Ethical Business Practices. The Contractor shall work in partnership with the State to ensure a successful and valuable contract, and ethical practices are required of State employees, Contractors, and all parties representing the Contractor. All work performed under this Contract will be subject to review by the Inspector General of the State of Florida, and any findings suggesting unethical business practices may be cause for termination or cancellation.
Ethical Business Practices. (a) By signing this Agreement, Licensee agrees to conduct the business contemplated herein in a manner which is consistent with both Applicable Law and good business ethics.
(b) Specifically, Licensee warrants that none of the employees, agents, officers, or other members of the management of Licensee or its Affiliates or permitted assignees/transferees are or will become during the term of this Agreement Government Officials having governmental authority to make or participate in any decisions regarding the Licensed Product in the Territory. Licensee has not and shall not make any payment or promise of payment, either directly or indirectly, of money or any other thing of value, including but not limited to any compensation derived from this Agreement (hereinafter collectively referred to as a “Payment”), to Government Officials or representatives of other businesses or persons acting on behalf of any of the foregoing where such Payment would constitute a violation of any Applicable Law. In addition, regardless of legality, Licensee has not and shall not make any Payment either directly or indirectly to Government Officials if such Payment is for the purpose of influencing decisions or actions with respect to the subject matter of this Agreement or any other aspect of Licensee’s, MPP’s or Pfizer’s business.
(c) Licensee has complied and shall comply with, and has not and will not cause its Affiliates, associates, directors, officers, shareholders, employees, representatives, or agents worldwide to be in violation with any applicable anti-corruption law or regulation and notably without limiting the foregoing to any provision of the United States Foreign Corrupt Practices Act (the “FCPA”) and U.K. Xxxxxxx Xxx 0000. In light of the aforementioned, Licensee has not and shall not, directly or indirectly, pay any money to, or offer or give anything of value to, any Government Official in order to obtain or retain business or to secure any commercial or financial advantage for Licensee, Pfizer or the MPP or any of their respective Affiliates. Licensee has not bribed and undertakes not to bribe Government Officials or any private companies or individuals, bribes having the following definition: offering, promising, or giving a financial or other advantage to another person where: (i) it is intended to bring about the improper performance of a relevant function or activity, or to reward such “Improper Performance” (as that term is used in the FCPA); or (ii) accep...
Ethical Business Practices. Each Party represents and warrants to the other Party that neither it nor its Affiliates will make any payment, either directly or indirectly, of money or other assets, including the compensation such Party derives from this Agreement (collectively a “Payment”), to government or political party officials, officials of International Public Organizations, candidates for public office, or representatives of other businesses or persons acting on behalf of any of the foregoing (collectively “Officials”) where such Payment would constitute violation of any law, including the Foreign Corrupt Practices Act of 1977, 15 U.S.C. §§ 78dd-1, et seq. In addition, regardless of legality, neither it nor its Affiliates will make any Payment either directly or indirectly to Officials if such Payment is for the purpose of improperly influencing decisions or actions with respect to the subject matter of this Agreement. All activities will be conducted in compliance with the U.S. False Claims Act and the U.S. Anti-Kickback Statute.
Ethical Business Practices. Xxxxxxx County operates its business ethically and in compliance with the law. We ask that any Offeror, their representative, and/or employee doing business with Xxxxxxx County, who believes they have witnessed any suspected ethical violation or fraud immediately report the allegations to the Xxxxxxx County Purchasing Director, 0000 X. XXX XXX 000, Xxxxxxxx, XX 00000, (000) 000-0000, xxxxxx.xxxxxxx@xx.xxxxxxx.xx.
Ethical Business Practices. Seller hereby represents and warrants that, in connection with this Purchase Order and the supply of the goods and services hereunder, Xxxxxx has not and will not pay, offer, promise to pay or authorize a payment, directly or indirectly through any other person or any entity, of any monies or anything of value to (a) any person employed by or acting for or on behalf of Buyer, or (b) any Government official or employee or any political party or candidate for political office, for the purpose of inducing or rewarding any favorable action with regard to the sale or purchase of the goods or services subject to this Purchase Order. Any incidents of unethical practices and/or procurement fraud may be reported anonymously through the use of BUYER’s Business Ethics and Procurement Fraud Hotline at (000) 000-0000 for United States and Canada or for International go to xxx.xx.xxxxxxxxxxx.xxx.
Ethical Business Practices. Reseller will ensure compliance in full by all of its employees and contractors with the entirety of all of the provisions of this Section 11 below. Reseller will conduct business in a manner that reflects favorably at all times on the Products and the good name, goodwill and reputation of Malwarebytes.
Ethical Business Practices. Neither the Intermediary Client nor WTW shall be involved in the offering, promising or giving of any financial or other advantage to any person in breach of any law. WTW and the Intermediary Client shall, insofar as required to do so comply with all applicable laws, rules, regulations and accounting standards and maintain on an ongoing basis its own anti-corruption/bribery policies and procedures, including but not limited to adequate procedures under the U.K. Bribery Act 2010, to prevent corruption/bribery offences and will enforce them where applicable.
Ethical Business Practices. DISTRIBUTOR shall adhere to high standards of honesty, integrity, fair dealings, and ethical conduct in all of its dealings with customers, potential customers, and the general public, and shall refrain from any business or advertising practice, which may be injurious to the business or reputation of GUPTA. DISTRIBUTOR shall not make any false or misleading representations to customers or others regarding GUPTA or the Products and Services. DISTRIBUTOR shall not make any representations, warranties, or guarantees concerning the Products and Services that are inconsistent with the documentation accompanying the Products or GUPTA's literature describing the Products and Services.
Ethical Business Practices. The Contractor shall work in partnership with the Department to ensure a successful and valuable contract, and shall comply with ethical standards required of State employees, Contractors, and all parties representing the Contractor. All work performed under this contract will be subject to review by the Department’s Inspector General, and any findings suggesting unethical business practices may be cause for termination or cancellation of the Contract.
Ethical Business Practices. Any Contractor awarded business as a result of this ITN shall work in partnership with the State to ensure a successful and valuable contract, and ethical practices are required of State employees, Contractors, and all parties representing Contractor. All work performed under this contract will be subject to review by Office of the Inspector General at the Department of Management Services, Monday through Friday, 8 a.m. to 5 p.m. (EDT) and any findings suggesting unethical business practices may be cause for termination or cancellation. Pursuant to section 20.055(5), Florida Statutes, Vendor, and any subcontractor to the Vendor, understand and will comply with their duty to cooperate with the Inspector General in any investigation, audit, inspection, review, or hearing.