Anti-Bribery and Corruption Policy
Purpose, scope, and responsibility
The Anti-bribery and corruption policy establishes principles that must govern our conduct in order to: a) conform to the U.S. Foreign Corrupt Practices Act (FCPA), the U.K. Bribery Act, and similar anti-corruption laws worldwide and b) more broadly, reinforce our intention and obligation to act honestly and ethically in all of our business dealings.
This policy applies to all partners and employees in wholly and majority-owned entities of Moriox.
The Chief Compliance Officer of Moriox is the final authority for this policy.
The Moriox Partners and Compliance Committee oversees the assessment of bribery and corruption risks across the enterprise, as well as, evaluating controls, consulting, and reporting to senior management and the board of directors regarding anti-bribery and corruption (AB&C) risks.
Policy statement
This policy applies to every entity related to Moriox and its employees, directors, officers, contractors, or any third party working on behalf of the company.
Bribery and corruption are not only against our company values; they are illegal and can expose both the employee and the company to fines and penalties, including imprisonment and reputational damage.
At Moriox, bribery is never permitted. We will not seek to influence others, either directly or indirectly, by offering, paying, or receiving bribes or kickbacks, or by any other means that is considered unethical, illegal, or harmful to our reputation of honesty and integrity. Employees and representatives of the company are expected to decline any opportunity which would place our ethical principles and reputation at risk. While certain laws apply only to bribes to government officials (domestic and foreign); this policy applies to non-government business partners as well.
Scope
Bribery is offering, giving, or receiving anything of value with the intention of inducing a person to act or to reward a person for having acted. This includes kickbacks—giving a payment to someone who helps facilitate a transaction. It’s important to understand that a corrupt act has occurred even if:
“Anything of value” includes, but is not limited to:
Compliance must be consulted prior to making such offers. Corruption is dishonest or fraudulent conduct by those in power, typically involving bribery.