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At OCAPI Limited, we believe in running and developing our business in a sustainable way. We believe that our business interests are best served by behaving responsibly towards all of our stakeholders; clients, staff, suppliers and the communities in which we operate.
We believe that we have a responsibility to adhere to the highest standards of behaviour and care.
Our Ethical Business Policy therefore sets out the universal standards of individual and collective behaviour that we seek to apply to all of our activities.
At OCAPI Limited we are proud of our values:
The general principles which underpin this policy align with these values.
Therefore, we will:
This policy aims to outline how we do business. We recognise that it would be impossible to produce a comprehensive set of rules that cover every situation that our people might encounter in the course of their work. Instead, this policy seeks to provide the framework within which we expect our people to operate, and some guidelines as to what may or may not be acceptable.
Where a particular activity is clearly at odds with our ethics as an organisation and is deemed to be unacceptable in any circumstances, this is made clear in this policy. As a general rule, we expect people to make sensible and informed judgements about whether a particular activity, approach or way of working is ethical and likely to be acceptable to OCAPI Limited, and to seek guidance from others within OCAPI Limited as required where they are unsure.
This policy should be read in conjunction with OCAPI Limited’s specific policies (which can be found in the Company Handbook) and which cover:
OCAPI Limited’s business activity and our employees are subject to the laws and regulations of different countries, and of organisations such as the European Union. Each of us is responsible for knowing and following the laws that apply to us where we work.
This policy establishes principles for business conduct applicable to OCAPI Limited, regardless of geographical location. Where differences exist as a result of local customs, norms, laws or regulations, OCAPI Limited is expected to adhere to the principles and spirit of this policy and with local requirements.
The Bribery Act 2010 (the ‘Act’) was enacted on 8 April 2010 and its main provisions commenced in July 2011. Under the Act, the main offences are bribing another person, being bribed, bribing a foreign official, and a corporate offence of failing to prevent bribery. As a result of this Act, certain actions abroad, which were acceptable business practice, will now constitute offences in the UK if the person performing them abroad has a close connection to the UK or if the related corporate body is incorporated in the UK or carries out part of its business in the UK. Further, these offences will be judged according to an “expectation test”, which is what would the reasonable person in the UK expect in relation to the performance of the activity concerned (that is, not what behaviour is common in the place where the activity has taken place).
Anti-bribery and anti-corruption laws apply to all OCAPI Limited employees worldwide, and any bribery or corruption is always contrary to OCAPI Limited’s own standards of business conduct.
OCAPI Limited employees must not under any circumstances make or accept any offers of bribery (this is widely defined and includes offers of services, money, gifts or entertainment). If you are in any doubt regarding this, you should speak to a member of the Management Board. Any actual or suspected bribery must be reported to a member of the Management Board.
Any employee who is suspected to have breached our policy in this regard will be subject to a disciplinary investigation, which may lead to their dismissal from their employment. Any report by an employee of actual or suspected bribery will be treated in confidence and provided that any such report is made in good faith in support of OCAPI Limited’s commitment to zero tolerance towards bribery and corruption, the employee shall be protected from any reprisals in connection with their report.
OCAPI Limited is committed to the elimination of all forms of forced and compulsory labour, and to the effective elimination of child labour. Each OCAPI Limited employee is expected to be aware of and abide by these commitments, and to never personally hire child or forced labour. Employees should also be alert to any evidence of child or forced labour in operations linked to OCAPI Limited, and report them to the Management Board.
OCAPI Limited will not collude with others (including contractors, suppliers or service providers) in the pricing or submission of tenders or services, nor will OCAPI Limited enter into any agreement with any other person or body that they shall refrain from participating in any competitive tender, submission or pre-qualification process.
The exchange of gifts and entertainment can build goodwill in business relationships, but can also create improper influence or the appearance of improper influence. OCAPI Limited therefore provides detailed guidance for managers and staff, to help them determine whether gifts may be accepted.
Those who supervise others have additional responsibilities for maintaining compliance with this policy. They must commit to:
Everyone who works for OCAPI Limited has a responsibility to comply with the letter and the spirit of this policy, and to bring to the attention of management any suspected breach of the policy by another OCAPI Limited colleague. In considering whether to speak up about a suspected breach, employees should ask themselves some simple questions:
OCAPI Limited keeps its Ethical Business Policy under regular review. This Ethical Business Policy was last updated on 05 February 2020.