruption Legal 1 February 2017 Version 1 Internal Content 1. 2. 3. 4. 5. Anti-Corruption Policy 3 Purpose of the Anti-Corruption Policy 3 Scope 3 What is Bribery and Corruption? 4

More information

Case 1:08-cv RJL Document 3 Filed 12/15/2008 Page 1 of 38

Case 1:08-cv RJL Document 3 Filed 12/15/2008 Page 1 of 38 Case 1:08-cv-02167-RJL Document 3 Filed 12/15/2008 Page 1 of 38 Case 1:08-cv-02167-RJL Document 3 Filed 12/15/2008 Page 2 of 38 Case 1:08-cv-02167-RJL Document 3 Filed 12/15/2008 Page 3 of 38 Case 1:08-cv-02167-RJL

More information

STMICROELECTRONICS ANTI-BRIBERY & CORRUPTION POLICY

STMICROELECTRONICS ANTI-BRIBERY & CORRUPTION POLICY STMICROELECTRONICS ANTI-BRIBERY & CORRUPTION POLICY INDEX PAGES 1. PURPOSE AND SCOPE 2 1.1 Purpose 2 1.2 Scope 2 2. ORGANIZATIONAL UNITS AFFECTED 2 3. POLICY STATEMENT 2 4. GENERAL PRINCIPLES 3 4.1 Definitions

More information

Law Society of Alberta National Mobility FAQs. Visiting Lawyers

Law Society of Alberta National Mobility FAQs. Visiting Lawyers General 1. What kind of work brings me under the oversight of the Law Society of Alberta? Provide legal services means to engage in the practice of law (a) physically in Alberta, except with respect to

More information

ANTI-BRIBERY POLICY Rev Date Purpose of Issue/Description of Change Equality Impact Assessment Completed

ANTI-BRIBERY POLICY Rev Date Purpose of Issue/Description of Change Equality Impact Assessment Completed ANTI-BRIBERY POLICY Rev Date Purpose of Issue/Description of Change Equality Impact Assessment Completed 1. 29 th March, 2012 Initial Issue 2. 5 th October 2015 Review and approval by Compliance Task Group

More information

Cross-Border Internal Investigations: Data Protection and Employee Issues. June 11, 2014

Cross-Border Internal Investigations: Data Protection and Employee Issues. June 11, 2014 Cross-Border Internal Investigations: Data Protection and Employee Issues June 11, 2014 Presenters Anita Esslinger Bryan Cave LLP Christopher Dueringer Bryan Cave LLP Sarah Delon- Bouquet Bryan Cave LLP

More information

I. STATEMENT OF COMMITMENT AGAINST CORRUPTION, BRIBERY & EXTORTION

I. STATEMENT OF COMMITMENT AGAINST CORRUPTION, BRIBERY & EXTORTION CITY DEVELOPMENTS LIMITED ANTI-CORRUPTION POLICY & GUIDELINES* (*All employees of CDL are required to read the full version of the CDL Anti-Corruption Policy & Guidelines, which is available on CDL s intranet,

More information

Anti-bribery Policy. Approving Body: Council. Date of Approval: 26 November Policy owner: Director of Finance and Corporate Services

Anti-bribery Policy. Approving Body: Council. Date of Approval: 26 November Policy owner: Director of Finance and Corporate Services Anti-bribery Policy Approving Body: Council Date of Approval: 26 November 2018 Policy owner: Director of Finance and Corporate Services Policy contact: Stephen Forster, stf17@aber.ac.uk Policy status:

More information

AVOIDING BRIBERY AND CORRUPTION POLICY

AVOIDING BRIBERY AND CORRUPTION POLICY AVOIDING BRIBERY AND CORRUPTION POLICY INTRODUCTION TransCanada conducts its business in compliance with its Code of Business Ethics and the applicable Anti-Bribery and Anti-Corruption Laws of each country

More information

ANTI-BRIBERY & CORRUPTION POLICY

ANTI-BRIBERY & CORRUPTION POLICY GABRIEL RESOURCES LIMITED ANTI-BRIBERY & CORRUPTION POLICY 1 INTRODUCTION 1.1 The Board of Directors of Gabriel Resources Ltd. 1 (the Company or "Gabriel") has determined that, on the recommendation of

More information

Warrego Energy Limited Level 6, 10 Bridge Street, Sydney NSW 2000 T: E: warregoenergy.com ABN

Warrego Energy Limited Level 6, 10 Bridge Street, Sydney NSW 2000 T: E: warregoenergy.com ABN Warrego Energy Limited ACN 125 394 667 WARREGO ENERGY LIMITED ANTI-CORRUPTION & BRIBERY POLICY Contents SECTION 1. Warrego s commitment to ethical performance 1 2. Who is covered by the policy? 2 3. What

