ANTI-BRIBERY AND CORRUPTION POLICY



Similar documents
DRAFT. Anti-Bribery and Anti-Corruption Policy. Introduction. Scope. 1. Definitions

EAGLE PARENT, INC EPICOR SOFTWARE CORPORATION ACTIVANT SOLUTIONS, INC. UK ANTI-BRIBERY AND CORRUPTION POLICY. (As Adopted July 2011)

ANTI-CORRUPTION AND ANTI-BRIBERY POLICY

BBC. Anti-Bribery Policy. June 2011

Anti-Bribery and Corruption Policy

Complying with the U.S. Foreign Corrupt Practices Act

OMNI TECHNICAL SOLUTIONS. Business Ethics, Compliance, Anti-Corruption and Anti-Money Laundering Policy

LANTHEUS HOLDINGS, INC. Foreign Corrupt Practices Act and Anti-Bribery Compliance Policy

HILLENBRAND, INC. AND SUBSIDIARIES. Global Anti-Corruption Policy Statement and Compliance Guide

LAUREATE ANTI-CORRUPTION POLICY

Corporate Code of Conduct

ANTI BRIBERY AND FOREIGN CORRUPT PRACTICES ACT COMPLIANCE POLICY

COLLINS FOODS LIMITED (the COMPANY) CODE OF CONDUCT

Exhibit B SUMMIT ESP, LLC POLICY RELATED TO COMPLIANCE WITH THE UNITED STATES FOREIGN CORRUPT PRACTICES ACT

Amgen GLOBAL CORPORATE COMPLIANCE POLICY

DIGITAL RIVER, INC. FOREIGN CORRUPT PRACTICES ACT AND ANTI-BRIBERY POLICY. (Adopted by resolution of the Board of Directors on December 1, 2011)

Group Policy 1. INTRODUCTION 2. BUSINESS INTEGRITY Honesty, Integrity & Fairness

Platform Specialty Products Corporation Foreign Corrupt Practices Act/Anti-Corruption Policy

ELEPHANT TALK COMMUNICATIONS CORP. FOREIGN CORRUPT PRACTICES ACT COMPLIANCE POLICY

Anti-Corruption and FCPA Compliance Policy

Global Anti Bribery and Corruption Policy

CARDINAL RESOURCES LLC INTRODUCTION

NewYork-Presbyterian Hospital Sites: All Centers Hospital Policy and Procedure Manual Number: C150 Page 1 of 10

MACLEAN-FOGG COMPANY FOREIGN CORRUPT PRACTICES ACT COMPLIANCE POLICY

ING LEASE UK GIFTS, ENTERTAINMENT AND ANTI-BRIBERY POLICY

Corporate Code of Conduct

CODE OF CONDUCT as adopted by the Board of Directors on 20 February 2015

Anti-Bribery and Corruption Policy (including Gifts and Hospitality)

U.S. Foreign Corrupt Practices Act for Beginners

Goodyear s Anti-bribery Policy July 1, 2011

SEMGROUP CORPORATION. Anti-Corruption Compliance Policy August, 2011

Bribery Policy. Policy description:

STATEMENT FROM THE CHAIRMAN

Park-Ohio Holdings Corp. Foreign Corrupt Practices Act Policy

CC255 C O R P O R A T E. Altus FCPA Policy. Last revised: 12 October 2010

ANTI-BRIBERY. Table of Contents Page #

Supplier Code of Conduct

CHARTER FOR THE THE REGULATORY, COMPLIANCE & GOVERNMENT AFFAIRS COMMITTEE CHARTER THE BOARD OF DIRECTORS

Nyrstar Group Policy: Anti-Corruption. Revision 1. Review Date September Page 1 of 6

Wowprime Corporation Ethical Corporate Management Best Practice Principles

NCI BUILDING SYSTEMS, INC. FOREIGN CORRUPT PRACTICES ACT POLICY STATEMENT AND COMPLIANCE GUIDE

ANTI-BRIBERY AND FOREIGN CORRUPT PRACTICES ACT COMPLIANCE POLICY

APEC General Elements of Effective Voluntary Corporate Compliance Programs

Policy-Standard heading. Fraud and Corruption Policy

Compliance with the Foreign Corrupt Practices Act

CLARIPHY COMMUNICATIONS, INC. FCPA. Foreign Corrupt Practices Act. FIN-161- Compliance Policy Revision C August 1, 2015

