Anti-Bribery Policy. The Executive acknowledges and agrees that the Company is dedicated to ensuring full compliance with all anti-bribery and corruption laws and regulations, including the U.S. Foreign Corrupt Practices Act and the Corruption of Foreign Public Officials Act (Canada), by all of its employees. The Executive shall not make any payments or gifts to, or otherwise improperly influence, any government official in any jurisdiction the Company operates its Business to obtain or retain business on behalf of the Company, or to secure any improper business advantage, nor shall the Executive accept any payments or gifts from any government official in respect of the Business of the Company.
Anti-Bribery Policy. (The Anti Bribery Act 2010) Definition
Anti-Bribery Policy. The Licensee agrees and acknowledges that it has read and is in compliance with the Licensor’s Anti-Bribery Policy as amended from time to time and available to download at xxxx://xxxxxxxxxxxxxxxxx.xxx/
Anti-Bribery Policy. 10.1. Feed the Minds understands the link between corruption, poverty and human rights abuses. In accordance with this, Feed the Minds will work actively to ensure transparent practices and expects NRDP to do so accordingly.
10.2. The UK Xxxxxxx Xxx 0000 makes it illegal for UK charities to indulge in bribery or corruption anywhere in the world. The onus is on Feed the Minds to implement adequate procedures which can prevent such acts by individuals working for or on our behalf.
10.3. Feed the Minds and NRDP will ensure their staff is fully aware of their organisations anti-bribery policies and that procedures are in place to report any incidences of bribery or corruption.
10.4. NRDP will report immediately to Feed the Minds any bribery issues that come to their attention over the duration of the programme.
Anti-Bribery Policy. 14.1 The BROKER has an anti-bribery Policy and also makes available the following channels to inform in- dications of illegality (“reporting”) related to its ope- rations, namely: (i) By internet - xxx.xxxxxxx.xxx.xx – Tab: Speak with Us (Fale Conosco); (ii) Telephone - (00) 0000-0000, from 9:00 a.m. to 6:00 p.m, Monday through Friday, excluding public holidays; (iii) E-mail - xxxxxxxx@xxxxxxx.xxx.xx; and (iv) By mail (C/O Internal controls: “compliance function”) - Xx. Xxxxx- xxxxx Xxxxx Lima, 3900 10º andar - Itaim Bibi - São Paulo/SP CEP 04538-132.
14.2 The BROKER guarantees the non-reprisal to the reporting individuals, as well as the option of anony- mity, and for more information, we make available our current policy on the institutional website men- tioned above.
14.3 The CUSTOMER, by signing this AGREEMENT, undertakes to prevent bribery on its behalf or for INVERSA (COMPRA OU VENDA), COMO FORMA DE REALIZAR LUCROS, LIMITAR PREJUÍZOS OU EVITAR EXERCÍCIO. AS CONDIÇÕES DE LIQUI- DEZ DO XXXXXXX, NO ENTANTO, PODEM DI- FICULTAR OU IMPOSSIBILITAR A EXECUÇÃO DA OPERAÇÃO DE NATUREZA INVERSA NO PRAZO PRETENDIDO OU, AINDA, QUANDO ESTA ESTI- VER VINCULADA A UMA ORDEM DO TIPO LIMI- TADA, A UM PREÇO DETERMINADO.
(I) NA HIPÓTESE OCORRER SITUAÇÕES IMPRE- VISTAS NOS CONTRATOS DERIVATIVOS XXXX- SACIONADOS PELO CLIENTE, BEM COMO DE MEDIDAS GOVERNAMENTAIS OU DE QUAIS- QUER OUTROS FATORES EXTRAORDINÁRIOS QUE IMPACTEM A FORMAÇÃO, A MANEIRA DE APURAÇÃO OU A DIVULGAÇÃO DE SUA VARIÁ- VEL, OU A SUA DESCONTINUIDADE, A B³ XXXX- XX AS MEDIDAS QUE JULGAR NECESSÁRIAS, A SEU CRITÉRIO, VISANDO A LIQUIDAÇÃO DA PO- SIÇÃO DO CLIENTE, OU A SUA MANUTENÇÃO EM BASES EQUIVALENTES.