More information

The public policy exception in Russia: recent trends

The public policy exception in Russia: recent trends The public policy exception in Russia: recent trends Yaroslav Klimov Partner, Head of Russia/CIS dispute resolution and litigation Norton Rose Fulbright (Central Europe) LLP 14/11/2013 Historical background

More information

2010 UK Bribery Act. A Briefing for NGOs

2010 UK Bribery Act. A Briefing for NGOs 2010 UK Bribery Act A Briefing for NGOs June 2010 2010 UK Bribery Act A Briefing for NGOs 1. Introduction On April 8 th 2010, a new Bribery Act received Royal Assent one of the last bills to pass into

More information

SCCE Higher Education Compliance Conference. June 5 8, 2016 LAUREATE ETHICS & COMPLIANCE. FCPA & Higher Education AGENDA. SCCE Conference 2016

SCCE Higher Education Compliance Conference. June 5 8, 2016 LAUREATE ETHICS & COMPLIANCE. FCPA & Higher Education AGENDA. SCCE Conference 2016 LAUREATE ETHICS & COMPLIANCE FCPA & Higher Education SCCE 2016 2 AGENDA How do FCPA and UK Bribery Act risks arise in the unique relationships and partnerships universities enter into. Aspects of an effective

More information

Zen Internet ANTI-CORRUPTION AND BRIBERY POLICY. Zen Legal Department. Issue: v.2.final. Date: Wednesday, 05 August 2015

Zen Internet ANTI-CORRUPTION AND BRIBERY POLICY. Zen Legal Department. Issue: v.2.final. Date: Wednesday, 05 August 2015 Zen Internet Zen Legal Department Issue: v.2.final Date: Wednesday, 05 August 2015 Contents 1 Policy Statement...1 2 About this policy...2 3 Who must comply with this policy?...3 4 Who is responsible for

More information

Policy Summary. Overview Why is the policy required? Awareness and legal compliance with Bribery Act is required to minimise risk to UHI and its staff

Policy Summary. Overview Why is the policy required? Awareness and legal compliance with Bribery Act is required to minimise risk to UHI and its staff Policy Summary Overview Why is the policy required? Purpose What will it achieve? Scope Who does it apply too? Consultation/notification Highlight plans/dates Implementation and monitoring (including costs)

More information

It is the responsibility of all Fletcher Personnel to understand and comply with this Policy, including any reporting requirements set out below.

It is the responsibility of all Fletcher Personnel to understand and comply with this Policy, including any reporting requirements set out below. POLICY: ANTI-BRIBERY AND CORRUPTION 1. POLICY STATEMENT AND PURPOSE Fletcher Building Limited ( Fletcher Building ) is committed to complying with the law in all jurisdictions in which we operate, as well

More information

Criminalisation of Seafarers An Australian Perspective

Criminalisation of Seafarers An Australian Perspective FINANCIAL INSTITUTIONS ENERGY INFRASTRUCTURE, MINING AND COMMODITIES TRANSPORT TECHNOLOGY AND INNOVATION PHARMACEUTICALS AND LIFE SCIENCES Criminalisation of Seafarers An Australian Perspective Ernest

More information

THE PUBLIC AUDIT ACT, 2008 ARRANGEMENT OF SECTIONS PART I PRELIMINARY PROVISIONS PART II THE CONTROLLER AND AUDITOR-GENERAL

THE PUBLIC AUDIT ACT, 2008 ARRANGEMENT OF SECTIONS PART I PRELIMINARY PROVISIONS PART II THE CONTROLLER AND AUDITOR-GENERAL THE PUBLIC AUDIT ACT, 2008 ARRANGEMENT OF SECTIONS PART I PRELIMINARY PROVISIONS Section Title 1. Short title and commencement. 2. Application. 3. Interpretation. PART II THE CONTROLLER AND AUDITOR-GENERAL

More information

Criminal Convictions. AAT is a registered charity. No

Criminal Convictions. AAT is a registered charity. No Criminal Convictions AAT is a registered charity. No. 1050724 Criminal Convictions Contents Introduction... 3 Policy detail... 4 Criminal convictions on application... 4 Criminal convictions on reinstatement...

More information

This guidance applies to all members of the University including all employees and independent members of Council and its Committees.

