Statement about Rivulis Anti-Bribery & Anti-Corruption Policy
Rivulis maintains a policy of intolerance for bribery and corruption, both for itself and for its business associates, which reiterates Rivulis’ position on the issue of bribery and corruption conduct.
Not only that payment of bribes to influence the decisions of public officials and other third parties could be considered a criminal offense, but it is also unethical and corrupts the natural laws of economy from functioning freely, it promotes inefficient businesses, it can affect the sustainability of societies, and it is against the core values on which Rivulis is built.
Rivulis does not seek to improperly influence the decisions of its business associates and public authorities by offering business courtesies and requires that the decisions of Rivulis’ employees or its business associates and partners not be affected by such courtesy. Rivulis’ employees are required to follow Rivulis’ guidelines with respect to gifts and hospitality, and Rivulis business associates are required to honor such restrictions.
Rivulis’ employees are expected to be alert for any business associate with poor reputation or practices regarding corrupted behavior. Rivulis expects its business associates to maintain their own policy on ethical business practices.
We expect our business associates to commit to comply with all anti-bribery and anti-corruption laws and Rivulis’ anti-bribery and anti-corruption policy (the essence of which is expressed herein), and regard such commitment as a material condition of our engagement with our business associates.
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