How To Write An Anti Corruption Policy For A Company

ANTI-CORRUPTION POLICY AND PROCEDURES

Regulation for Compliance with Anti-Corruption Acts

FCPA and International Compliance

How To Ensure That Gifts And Hospitality Are Not Considered A Bribe

company policy number 0001 LEGAL AND ETHICAL CONDUCT

BUSINESS PRINCIPLES FOR COUNTERING BRIBERY A MULTI-STAKEHOLDER INITIATIVE LED BY TRANSPARENCY INTERNATIONAL

Code of Conduct 1. The Financial Services Authority

FOREIGN CORRUPT PRACTICES ACT

WOLTERS KLUWER COMPANY VALUES AND BUSINESS PRINCIPLES

AS Merko Ehitus CODE OF BUSINESS ETHICS

Foreign Corrupt Practices Act Compliance

FOREIGN CORRUPT PRACTICES ACT AND ANTI-CORRUPTION COMPLIANCE POLICY. Adopted April 30, 2014

Compliance with the Anti-Corruption Laws

Whistle Blower Policy

Code of Business Conduct

FOREIGN CORRUPT PRACTICES ACT COMPLIANCE POLICY

BARRICK GOLD CORPORATION

ANTI-CORRUPTION COMPLIANCE GUIDELINES

Samsung Engineering Co., Ltd.

LIVING THE FIRMENICH FUNDAMENTALS EACH AND EVERY DAY

A Summary of U.S. Law Against the Bribery of Foreign Officials:

Worldwide Anti-Corruption Policy

CODE OF BUSINESS CONDUCT

EADS-NA Code of Ethics

Angard Staffing Gifts and Hospitality Policy

Ryanair Holdings PLC Code of Business Conduct & Ethics 2012

Supplier Anti-Corruption and Anti- Bribery Policy

FOREIGN CORRUPT PRACTICES ACT POLICY for PROJECT PROFESSIONALS GROUP PTY. LTD.

Standards of. Conduct. Important Phone Number for Reporting Violations

Inventec Corporation Ethical Corporate Management Best Practice Principles

THE US FOREIGN CORRUPT PRACTICES ACT ( FCPA ) COMPLIANCE POLICY AND GUIDELINES

SEKO Logistics Anti-Corruption and Foreign Corrupt Practices Act Policy

Foreign Corrupt Practices Act Policy August 19, 2015

HORIZON OIL LIMITED (ABN: )

FOREIGN CORRUPT PRACTICES ACT COMPLIANCE POLICY

CEMEX Anti-Bribery/Anti-Corruption Global Policy

CODE OF BUSINESS CONDUCT AND ETHICS

For personal use only

GROUP POLICY MANUAL CODE OF CONDUCT AND ETHICS POLICY

Transcription:

ANTI-BRIBERY AND CORRUPTION POLICY OBJECTIVES Woodside is committed to conducting its business and activities with integrity. To achieve this objective: Woodside will not engage in corrupt business practices; Woodside will implement measures to prevent bribery and corruption by any director, employee, contractor or other party representing Woodside; Woodside will, at a minimum, comply with all applicable laws, regulations and standards (including ABC Laws) or, where internal policies require a higher standard, will apply and comply with such higher standard; Woodside is a signatory to the Extractive Industries Transparency Initiative which promotes improved governance in resource-rich countries by requiring the verification and publication of company payments to, and government revenues from, oil, gas and mining. PRINCIPLES Prohibition on Corrupt Payments Woodside prohibits bribery and corruption, in any form, whether direct or indirect, whether in the private or public sector, anywhere in the world. Most countries have laws prohibiting bribery of private individuals and government officials. There are potentially serious consequences, including fines and imprisonment, for contravention of ABC Laws. To this end: You must not offer, pay, solicit or accept bribes in any form. You must not engage in any form of corrupt business practice, whether for the benefit of Woodside, yourself or another party. Facilitation payments are prohibited. Requests for bribes or facilitation payments must be reported to the General Counsel. Gifts and entertainment, political contributions, charitable contributions and sponsored travel have the potential to be misused as a cover for bribes or improper payments for the purpose of influencing decisions or obtaining preferential treatment. For this reason, Woodside has adopted special rules in relation to these types of payments to ensure openness and transparency. Gifts and Entertainment Gifts Woodside prohibits the giving and receiving of gifts in connection with Woodside s operations which go beyond common courtesies associated with general commercial practice. This is to ensure that the offer or acceptance of a gift does not create an obligation or cannot be construed or used by others to allege favouritism, discrimination, collusion or similarly unacceptable practices by Woodside. Any gift or other personal favour or assistance offered, given or received which has a value above A$50 must be recorded in the Gift and Entertainment Register if the gift is accepted. If a gift offered to a Woodside employee is refused it shall only be entered on the Register if the grounds for refusal were concerns that the gift was excessive or likely to (or be perceived as likely to) improperly obtain/retain a business advantage. Anti-bribery and Corruption Policy Woodside Petroleum Ltd Page 1 of 5

