This Code of Conduct has been approved by the Director of Staff Helpline and applies to all businesses and to all staff (permanent, temporary or on contract) engaged to work within or on behalf of Staff Helpline . It applies in all jurisdictions in which Staff Helpline operates regardless of local laws or culture. A Code of Conduct is a “Statement of principles and values that establishes a set of expectations and standards for how an organisation, government body, company, affiliated group or individual will behave, including minimal levels of compliance and disciplinary action for the organisation and its staff”
- Staff must not offer or make any bribe, unorthodox or unauthorised payment or inducement of any kind to anyone.
- Staff must not solicit business by offering any bribe, unorthodox or unofficial personal payment to customers or potential customers.
- Staff must not accept any kind of bribe, unorthodox or unusual payment or inducement that would not be authorised by Staff Helpline in the ordinary course of business.
- Staff must clearly refuse any bribe or unorthodox payment and must do so in a manner that can lead to no misunderstanding or false expectation; and to report any such offers to line management immediately.
- Staff must report any breaches of this policy or of any applicable law even if by doing so they have to disclose their own wrongdoing. Such reports must be passed to line management.
- Staff Helpline requires managers to maintain a working environment where staff can make reports of breaches of this policy in confidence and without fear of reprisals
- Staff Helpline expects its business partners, suppliers and contractors to act with integrity and without thought or actions involving bribery and corruption and will, where appropriate, include clauses to this effect in contracts offered to any such third parties.
- Staff Helpline will actively investigate all reported allegations of fraud corruption or abuse of position for personal gain involving Staff Helpline and its staff, wherever they might occur
- Staff Helpline undertakes that, except for knowingly reporting false accusations, every employee may report allegations without fear of retaliation
- Staff Helpline and its staff will not make direct or indirect contributions to political parties, organisations or individuals engaged in politics, as a way of obtaining advantage in business transactions.
- Staff Helpline will ensure that charitable contributions and sponsorships are not used as a subterfuge for bribery. Staff Helpline will publicly disclose all its charitable contributions and sponsorships
- Compliance with this Ethical Code of Business Conduct (and the policy that it forms an integral part of) is mandatory for all staff (including directors) and Staff Helpline will apply appropriate sanctions for violations of this Code and the policy
- Staff Helpline will not channel improper payments through agents or other intermediaries
- Staff Helpline undertakes properly documented due diligence before appointing agents and other intermediaries
- All agreements with agents and intermediaries require the prior approval of senior management
- Sub-Contractors and other intermediaries must contractually agree to comply with this policy and are provided with appropriate advice and documentation explaining this obligation
- Staff Helpline contractually requires its sub-contractors and other intermediaries to keep proper books and records available for inspection by the Staff Helpline , auditors or investigating authorities
- Staff Helpline monitors the conduct of its sub-contractors and other intermediaries and has a right of termination in the event that they pay bribes or act in a manner inconsistent with this policy
- With regards to contractors and suppliers, Staff Helpline conducts its procurement practices in a fair and transparent manner
- Staff Helpline makes this policy known to contractors and suppliers and requires their acceptance and adherence to this policy
- Staff Helpline monitors significant contractors and suppliers as part of its regular review of relationships with them and has a right of termination in the event that they pay bribes or act in a manner inconsistent with this policy
- Staff Helpline makes it clear that no employee will suffer demotion, penalty, or other adverse consequences for refusing to pay bribes, even if such refusal may result in Staff Helpline losing business
- Staff Helpline has established and maintains an effective system of internal controls to counter bribery, comprising financial and organisational checks and balances over the Staff Helpline’ accounting and record keeping practices and other business processes related to this policy
- Staff Helpline has established feedback mechanisms and other internal processes supporting the continuous improvement of this policy. Senior management monitor the policy and periodically review the policy’s suitability, adequacy and effectiveness, and implement improvements as appropriate.