Anti-Bribery and Anti-Corruption Policy
April 2021, Version 1
1. Background and Purpose
Noor Al-Amana is committed to conducting business in compliance with the law, including all applicable anti-bribery and anti-corruption laws in all countries in which Noor Al-Amana operates. Bribery is illegal and exposes both the Company and its Personnel to fines and other penalties including imprisonment.
To the extent that laws and regulations in any countries are more rigorous or restrictive than this Policy, those laws and regulations should be followed by any subsidiary or Personnel operating in that country. Noor Al-Amana may, from time to time, provide country-specific directions for subsidiaries or employees operating in other countries.
This Noor Al-Amana Anti-Bribery and Anti-Corruption Policy, (the “Policy”) sets out the Company’s requirements in relation to interactions with Officials and Third Parties. This Policy does not prohibit interactions with Officials, rather it forbids corrupt interactions with those individuals.
The Company strives to maintain high ethical standards and has adopted this Policy to promote full compliance with Anti-Corruption Legislation, as well as any other anti-bribery and anti-corruption laws and regulations that operate in the specific regions where the Company does business.
In this Policy the following words or phrases mean the following:
Anti-Corruption Legislation means the United States Foreign Corrupt Practices Act (the “FCPA”), the Criminal Code Act 1995 (Commonwealth of Australia), current EU Compliance Guideline and the Bribery Act 2010 (United Kingdom).
Bribery means the offering or providing (or authorising the offer or provision) of any loan, gift, lavish trip or entertainment, donation, payment, or any other thing of value directly or indirectly, in cash or in kind, to or for the benefit of any Official or Third Party to obtain or retain business or to secure any improper advantage for Noor Al-Amana.
Business Associates means the third party companies and individuals (such as joint venture partners, consultants and agents) acting on behalf of Noor Al-Amana, whether directly or indirectly, by representing the Company’s interests in relation to business development or retention of business opportunities.
Facilitation Payment means payments of nominal amounts to persons in order to ensure or speed up the performance of a Government Official’s routine governmental duties or actions.
Government Official means anyone regardless of rank or title who is:
- engaged in public duty in a government agency whether elected or appointed, and at any level of government including national, state or local government entities;
- a member of any legislative, administrative or judicial body;
- an employee of a government agency, regardless of rank including an administrative and/or office worker;
- an officer or employee of a government-owned or government-controlled entity, including state-owned entities that operate in the commercial sector;
- an officer or employee of a public international organisation (such as the United Nations, the World Bank or the International Monetary Fund); or
- acting in an official capacity for a government, government agency, or state-owned
Item of Value or anything of value includes cash, travel, meals, gifts, and other tangible or intangible benefits.
Official means a Government Official, political party, official or officer of a political party or candidate for political office.
Personnel means all persons acting on behalf of Noor Al-Amana at all levels, including officers, directors, employees, temporary staff and contractors of the Company.
Secure an improper advantage includes obtaining any improper commercial or financial benefit.
Third Party means any individual or organisation other than Officials, with whom Personnel come into contact during the course of their employment or business relationships associated with the Company.
3. Scope and Authority
Noor Al-Amana requires all Personnel to comply with this Policy as well as the Anti-Corruption Legislation and any applicable anti-corruption laws and regulations specific to the location in which they operate.
This Policy applies to all Personnel, including directors, temporary staff and contractors, and Business Associates of the Company.
4.Responsibility for Policy Compliance, Training and Review
The Company´s Quality Manager is the Compliance Officer for Noor Al-Amana and is responsible for the overall administration of this Policy. Noor Al-Amana Compliance Officer will monitor the implementation of this Policy and will review on an ongoing basis the Policy’s suitability and effectiveness. Internal control systems and procedures will be audited regularly to ensure that they are effective in minimising the risk of non-compliance with this Policy.
All Personnel are required to understand and comply with this Policy and to follow the reporting requirements set out in this Policy. To this end, training on how to comply with this Policy will be provided.
The prevention, detection and reporting of Bribery and other improper conduct addressed by this Policy are the responsibility of all those working for or engaged by the Company. All Personnel should be vigilant and immediately report any breaches or suspicious activity in accordance with section 6(G) below.
5. Consequences of Breaching this Policy
Bribery and the related improper conduct addressed by this Policy are very serious offences.
If SEEK or one of its subsidiaries is found to have taken part in Bribery or any other related improper conduct addressed by this Policy it could face a fine and suffer reputational harm. An individual may be subject to penalties or lengthy terms of imprisonment.
Breach of this Policy by Personnel will be regarded as serious misconduct, leading to disciplinary action which may include termination of employment.
Breach of this Policy by a Business Associate will be regarded as a material breach for the purposes of termination of the agreement with the Business Associate.
A. Prohibition against Bribery and Corruption
Noor Al-Amana strictly prohibits Personnel engaging in or tolerating Bribery or any other form of corruption.
The Company´s corporate values require that in all aspects of business all Personnel act honestly, adhere to the highest ethical standards, and act in compliance with all relevant legal requirements. In this respect Personnel must not engage in Bribery or any other form of corruption.