Entertainment Entertaining external business stakeholders is permitted where there is a justifiable business purpose for such expenses to be incurred on behalf of Woodside. Valid entertainment expenses may include meals and events such as theatre, sporting events and other cultural events. The business purpose may be related to fostering the business relationship or be ancillary to a business discussion that takes place during, immediately before or immediately after the event. Any entertainment, given or received, which has a value above A$50 must be recorded in the Gift and Entertainment Register, except that: entertainment offered to a Woodside employee that is refused shall only be required to be entered into the Register if the refusal was due to concerns that the entertainment was excessive or likely to (or be perceived as likely to) improperly obtain/retain a business advantage; and business meals that are for the purpose of discussing Woodside related business and which are not outside what is a common business courtesy (having regard to the seniority of the attendees and jurisdiction in which the lunch or dinner occurs) do not require entry into the Register. You must not accept invitations where the costs exceed the level of accepted common business courtesies, taking into account the location in which the entertaining takes place and what would be appropriate for your role and responsibilities within the organisation. This is particularly the case if such invitations involve activities over consecutive days, overnight accommodation or travel unless management determines that there are compelling reasons for you to attend and, in such circumstances, Woodside will meet any travel, accommodation and related expenses unless determined otherwise by the CEO. Offering entertainment to external business stakeholders must be consistent with the approach set out above. The Gift and Entertainment Register will be reviewed by the General Counsel twice a year and where there are any gifts or entertainment items registered by an employee that appear to go beyond the scope of common courtesies associated with general commercial practice, the Vice President to which that employee reports will be notified and be required to review the appropriateness of the gift or entertainment and if found to be not appropriate, implement appropriate consequence management. Dealing with Government Officials Gifts and entertainment Woodside requires the exercise of a high degree of caution in relation to the offering, giving or receiving of gifts or entertainment to or from government officials. The provision of gifts or entertainment to a government official may be a legitimate and justifiable business activity in some circumstances; however, the practice has the potential to create the perception that Woodside has sought to improperly influence the government official to achieve an improper advantage or obtain preferential treatment. The offer, promise, giving or receiving of any gift, entertainment or other personal favour or assistance to or from a government official that is over A$50 in value or which might, regardless of value, be perceived as likely to improperly obtain/retain a business advantage, must be referred to the General Counsel (or his delegate) in advance for approval. Once approved by General Counsel, the gift or entertainment must be recorded in the Gift and Entertainment Register for Government Officials, whether accepted or declined. Political donations Woodside does not make political donations to any political party, politician or candidate for public office in any country unless the donation has been approved in advance by the Board. Attendance at political functions Attendance at party-political functions is permitted where there is a legitimate business reason. Attendance at these functions must be approved by the Manager Government Affairs. A record of attendance (and the cost of attendance) is maintained by Woodside. Anti-bribery and Corruption Policy Woodside Petroleum Ltd Page 2 of 5