This guidance applies to all members of the University including all employees and independent members of Council and its Committees. UNIVERSITY OF ULSTER ANTI- BRIBERY GUIDANCE 1. Introduction This guidance applies to all members of the University including all employees and independent members of Council and its Committees. 2. Position

More information

ODCE Auditor Reporting. What happens next. February ODCE consideration of Process

ODCE Auditor Reporting. What happens next. February ODCE consideration of Process ODCE Auditor Reporting What happens next February 2013 ODCE consideration of Process User Guide October 2011 ODCE Auditor Reporting What happens next Page The purpose of this document is to explain the

More information

The Bribery Act 2010 and what it means for CIMA members and businesses worldwide

The Bribery Act 2010 and what it means for CIMA members and businesses worldwide The Bribery Act 2010 and what it means for CIMA members and businesses worldwide Bribery is a serious crime that destroys the integrity, accountability and honesty that underpins ethical standards both

More information

Petition Regarding Ecuador s Benefits Under the Andean Trade Preference Act

Petition Regarding Ecuador s Benefits Under the Andean Trade Preference Act Submitted: September 22, 2009 Petition Regarding Ecuador s Benefits Under the Andean Trade Preference Act Under section 203(e) of the ATPA, as amended (19 U.S.C. 3202(e)), the President may withdraw or

More information

EFFECTIVE MEASURES FOR COMBATING CORRUPTION

EFFECTIVE MEASURES FOR COMBATING CORRUPTION EFFECTIVE MEASURES FOR COMBATING CORRUPTION Pinthip Leelakriangsak Srisanit I. INTRODUCTION Corruption has been considered a major and widespread problem in many nations. Particularly, corruption causes

More information

ANTI BRIBERY AND CORRUPTION POLICY

ANTI BRIBERY AND CORRUPTION POLICY ANTI BRIBERY AND CORRUPTION POLICY Document No: P024/IMS/GK/160915 VERSION 1 Revised Date Uncontrolled Copy: Controlled Copy: 1 Prior to use, ensure this document is the most recent revision by checking

More information

ANTI-CORRUPTION AND BRIBERY POLICY

ANTI-CORRUPTION AND BRIBERY POLICY ANTI-CORRUPTION AND BRIBERY POLICY Date Approved by Governors March 2017 Review Date March 2019 On behalf of Governors signed Print name On behalf of Governors signed Print name Principal s signature All

More information

Proper Business Practices and Ethics Policy

Proper Business Practices and Ethics Policy Proper Business Practices and Ethics Policy Synopsis 1. Crown Castle International Corp. ( Crown Castle ) and its affiliates 1 strive to conduct their business with honesty and integrity and in accordance

More information

This policy and Code of Conduct will form part of the induction of new EMPLOYEES (as defined below).

This policy and Code of Conduct will form part of the induction of new EMPLOYEES (as defined below). ANTI CORRUPTION POLICY STATEMENT OF COMMITMENT RICHLAND GROUP (as defined below) is fully committed to conduct our business with utmost integrity and with the highest ethical standards, and in compliance

More information

Emily Stern. Partner Madison Avenue New York, NY Practices. Industries. Selected Experience

Emily Stern. Partner Madison Avenue New York, NY Practices. Industries. Selected Experience Emily Stern Partner +1.212.940.8515 emily.stern@kattenlaw.com 575 Madison Avenue, NY 10022-2585 Practices FOCUS: and Dispute Resolution Securities and Enforcement White Collar, Investigations and Compliance

More information

FLORIDA BAR JUDICIAL CANDIDATE VOLUNTARY SELF-DISCLOSURE STATEMENT

FLORIDA BAR JUDICIAL CANDIDATE VOLUNTARY SELF-DISCLOSURE STATEMENT FLORIDA BAR JUDICIAL CANDIDATE PLEASE BEAR IN MIND YOUR OBLIGATIONS UNDER JUDICIAL CANON NO.7 IN PROVIDING ANSWERS TO THIS QUESTIONNAIRE. THE FLORIDA BAR DOES NOT ASSUME ANY RESPONSIBILITY FOR YOUR ANSWERS

More information

Date: June 14, 2016 JCM CAPITAL ANTI-BRIBERY AND CORRUPTION ( ABC ) POLICY

Date: June 14, 2016 JCM CAPITAL ANTI-BRIBERY AND CORRUPTION ( ABC ) POLICY Date: June 14, 2016 JCM CAPITAL ANTI-BRIBERY AND CORRUPTION ( ABC ) POLICY TABLE OF CONTENTS Page 1 POLICY STATEMENT...3 2 WHO IS COVERED BY THE POLICY?...5 3 COMMITMENT TO STAKEHOLDERS...5 4 COMPLIANCE

More information

Anti-bribery policy. November 2017

Anti-bribery policy. November 2017 Anti-bribery policy November 2017 1. PURPOSE AND OBJECTIVES The adverse economic and social consequences of bribery and corruption are a major deterrent to development, everywhere in the world. Sanofi

More information

POLICY: ANTI-CORRUPTION & ANTI-BRIBERY. Objective. Scope & Applicability. Definitions / Abbreviations. Content. What is bribery?

