Anti-Corruption and Bribery Policy
We prohibit all forms of corruption, including the offering, taking, or sanctioning of bribes. We do not provide or allow commercial bribery to government officials. We require all of our business partners, including distributors, customs brokers, and other suppliers, to uphold the same high standards that we do while operating on our behalf. Our Anti-corruption and Human Rights Standards for Business Partners describe these expectations.
Our Associate ethics and compliance code of conduct states unequivocally that we will not tolerate any type of corruption, including commercial bribery. Our Associates get training to assist them detect corruption-related concerns so that we can successfully minimise those risks. In addition, our Supplier Code of Conduct requires all of our direct and indirect suppliers to follow all applicable legal obligations, such as the US Foreign Corrupt Practices Act and the UK Bribery Act. This Supplier Code of Conduct demands that these suppliers have documented policies against bribery, kickbacks, corruption, and other illegal business activities. Contractual clauses are used to bind business partners who contact with government authorities to certain duties.
Regardless of local custom or practise, we do not engage in corruption and never pay bribes. The offer, payment, authorization, solicitation, and acceptance of bribes and other unlawful favours is unacceptable in the eyes of Enterprise Data Insight. This Anti-Corruption and Bribery Policy outlines Enterprise Data Insight’s approach to bribery and other types of corruption prevention.
Approved by the Board of Directors of Enterprise Data Insight 14th June 2024