Political lobbying Woodside engages in debate on policy and shares its view on policy matters which relate to Woodside s business and activities. This activity may only be done by authorised employees and must be done in a manner which is consistent with Woodside s values and this policy. Sponsored travel Woodside prohibits the payment of travel and travel related expenses for government officials (unless such payment has been approved by the CEO). The CEO may grant exceptions to the general prohibition provided: the payment is for reasonable and bona fide expenditure properly incurred in relation to travel or travel related activity; and the travel is directly related to the promotion, demonstration or explanation of Woodside s business, products or services or directly related to the performance of a contract with a government or government owned organisation. The CEO is required to report any exceptions to the Board on a semi-annual basis. This prohibition does not apply to travel undertaken by a government official or employee to a Woodside offshore facility in connection with the execution or performance of their regulatory functions (where, for health and safety reasons, Woodside organises and facilitates travel arrangements to such facility). Dealing with Local Agents and Representatives It may, in certain circumstances, be necessary to engage a local agent or representative to represent Woodside s interest. Woodside remains responsible for the acts of its local agent or representatives and, therefore, any local agents or representatives must be chosen with care following the process set out below: the agent s or representative's reputation and qualifications must be thoroughly checked; the agent or representative must be made aware of, and agree in writing to comply with, Woodside s Code of Conduct and this policy; the fees payable to the agent or representative must be reasonable for the services being rendered and not provide incentives to act improperly. Ad valorem or percentage-based fees may not be agreed to or paid without the prior approval of the CEO; the appointment of the agent or representative must be documented in a written agreement which must contain suitable anti-bribery and corruption clauses, performance monitoring and audit rights to ensure compliance and termination rights for failure to comply with the ABC Laws. The appointment of a local agent or representative must be approved in advance by the CEO (following satisfactory completion of the process set out above). Record Keeping An accurate and auditable record of all gifts, entertainment and payments to government officials, employees and others must be maintained in accordance with generally accepted accounting principles. No entry should be made in Woodside s records that distorts or disguises the true nature of any transaction. Reporting Violations You must immediately report any suspected or actual violation of this policy. The report may be made to any of the people listed in Woodside s Code of Conduct or via the confidential STOPLINE in accordance with Woodside s Whistleblower Policy. Anti-bribery and Corruption Policy Woodside Petroleum Ltd Page 3 of 5

Non-retaliation You will not suffer any form of retaliation, reprisal or detriment from Woodside for raising a concern or reporting in good faith a violation of this policy (nor will you suffer any form of reprisal from Woodside for refusing to make a corrupt payment). Consequences Any breach of this policy is a serious matter which will be investigated and addressed by Woodside. Disciplinary action will be taken against anyone who breaches this policy. Disciplinary action will depend on the severity of the breach but may include: reprimands; formal warnings; demotions; termination of contracts of employment. Matters may also, depending on the circumstances, be referred to law enforcement agencies. APPLICATION This policy applies to all Woodside directors, officers, executives, managers, employees and contractors (where they are under a contractual obligation to do so). DEFINITIONS For the purpose of this policy, the following definitions apply: ABC Laws include: the Criminal Code Amendment (Bribery of Foreign Officials) Act 1999 (Cth); the Foreign Corrupt Practices Act 1977 (US); the Bribery Act 2010 (UK); any other anti-corruption laws of the Commonwealth of Australia or any State or Territory of Australia (including any applicable common law, law of equity, any written law, statute, regulation or other instrument made under statute or by any government agency), and any anti-corruption law of a country other than Australia which applies to Woodside, its business partners or third parties operating on Woodside s behalf. bribery means the offering, promising, giving, accepting or soliciting of an advantage as an inducement for an action which is illegal, unethical or a breach of trust. corruption means dishonest activity in which a director, executive, manager, employee or contractor of an entity acts contrary to the interests of the entity and abuses his/her position of trust in order to receive some personal gain or advantage for him or herself or for another person or entity. facilitation payment means a small payment or other inducement provided to a government official to secure or expedite a routine function that the government official is ordinarily obliged to perform. Anti-bribery and Corruption Policy Woodside Petroleum Ltd Page 4 of 5

government official means: any political party, party official or candidate of political office; any official or employee of a government (whether national, state/provincial or local) or agency, department or instrumentality of any government or any government-owned or controlled entity (including state owned enterprises); any official or employee of any public international organisation; any person acting in an official function or capacity for such government, agency, instrumentality, entity or organisation; any person who holds or performs the duties of any appointment created by custom or convention or who otherwise acts in an official capacity (including, some indigenous or tribal leaders who are authorised and empowered to act on behalf of the relevant group of indigenous peoples and members of royal families); any person who holds themselves out to be an authorised intermediary of a government official. The definition of government official is relatively broad and extends beyond the common understanding of government official or employees. If you have any concerns as to whether an individual is a government official, please contact a member of Woodside s Legal team. Revised by the Woodside Petroleum Ltd Board on 5 December 2014 SPONSORED TRAVEL POLICY Anti-bribery and Corruption Policy Woodside Petroleum Ltd Page 5 of 5