The prohibition of Bribery under this Policy includes the provision or conveying of anything of value to any Third Party, Official or family members of Officials, whether directly or indirectly, to secure any improper advantage or to obtain or retain business. This means that Personnel must not:
- Offer, promise or give an Item of Value with the intention of influencing an Official or Third Party who is otherwise expected to act in good faith or in an impartial manner, to do or omit to do anything in the performance of their role or function, in order to provide the Company with business or an improper advantage; or
- Authorize the provision of an Item of Value to any other person, if it is known, or reasonably should have been known, that any portion of that Item of Value will be passed onto an Official or Third Party to secure an improper advantage or obtain or retain business; or
- Engage, or procure, another party to provide an Item of Value to an Official or Third Party, (or to procure another person to make such provision), in order to secure an improper advantage or obtain or retain
The prohibition of Bribery under this Policy also includes the request or acceptance by any Personnel of (or the agreement to accept) anything of value from an Official or Third Party either:
- intending that, in consequence, a function or activity should be performed improperly (whether by the requestor/acceptor or another person); or
- where the request, agreement or acceptance itself constitutes the recipient’s improper performance of a function or activity; or
- as a reward for the improper performance of a function or activity (whether by the recipient or another person).
B. Interactions with Officials and Third Parties must be Compliant
All interactions with Officials and Third Parties must comply with this Policy, and Noor Al-Amana and Personnel must not take any actions, whether direct or indirect, which create the appearance of impropriety regardless of whether there is any improper intent behind their actions.
Personnel have separately been provided with Noor Al-Amana Gifts and Entertainment Guidelines applicable to their business. A copy of the Company´s Gifts and Entertainment Guidelines can also be obtained from the Local Compliance Officer.
If, after considering the Gifts and Entertainment Guideline and applicable Guidelines, you are still in any doubt as to the appropriateness of any gift or entertainment, you should consult your Local Compliance Officer before it is given or accepted or otherwise as soon as possible.
The prohibitions under this Policy include a prohibition on Personnel using personal funds to undertake any interaction or transaction that is prohibited under this Policy.
C. Documentation and Recordkeeping
As part of Noor Al-Amana’s commitment to open and honest business practice Noor Al-Amana requires all of its businesses to maintain accurate books of account and records.
Noor Al-Amana and its employees must keep accurate and complete records of all business transactions:
- in accordance with the law and generally accepted accounting principles and practices,
- in accordance with the Company’s accounting and finance policies, and
- in a manner that reasonably reflects the underlying transactions and
It is the responsibility of all Personnel to ensure that all business transactions are recorded honestly and accurately and that any errors or falsification of documents are promptly reported to the appropriate member of the senior management team of the relevant business, and corrected.
D. Prohibition on Facilitation Payments
Noor Al-Amana does not condone the making of Facilitation Payments and the making of Facilitation Payments by any Personnel is prohibited.
E. Political Contributions and Charitable Donations Political Contributions
Noor Al-Amana prohibits Personnel from making political contributions to candidates for any political office on behalf of Noor Al-Amana.
This Policy does not seek to curtail an individual’s freedom to make political contributions in their personal capacity.
The context of any other political contributions is key in determining their appropriateness. For instance, it is permissible for Noor Al-Amana to make a payment to attend a political function in circumstances where such payment could not be construed as an attempt to influence the political party.
If you are in any doubt as to the appropriateness of any political contribution, you should consult your Local Compliance Officer before it is given or accepted or otherwise as soon as possible.
The Company is committed to the communities in which it does business and encourages and supports employees participating in local community development initiatives, making donations and undertaking volunteer work. Personnel should only make donations on behalf of Noor Al-Amana with the prior approval of a member of the Executive team of Noor Al-Amana.
This Policy does not seek to curtail an individual’s freedom to make donations or undertake volunteer work in their personal capacity.
F. Compliance with Local Laws Required
If local laws, codes of conduct, or other regulations in a particular country or region are more restrictive than this Policy, then any Personnel, including any Business Associates operating in that country or region must fully comply with the more restrictive requirements.
G. Reporting Violations and Suspected Misconduct
Any Personnel or stakeholder who believes that a violation of this Policy or any laws has been committed, is being committed, or is being planned, should report the matter immediately to the Local Compliance Officer.
If anyone is unsure whether a particular act constitutes Bribery or a Facilitation Payment, or has any other queries, they should ask their Local Compliance Officer.
Noor Al-Amana prohibits retaliation against anyone reporting such suspicions.
Personnel who wish to raise a concern or report another’s wrongdoing, or who have refused pressure to either accept or offer a bribe, should not be worried about possible repercussions. Noor Al-Amana encourages openness and will support any Personnel who raises genuine concerns in good faith under this Policy.
I. Noor Al-Amana Compliance Policies
. Anti Bribery and Anti-Corruption Policy . Gifts & Entertainment Policy . Code of Conduct . Policy on Modern Slavery and Human Trafficking