POLICY: ANTI-CORRUPTION & ANTI-BRIBERY. Objective. Scope & Applicability. Definitions / Abbreviations. Content. What is bribery? POLICY: ANTI-CORRUPTION & ANTI-BRIBERY Objective The objective of this policy is to: set out our responsibilities, and of those working for us, in observing and upholding our position on bribery and corruption

More information

FORENSIC. Doing business under the UK Bribery Act. Survey kpmg.com/in

FORENSIC. Doing business under the UK Bribery Act. Survey kpmg.com/in FORENSIC Doing business under the UK Bribery Act Survey 2012 kpmg.com/in Executive summary Following several law commission papers, a first draft of the Bribery Bill was published in March 2009. After

More information

General Assembly Security Council

General Assembly Security Council United Nations A/63/467 General Assembly Security Council Distr.: General 6 October 2008 Original: English General Assembly Sixty-third session Agenda item 76 Status of the Protocols Additional to the

More information

Private Investigators Bill 2005

Private Investigators Bill 2005 Private Investigators Bill 2005 A Draft Bill Setting Out The Regulatory Requirements For The Private Investigation Profession in Australia This draft Bill has been researched and prepared by the Australian

More information

FIA INSTITUTE ANTI BRIBERY AND CORRUPTION POLICY

FIA INSTITUTE ANTI BRIBERY AND CORRUPTION POLICY ! FIA INSTITUTE ANTI BRIBERY AND CORRUPTION POLICY 1. POLICY STATEMENT 1.1 As indicated in Article 8 of the Internal Regulations of the FIA Institute, we take a zero tolerance approach to bribery and corruption

More information

SUNTORY BEVERAGE AND FOOD EUROPE ANTI-BRIBERY AND CORRUPTION POLICY OCTOBER 2015 EDITION 001

SUNTORY BEVERAGE AND FOOD EUROPE ANTI-BRIBERY AND CORRUPTION POLICY OCTOBER 2015 EDITION 001 SUNTORY BEVERAGE AND FOOD EUROPE ANTI-BRIBERY AND CORRUPTION POLICY OCTOBER 2015 EDITION 001 1 TABLE OF CONTENTS 1. POLICY STATEMENT...3 2. ANTI-BRIBERY AND CORRUPTION LAWS...4 3. THE PENALTIES...4 4.

More information

POLA 2004 Country Report Japan Federation of Bar Associations. Practicing Attorney System in Japan

POLA 2004 Country Report Japan Federation of Bar Associations. Practicing Attorney System in Japan POLA 2004 Country Report Japan Federation of Bar Associations Practicing Attorney System in Japan Chapter 1 Outline of the Practicing Attorney System in Japan 1. Requirements to Become Practicing Attorneys

More information

GLOBAL NEW CAR ASSESSMENT PORGRAMME ANTI BRIBERY AND CORRUPTION POLICY [DRAFT]

GLOBAL NEW CAR ASSESSMENT PORGRAMME ANTI BRIBERY AND CORRUPTION POLICY [DRAFT] GLOBAL NEW CAR ASSESSMENT PORGRAMME ANTI BRIBERY AND CORRUPTION POLICY [DRAFT] 1. POLICY STATEMENT 1.1 We take a zero tolerance approach to bribery and corruption and will uphold all laws relevant to countering

More information

JOHNSON MATTHEY GROUP GLOBAL ANTI-BRIBERY AND CORRUPTION POLICY

JOHNSON MATTHEY GROUP GLOBAL ANTI-BRIBERY AND CORRUPTION POLICY JOHNSON MATTHEY GROUP GLOBAL ANTI-BRIBERY AND CORRUPTION POLICY 2011 TABLE OF CONTENTS Sections 1 Johnson Matthey Anti-Bribery And Corruption Statement 2 Introduction 3 Who Is Covered By This Policy? 4

More information

Good Faith and Honesty: Bhasin v Hrynew

Good Faith and Honesty: Bhasin v Hrynew Good Faith and Honesty: Bhasin v Hrynew June 9, 2015 Toronto, Ontario Marc Kestenberg, Partner, Norton Rose Fulbright Canada LLP Marlo Kravetsky, Senior Counsel, TD Bank Group Deborah Reine, Senior Counsel,

More information

To: All contacts in England, Wales, Scotland and Northern Ireland

To: All contacts in England, Wales, Scotland and Northern Ireland Briefing 11/32 July 2011 Bribery Act 2010 To: All contacts in England, Wales, Scotland and Northern Ireland Key issues New offences created to replace previous bribery crimes Both the private and public

