Ethics & Corruption Policy
SENSUS GROUP Ltd.
SENSUS GROUP Ltd will always aim to meet the highest standards of ethical conduct in all aspects of the company’s operation. To this end, the company has aligned it activities with the Business Code of Conduct published by the ABHI (association of British Healthcare Industries, http://www.abhicodeofpractice.org.uk/cobp-documents.aspx)
The following sections outline specific consideration which SENSUS GROUP Ltd consider
Ethical Considerations
We confirm that confidential information shall at all times keep it confidential, except as required by law or as provided for in regulatory, ethical or other professional pronouncements applicable to our engagement. This shall not apply to data that is generally available to the public or that was in our control prior to the date of the agreement.
Anti-Bribery and Anti-Corruption. SENSUS GROUP Ltd engage in multi-national consultant services and must comply with the laws of the United States, including the U.S. Foreign Corrupt Practices Act (“FCPA”), and with the anti-corruption and anti-bribery laws of the foreign countries in which it does business, including, but not limited to, the PRC Criminal Code and Anti-Unfair Competition Law, the 2010 UK Bribery Act, the Australian Criminal Code Act of 1995, and other laws adopted pursuant to the Organization for Economic and Cooperation Development (OECD) Convention on Combating Bribery. Therefore SENSUS GROUP Ltd warrants that they will not, in connection with the Services and performance of their obligations and duties, directly or indirectly, pay, offer to pay, promise to pay, or authorize the payment of, or give, offer to give, promise to give, or authorize the giving of, any money or thing of value to any foreign official, customer, or person in the knowledge that all or any portion of such money or thing of value is being offered, given, or promised, directly or indirectly, to a foreign official or customer for the purpose of corruptly influencing any act or decision of such foreign official of customer, including a decision to fail to perform his or her lawful duties, or inducing such foreign official or customer to use influence on any governmental authority or customer to corruptly affect or influence any act or decision of such governmental authority in order to assist, benefit, or secure business opportunities for either Both parties hereby agree and certifies to comply with the FCPA and all anti-bribery and anti-corruption laws of the United States and the foreign countries in which the parties does business, including, but not limited to, the PRC Criminal Code and Anti-Unfair Competition Law, the 2010 UK Bribery Act, the Australian Criminal Code Act of 1995, and other laws adopted pursuant to the Organization for Economic and Cooperation Development (OECD) Convention on Combating Bribery.
Applicable Law
The activities of the company are governed by, and construed in accordance with, English Law. The Courts of England will have exclusive jurisdiction in relation to any claim, dispute or difference concerning these engagement terms and any matter arising from it. Each party irrevocably waives any right it may have to object to any action being brought in those courts, to claim that the action has been brought in an appropriate forum, or to claim that those courts do not have jurisdiction.
Complaints Procedure
Should you have any complaint about any aspect of our service we undertake to look into the complaint fairly and promptly and to do all we can to explain the position to you.