Anti-Bribery and Anti-Corruption Policy
- a bribe does not have to be cash. It can be any non-cash benefit such as the offer of tickets to a sporting event or the use of holiday accommodation;
- the person who receives the bribe is as guilty as the person who offers it even if it is unsolicited;
- the bribe could still be an offence under UK law if it is committed overseas, irrespective of whether it would be illegal under local law;
- stricter standards apply where dealing with public officials (in those cases, if a benefit is simply intended to 'influence' their activities, and not required under local law, it is a bribe - there is no requirement for 'improper performance'); and
- a bribe is a criminal offence.
- all divisions and subsidiaries of CYF
- all joint ventures (usually those in which CYF has 50% or more interest and/or management control) and their subsidiaries
- all directors, employees and volunteers of CYF
- the scope and application of the Act and this Policy;
- whether any particular payment or other act may be construed as a bribe or may be in breach of this Policy; or
- any instance or suspicion of malpractice or any action which could be construed as a bribe or may be a breach of this Policy.
- facilitation payments
- kickbacks
- corporate hospitality
- dealings with Associates (as defined below)
- political donations
- charitable contributions and sponsorships.
- firstly, payment should be resisted, particularly any payment in cash and/or payment directly to the official. You may want to use the illegality of the payment and the prospect of prosecution under the Act as a reason not to pay;
- if the official continues to demand payment, ask for documentary proof that the fee is payable;
- if the official cannot supply evidence that the fee is valid, you should again politely refuse to pay it or ask to see a more senior official;
- if this request is refused, or if the senior official is unhelpful, you should not make the payment and say to the official that you have noted their identity and that your employer will make a formal complaint to the official's employer and to the relevant authorities; and
- finally, you should report the incident to the Director of Operations as soon as practicable giving as much detail as possible so that we can make a meaningful record of the situation and decide what action to take to ensure that it is not repeated.
- why the payment was unavoidable;
- the purpose of the payment;
- the amount of the payment;
- the date it was made; and
- the identity of the recipient of the payment, and of any superior official to whom reference was made, if known.
- dealings in jurisdictions with a history of bribery and corruption (see the Transparency International Corruption Perceptions Index);
- close ties with the UK or any overseas Government or any Government agency in the UK or overseas;
- poor or non-existent anti-bribery policy or a reluctance to co-operate with screening and due diligence procedures;
- poor or non-existent records of monitoring compliance with its own anti-bribery policy;
- extensive use of third party agents and intermediaries, particularly in jurisdictions with a history of bribery and corruption;
- a client or a government official requests the use of a specific third party agent or intermediary;
- odd payments or unexplained accounts in financial records (if available for review);
- market rumours or allegations of inappropriate practices or requests for kickbacks;
- false or misleading documentation;
- adverse press comment on business dealings; and
- evidence of extravagant corporate hospitality, gifts or expenses.
- actively request or seek gifts, entertainment, favours, or anything of substance, directly or indirectly, from customers, vendors, suppliers, or others that do business or are trying to do business with CYF;
- accept the offer of hospitality where the host, or a representative of the host, will not be present;
- accept or offer cash or its equivalent or an unduly extravagant gift or offer of hospitality to or from customers, vendors, suppliers, or others that do business or are trying to do business with CYF;
- accept or offer a gift, entertainment, favour or anything of substance to or from any person if a sense of obligation is incurred in relation to the award of a contract or business to or by the relevant person or organisation;
- offer a gift, entertainment, favour or anything of substance to any foreign public official or any member of their family;
- offer a gift, entertainment, favour or anything of substance to any UK public official or any member of their family if it is in any way intended to, or an inference may be drawn that it is intended to, influence any action or decision which may have an impact on the business of CYF;
- accept a gift, entertainment, favour or anything of substance that would not be reciprocated by CYF; or
- accept or request a gift, entertainment, favour or anything of substance on behalf of any of your friends or family or offer any such thing to any friend or family member.
- what is the context or purpose of the gift or hospitality?
- is the gift or hospitality proportionate? Would the guest or the recipient (as appropriate) be able or likely to purchase something of comparable value reasonably routinely?
- would a person of a similar position to you regard the gift or hospitality as unduly extravagant in the circumstances?
- would you be embarrassed if your manager, colleagues or anyone outside CYF became aware of the gift or hospitality?
- Infrequent meals with someone with whom we do business
- Occasional attendance at ordinary sports, theatre or other social events
- Gifts of nominal value