More information

Working Group on Bribery: 2014 Data on Enforcement of the Anti-Bribery Convention

Working Group on Bribery: 2014 Data on Enforcement of the Anti-Bribery Convention Working Group on Bribery: 2014 Data on Enforcement of the Anti-Bribery Convention Highlights from the Working Group on Bribery Enforcement Data, as of December 2014 361 individuals and 126 entities have

More information

By His Excellency MITT ROMNEY GOVERNOR REVISED EXECUTIVE ORDER NO. 455 (03-13) STANDARDS OF CONDUCT FOR NOTARIES PUBLIC

By His Excellency MITT ROMNEY GOVERNOR REVISED EXECUTIVE ORDER NO. 455 (03-13) STANDARDS OF CONDUCT FOR NOTARIES PUBLIC By His Excellency MITT ROMNEY GOVERNOR REVISED EXECUTIVE ORDER NO. 455 (03-13) STANDARDS OF CONDUCT FOR NOTARIES PUBLIC WHEREAS, notaries public promote, serve, and protect the public interest by acting

More information

The Legal Framework for Extradition, MLA and Recovery of Proceeds of Corruption

The Legal Framework for Extradition, MLA and Recovery of Proceeds of Corruption The Asian Development Bank and the Organisation for Economic Co-operation and Development do not guarantee the accuracy of this document and accept no responsibility whatsoever for any consequences of

More information

Application to appoint authorised individual; Head of Legal Practice; or Head of Finance and Administration

Application to appoint authorised individual; Head of Legal Practice; or Head of Finance and Administration Application to appoint authorised individual; Head of Legal Practice; or Head of Finance and Administration This form is for accredited probate firms that wish to appoint a new authorised individual. An

More information

Ethics and Lobbying. Continuing Ethical Scandals

Ethics and Lobbying. Continuing Ethical Scandals 13 Ethics and Lobbying After substantially reforming ethics and lobbying laws in 2006, the General Assembly in 2007 made a series of changes to the State Government Ethics Act, the Legislative Ethics Act,

More information

UNIFORM JUDICIAL QUESTIONNAIRE

UNIFORM JUDICIAL QUESTIONNAIRE C O N F I D E N T I A L 1. Full Name: Have you ever been known by any other name (other than a recognizable nickname)? Yes No If yes, specify the name(s) and year(s) of name change and/or the years during

More information

As DOJ Confronts Setbacks in Litigated FCPA Cases, The Government s Overall FCPA Enforcement Program Faces Increasing Scrutiny

As DOJ Confronts Setbacks in Litigated FCPA Cases, The Government s Overall FCPA Enforcement Program Faces Increasing Scrutiny As DOJ Confronts Setbacks in Litigated FCPA Cases, The Government s Overall FCPA Enforcement Program Faces Increasing Scrutiny February 16, 2012 Just as the Department of Justice ( DOJ ) is confronting

More information

This Class Action Settlement May Affect Your Rights. A Court authorized this notice. This is not a solicitation from a lawyer.

This Class Action Settlement May Affect Your Rights. A Court authorized this notice. This is not a solicitation from a lawyer. LEGAL NOTICE OF PENDENCY AND SETTLEMENT OF CLASS ACTION Gladys Flores, et al. v. Locus Telecommunications, Inc., et al. Case No. BC492907 Consumers of Locus Telecommunications, Inc. s Prepaid Calling Cards

More information

The Government Emergency Ordinance No. 43 Regarding the National Anticorruption Directorate

The Government Emergency Ordinance No. 43 Regarding the National Anticorruption Directorate The Government Emergency Ordinance No. 43 Regarding the National Anticorruption Directorate (Entered into force on: March 16, 2006) Text brought up to date on the basis of the amending laws, published

More information

PROJET DE LOI ENTITLED. The Terrorism and Crime (Bailiwick of Guernsey) Law, 2002 ARRANGEMENT OF SECTIONS PART I INTRODUCTORY

PROJET DE LOI ENTITLED. The Terrorism and Crime (Bailiwick of Guernsey) Law, 2002 ARRANGEMENT OF SECTIONS PART I INTRODUCTORY PROJET DE LOI ENTITLED The Terrorism and Crime (Bailiwick of Guernsey) Law, 2002 1. Terrorism: interpretation. 2. Repeal of 1990 Law. 3. Proscription. 4. Membership. 5. Support. 6. Uniform. 7. Terrorist

More information

Section 1 This Emergency Decree is called the Emergency Decree on Obtaining Loans Amounting to Public Cheating and Fraud, B.E

