Procedure
### 1) Gifts, meals, travel, and entertainment
- Must be lawful, modest, infrequent, and directly related to a legitimate business purpose.
- Must never be cash or cash equivalents.
- Must not be offered during active bidding, negotiation, or decision-making unless approved in writing by Compliance.
- Must be accurately recorded with the business purpose, attendees, date, and amount.
### 2) Charitable contributions and sponsorships
- Must be made only to legitimate organizations after due diligence confirms the recipient is bona fide.
- Must not be used as a substitute for a bribe or to influence a government official or customer decision.
- Require pre-approval from Compliance and Finance when tied to a business relationship, government interaction, or customer request.
### 3) Third-party diligence
- Before onboarding agents, consultants, distributors, or other intermediaries, the business owner must complete risk-based due diligence.
- Due diligence must assess ownership, qualifications, reputation, government ties, compensation structure, and red flags.
- Contracts must include anti-bribery representations, audit rights, termination rights, and compliance obligations.
- Higher-risk third parties require enhanced due diligence and periodic re-screening.
### 4) Red flags
Employees must escalate immediately if they observe: unusual commissions, requests for offshore payments, vague invoices, refusal to certify compliance, requests to hide the true recipient, or any indication that a third party may be acting improperly.
### 5) Books and records
All transactions must be recorded accurately, completely, and in reasonable detail. False, misleading, or incomplete entries are prohibited.