Anti-Bribery Policy. 18.1 We value our reputation for ethical behaviour, financial integrity and reliability. During the course of the Contract, you shall:
18.1.1 comply with all applicable laws, regulations, codes and sanctions relating to anti-bribery and anti-corruption including but not limited to the Bribery Act 2010;
18.1.2 comply with the Company’s ethics and anti-bribery and anti- corruption policies as made available to you by us and in each case as we may update from time to time; and
18.1.3 have and maintain in place throughout the term of this Contract your own policies and procedures, including but not limited to adequate procedures under the Bribery Act 2010.
Anti-Bribery Policy. 3.1 Third Party acknowledges that AXA Philippines: (i) is committed to abide by the applicable laws and regulations prohibiting corruption and influence peddling (together: “Corruption”); and (ii) has implemented and will maintain within its organization policies, including but not limited to the AXA Group Compliance and Ethics Guide, that prohibit any such actions by its officers, employees, affiliates, agents, subcontractors, and any other third parties acting on its behalf.
3.2 Corruption can be defined as the act by which a person invested of a specific public or private function, solicits or accepts a gift, offers or promises to perform, delay or omit to perform an act that enters, directly or indirectly, within the scope of its functions.
3.3 Influence peddling can be defined as the solicitation or to approve, at any time, directly or indirectly, offers, promises, donations, gifts or benefits of any kind, for himself or for others, to abuse or have abused his real or supposed influence in order to obtain distinctions, jobs, contracts or any favorable decision from a public authority or administration.
3.4 Third Party represents, warrants and covenants that, in connection with this Agreement:
(a) Neither Third Party, nor its officers, employees, affiliates, agents, subcontractors, nor any other third party acting on its behalf, have committed or will commit any bribery of an AXA Philippines officer, employee, affiliate, agent, subcontractor, or any other third party acting on its behalf; and
(b) Third Party has implemented and will maintain adequate anti-bribery policies and controls in place to prevent and detect bribery throughout its organization, whether committed by its officers, employees, affiliates, agents, subcontractors or any other third party acting on its behalf.
3.5 In particular, the Third Party shall refrain from promising, offering, or granting to any person, directly or indirectly, any undue advantage so that such person performs or refrain from performing any act within the scope of its functions in the performance of this Agreement; or in order to make such person using its real or supposed influence over a third party in order to obtain any advantage.
3.6 The Third Party acknowledges that it did not offer any kind of undue advantage to AXA Philippines or to any third party to be awarded with this Agreement.
3.7 To the extent permitted by the applicable law, Third Party shall notify AXA Philippines immediately upon becoming aware o...
Anti-Bribery Policy. Attached to this Agreement as Appendix E is a copy of Company’s Anti- Bribery Policy. Shelter represents and warrants that it is in compliance with such policy as of the Effective Date and shall remain in compliance with such policy and any amendments to such policy in the form provided by Company to Shelter throughout the term of this Agreement.
Anti-Bribery Policy. Each Party shall comply with Applicable Law relating to anti-bribery and anti-corruption and shall not give or receive any bribes.
Anti-Bribery Policy. Rocket Fuel is dedicated to fostering and maintaining the highest ethical standards for itself and its partners. By signing this Agreement with Rocket Fuel, Consultant agrees to comply with the following anti-bribery and anti-corruption regulations: • The United States Foreign Corrupt Practices Act of 1977 (the “FCPA”), • The United Kingdom Bribery Act of 2010 (the “Bribery Act”) and • The Organization for Economic Co-operation and Development (OECD) Anti-Bribery Convention (the “Anti-Bribery Convention”), of which the United States, the United Kingdom, Netherlands, France, Germany, and Japan, among other countries, have adopted. Both parties agree to fully comply with both the letter and spirit of those laws and all other laws against government corruption and bribery.