Section 1 This Emergency Decree is called the Emergency Decree on Obtaining Loans Amounting to Public Cheating and Fraud, B.E Tentative translation EMERGENCY DECREE ON OBTAINING LOANS AMOUNTING TO PUBLIC CHEATING AND FRAUD, B.E. 2527 1 BHUMIBOL ADULYADEJ, REX. Given on the 11 th Day of November B.E. 2527 ; Being the 39 th Year

More information

Renishaw Group Anti-Bribery Policy

Renishaw Group Anti-Bribery Policy 1. Zero Tolerance Statement Renishaw Group Anti-Bribery Policy Renishaw plc and its subsidiaries ( the Group ) have a zero tolerance approach to all forms of bribery and corruption and this global Renishaw

More information

Criminal Litigation Accreditation Scheme Standards of competence for the accreditation of solicitors representing clients in the magistrates court

Criminal Litigation Accreditation Scheme Standards of competence for the accreditation of solicitors representing clients in the magistrates court Criminal Litigation Accreditation Scheme Standards of competence for the accreditation of solicitors representing clients in the magistrates court Contents Part 1 Underpinning knowledge...3 1.1 An understanding

More information

FOOTBALL AND THE CRIMINAL LAW BRIBERY AND CORRUPTION-A NEW WORLD ORDER

FOOTBALL AND THE CRIMINAL LAW BRIBERY AND CORRUPTION-A NEW WORLD ORDER FOOTBALL AND THE CRIMINAL LAW BRIBERY AND CORRUPTION-A NEW WORLD ORDER Football and bribery Bribery and corruption has sadly been part of the game of football for over 100 years. Over the years there are

More information

ANTI-BRIBERY & CORRUPTION

ANTI-BRIBERY & CORRUPTION ANTI-BRIBERY & CORRUPTION VOLCOM COMPLIANCE MANUAL 1. Introduction... 3 2. Application... 3 3. Oversight and Governance... 3 3.1 Responsible Parties... 3 3.2 Risk Assessment... 4 3.3 Monitoring... 4 4.

More information

Anti-Bribery Policy WHC reserves the right to amend this policy at its discretion. The most up-to-date version can be downloaded from our website.

Anti-Bribery Policy WHC reserves the right to amend this policy at its discretion. The most up-to-date version can be downloaded from our website. ANTI-BRIBERY POLICY ELT manager Director of Finance Responsible officer Director of Finance Date first approved by BoM 29 th March 2012 Date review approved by BoM 4 th October 2017 Next Review Date October

More information

BERMUDA BRIBERY ACT : 47

BERMUDA BRIBERY ACT : 47 QUO FA T A F U E R N T BERMUDA BRIBERY ACT 2016 2016 : 47 TABLE OF CONTENTS 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 Citation Interpretation Preliminary General bribery offences Offences of bribing another

More information

BUSINESS INTEGRITY POLICY

BUSINESS INTEGRITY POLICY BUSINESS INTEGRITY POLICY Introduction Integrity and accountability are core values for Anglo American. Earning and continuing to command trust are fundamental to the success of our business. Our stakeholders

More information

Policy on the Prevention of Bribery and Corruption

Policy on the Prevention of Bribery and Corruption UNIVERSITY OF LEICESTER Policy on the Prevention of Bribery and Corruption This University Policy on the Prevention of Bribery and Corruption has been adopted and endorsed by Council, the University s

More information

Anti-Bribery Policy. Anti-Bribery Policy

Anti-Bribery Policy. Anti-Bribery Policy 1. Introduction 1.1 It is ASET s policy to conduct all of our business in an honest and ethical manner. We take a zero-tolerance approach to bribery and corruption and are committed to acting professionally,

More information

Organisational Model pursuant to Legislative Decree 231/2001. Terre des hommes Italia Onlus Foundation

Organisational Model pursuant to Legislative Decree 231/2001. Terre des hommes Italia Onlus Foundation Organisational Model pursuant to Legislative Decree 231/2001 of Terre des hommes Italia Onlus Foundation INDEX 0. INTRODUCTION 1. STRUCTURE OF THE ORGANISATIONAL MODEL 2. PURPOSE AND FIELD OF APPLICATION

More information

Bribery & Corruption Policy

Bribery & Corruption Policy Adam Smith International Bribery & Corruption Policy October 2017 Bribery & Corruption Policy Last review date: 16 October 2017 Next review date: October 2018 Author: Approver: Who does this policy apply

More information

Justice Court Precinct 8 Judge Tom Gillam III Justice of the Peace JUSTICE COURT PROCEDURES SMALL CLAIMS

