PROHIBITION OF CORRUPTION AND BRIBERY G4S conducts its business in accordance with the highest standards of ethical behavior in accordance with all applicable laws and regulations; therefore it expects its suppliers will: > Comply with international anti-bribery standards as stated in the United Nations Global Compact Principle 10 and local anti-corruption and bribery laws including, The UK Bribery Act 2010 and USA Foreign Corrupt Practices Act (FCPA). > Not offer services, gifts or benefits to G4S employees in order to influence the employee’s conduct in representing G4S in any jurisdiction. > Maintain adequate procedures to prevent employees and others performing services on their behalf from paying and receiving bribes. > Not engage in the evasion of taxes or assist any other party in the evasion of taxes. > Mitigate appropriately against any real or perceived conflict of interest through their work with G4S. A supplier with a position of influence gained through a contract should not use that position to unfairly disadvantage any other supplier or reduce the potential for future competition, for example by creating a technical solution that locks in the Supplier’s own goods or services. > Any known or suspected instances of corruption and bribery should be reported using the G4S confidential hotline at G4S-SpeakOut.com 5
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