Justice Court Precinct 8 Judge Tom Gillam III Justice of the Peace JUSTICE COURT PROCEDURES SMALL CLAIMS Justice Court Precinct 8 Judge Tom Gillam III Justice of the Peace JUSTICE COURT PROCEDURES SMALL CLAIMS Justice of the Peace Courts are courts in which parties can settle disputes in a speedy, informal

More information

2015 Data on Enforcement of the Anti-Bribery Convention

2015 Data on Enforcement of the Anti-Bribery Convention 05 Data on Enforcement of the Anti-Bribery OECD Working Group on Bribery November 06 HIGHLIGHTS 397 individuals and 33 entities have been sanctioned in criminal proceedings for foreign bribery in 7 Parties

More information

ANTI-BRIBERY AND CORRUPTION POLICY UK ENGINEERING RECRUITMENT LTD

ANTI-BRIBERY AND CORRUPTION POLICY UK ENGINEERING RECRUITMENT LTD Page 1 of 5 Contents: ANTI-BRIBERY AND CORRUPTION POLICY 1. Definitions 2. Introduction 3. Purpose and scope of this policy 4. The Bribery Act 2010 5. The risks of not acting with integrity 6. The benefits

More information

The Compliance Related Aspects, Peculiarities and Risks in the Russian Pharmaceutical Market

The Compliance Related Aspects, Peculiarities and Risks in the Russian Pharmaceutical Market The Compliance Related Aspects, Peculiarities and Risks in the Russian Pharmaceutical Market The Fifth International Pharmaceutical Compliance Congress and Best Practices Forum, May 3 5, 2011, Istanbul,

More information

ANTI-TERRORISM AND CRIME ACT 2003 Chapter 6

ANTI-TERRORISM AND CRIME ACT 2003 Chapter 6 Copyright Treasury of the Isle of Man Crown Copyright reserved See introductory page for restrictions on copying and reproduction ANTI-TERRORISM AND CRIME ACT 2003 Chapter 6 Arrangement of sections PART

More information

SURVEY OF ANTI-CORRUPTION MEASURES IN THE PUBLIC SECTOR IN OECD COUNTRIES: GERMANY

SURVEY OF ANTI-CORRUPTION MEASURES IN THE PUBLIC SECTOR IN OECD COUNTRIES: GERMANY SURVEY OF ANTI-CORRUPTION MEASURES IN THE PUBLIC SECTOR IN OECD COUNTRIES: GERMANY 1. What anti-corruption mechanisms exist for the public sector in your country? a) Legislation proscribing corrupt activities

More information

ANTI-BRIBERY AND ANTI-CORRUPTION POLICY. Guidelines for Compliance with the Canadian Corruption of Foreign Public Officials Act

ANTI-BRIBERY AND ANTI-CORRUPTION POLICY. Guidelines for Compliance with the Canadian Corruption of Foreign Public Officials Act ANTI-BRIBERY AND ANTI-CORRUPTION POLICY Guidelines for Compliance with the Canadian Corruption of Foreign Public Officials Act Red Eagle Mining Corporation (the Company ) and all of its affiliated entities,

More information

ANTI-CORRUPTION AND BRIBERY POLICY - INCLUDING CODE OF PRACTICE ON BUSINESS GIFTS AND HOSPITALITY

ANTI-CORRUPTION AND BRIBERY POLICY - INCLUDING CODE OF PRACTICE ON BUSINESS GIFTS AND HOSPITALITY ANTI-CORRUPTION AND BRIBERY POLICY - INCLUDING CODE OF PRACTICE ON BUSINESS GIFTS AND HOSPITALITY Policy Number 5 July 2015 This Document is for the use of Scotmid Employees and their advisors only. No

More information

H 6178 S T A T E O F R H O D E I S L A N D

H 6178 S T A T E O F R H O D E I S L A N D ======== LC00 ======== 01 -- H 1 S T A T E O F R H O D E I S L A N D IN GENERAL ASSEMBLY JANUARY SESSION, A.D. 01 A N A C T RELATING TO STATE AFFAIRS AND GOVERNMENT - THE RHODE ISLAND LOBBYING REFORM ACT

More information

Counter-fraud and anti-bribery policy

Counter-fraud and anti-bribery policy Counter-fraud and anti-bribery policy Responsible Officer Author Ben Bennett, Business Planning & Resources Director Corporate Office Date effective from May 2012 Date last amended November 2016 Review

More information

Gifts, Hospitality & Anti-Bribery Policy

Gifts, Hospitality & Anti-Bribery Policy Gifts, Hospitality & Anti-Bribery Policy Contents: 1. The Bribery Act 2010 2. Unacceptable practice 3. Acceptable practice 4. Charitable donations 5. Reporting suspected bribery 6. Following investigation

More information

PROHIBITION ON MONEY LAUNDERING LAW, * Chapter One: Interpretation. "stock exchange" as defined in section 1 of the Securities Law;

PROHIBITION ON MONEY LAUNDERING LAW, * Chapter One: Interpretation. stock exchange as defined in section 1 of the Securities Law; PROHIBITION ON MONEY LAUNDERING LAW, 5760-2000 * Chapter One: Interpretation Definitions 1. In this Law - "stock exchange" as defined in section 1 of the Securities Law; "the Postal Bank" shall have the

More information

TO THE APPELLATE DIVISION OF THE SUPREME COURT OF THE STATE OF NEW YORK:

TO THE APPELLATE DIVISION OF THE SUPREME COURT OF THE STATE OF NEW YORK: APPLICATION FOR ADMISSION TO PRACTICE AS AN ATTORNEY AND COUNSELOR-AT-LAW IN THE STATE OF NEW YORK APPLICATION FOR ADMISSION QUESTIONNAIRE (Please see the General Instructions for guidance on filing complete

More information

ANTI-CORRUPTION AND BRIBERY POLICY

ANTI-CORRUPTION AND BRIBERY POLICY Issue 2 Date: June 2017 Page 1 ANTI-CORRUPTION AND BRIBERY 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

More information

Best Buy Anti-Corruption Policy

Best Buy Anti-Corruption Policy Best Buy Anti-Corruption Policy 1. Scope 2. Policy Statement 3. Prohibited Conduct and Obligations 4. Definitions 5. Transparency 6. Communication and Reporting 7. Business Partners and Commercial Intermediaries

More information

Wilmington Anti-Bribery and Corruption Policy Standard. Effective Date : June 2012

Wilmington Anti-Bribery and Corruption Policy Standard. Effective Date : June 2012 Wilmington Anti-Bribery and Corruption Policy Standard Effective Date : June 2012 Table of Contents 1. Executive Summary 1 2. Who this Policy Applies to 1 3. Who is Responsible for this Policy 2 4. Key

More information

BRIBERY AND PROCUREMENT POLICY BUCKSBURN STONEYWOOD PARISH CHURCH OF SCOTLAND SC017404

BRIBERY AND PROCUREMENT POLICY BUCKSBURN STONEYWOOD PARISH CHURCH OF SCOTLAND SC017404 BRIBERY AND PROCUREMENT POLICY OF BUCKSBURN STONEYWOOD PARISH CHURCH OF SCOTLAND SC07404 Policy statement. Further to the work and mission of the Church of Scotland and the terms of the Bribery Act 200

More information

REF: Legal & Resources Recommended Policy. APPROVAL BODY: DATE: July 2016 REVIEW DATE: July 2019

REF: Legal & Resources Recommended Policy. APPROVAL BODY: DATE: July 2016 REVIEW DATE: July 2019 POLICY: ANTI-BRIBERY & CORRUPTION REF: Legal & Resources Recommended Policy VERSION: 1 APPROVAL BODY: DATE: July 2016 REVIEW DATE: July 2019 LEAD PERSON/ COMPLIANCE OFFICER: VERSION REVIEWER/ APPROVAL

More information

Anti-corruption and bribery policy.

Anti-corruption and bribery policy. Anti-corruption and bribery policy. 1. Policy statement 1.1 It is our policy to conduct all of our business in an honest and ethical manner. We take a zero-tolerance approach to bribery and corruption

More information

The position you have applied for is exempt from the Rehabilitation of Offenders Act 1974 (as amended in England and Wales).

The position you have applied for is exempt from the Rehabilitation of Offenders Act 1974 (as amended in England and Wales). DECLARATION FORM A Guidance for applicants The position you have applied for is exempt from the Rehabilitation of Offenders Act 1974 (as amended in England and Wales). When South Central Ambulance Service

More information

Protecting Your Company's Value: Study of fraud trends and creating an action plan

Protecting Your Company's Value: Study of fraud trends and creating an action plan Protecting Your Company's Value: Study of fraud trends and creating an action plan April 11, 2017. Presenters: Brian Miller, CPA, CFE Grant Thornton LLP. All rights reserved. Presenting today: Brian Miller

More information

COUNCIL OF THE EUROPEAN UNION. Brussels, 30 January /08 ADD 1 COPEN 4

COUNCIL OF THE EUROPEAN UNION. Brussels, 30 January /08 ADD 1 COPEN 4 COUNCIL OF THE EUROPEAN UNION Brussels, 30 January 2008 5213/08 ADD 1 COPEN 4 ADDENDUM TO INITIATIVE from : Slovenian, French, Czech, Swedish, Slovak, United Kingdom and German delegations dated : 14 January

More information