Title: A presentation for AntiCorruption training
1A presentation for Anti-Corruption training - An
example based on our implementation of the PACI
principles October 12, 2007 Bucharest,
Romania  Dear Fellow PACI Signatory  This
presentation is available for use in your firm.
While every organization has different
requirements, we believe it will provide a good
starting platform for implementing an
anti-corruption program based on the PACI
principles and Transparency Internationals
guidelines. This presentation, along with a
corresponding manual(also available for your use)
forms the main basis of our firms
EthicsCompetiveness training program. Â We
have released the documentation of our program in
the hopes of facilitating the creation of
additional, similar programs. The specific terms
of usage is spelled out below via a Creative
Commons license. Beyond that, it is our hope
that this work will be improved upon and
propagate in a spirit similar to open source
technology where it is free to use provided
improvements are made available to the greater
community. Â We are inspired by the leadership of
the World Economic Forum adopting this issue, the
impressive list of companies participating, and
the real opportunity to fight corruption with
strong partners. It should also be noted that
the Partnering Against Corruption Initiative was
brought to our attention by the American Chamber
of Commerce Romania with due credit owed to
their efforts. Â Wishing you success in
implementing your program and fighting the good
fight! Â Kindest regards, Â Steven
Borncamp Managing Director SOPOLEC LLC SRL
2This work is licensed under the Creative Commons
Attribution 3.0 United States License. To view a
copy of this license, visit http//creativecommons
.org/licenses/by/3.0/us/ Â Â Â Â Â Â Â SOPO
LEC Business Advisory Services Strada
Ialomicioarei, 21Sector 1 Bucharest,
Romania office_at_SOPOLEC.com(40) 21 222-5135 -
Office(40) 21 569-7956 - Office (alternate)(40)
21 223-1201 - Fax1 626 593-5287 - Office (USA)
3EthicsCompetitiveness ProgramSOPOLEC
ANTI-CORRUPTION TRAINING
- The World Economic Forum
- PARTNERING AGAINST CORRUPTION INITIATIVE
July 6, 2007
4Agenda
- TRAINING OBJECTIVES and PACI COMMITMENT
- SOPOLECS ETHICSCOMPETITVENESS PROGRAM
- FORMS of CORRUPTION
- ANTI-CORRUPTION STRATEGY AND TECHNIQUES
- LEGISLATION
4
5Agenda
- TRAINING OBJECTIVES and PACI COMMITMENT
- SOPOLECS ETHICSCOMPETITVENESS PROGRAM
- FORMS of CORRUPTION
- ANTI-CORRUPTION STRATEGY AND TECHNIQUES
- LEGISLATION
5
6SOPOLEC PACI training Objectives
- Policies identifying what conduct is
permissible and what is not - Procedures steps that must be followed for
certain higher-risk transactions - Guidance develop criteria to asses corruption
risk and pressures that may arise in our business
7The PACI Commitment
- Two Core Components
- A zero-tolerance policy towards bribery
- Development of a practical and effective
Anti-Corruption program - SOPOLEC Objectives
- Identify corruption pressures and risks to our
business - Identify best practices worldwide..and what are
OUR PRACTICES
8Agenda
- TRAINING OBJECTIVES and PACI COMMITMENT
- SOPOLECS ETHICSCOMPETITVENESS PROGRAM
- FORMS of CORRUPTION
- ANTI-CORRUPTION STRATEGY AND TECHNIQUES
- LEGISLATION
8
9SOPOLEC Anti-Corruption Program
- Employee responsibility
- The Anti-Corruption Manager
- The Review Committee
- HR Policies and the handbook
- The Anti-Corruption Caveat for all proposals and
contracts - The training program
- The external review
- Outline of practices, techniques, and legislation
10Agenda
- TRAINING OBJECTIVES and PACI COMMITMENT
- SOPOLECS ETHICSCOMPETITVENESS PROGRAM
- FORMS of CORRUPTION
- ANTI-CORRUPTION STRATEGY AND TECHNIQUES
- LEGISLATION
10
11Forms of Corruption and Strategy
12TWO sides to Anti-Corruption
- What this means for you!
- No bribes, facilitation payments, or unauthorized
contributions - Always get a receipt
- Consult the handbook for documentation
requirements
13Bribery and Facilitation Payments
- What this means for you!
- Zero tolerance - no bribes
- Any expense requires a receipt for accounting
14Travel, gifts entertainment
- What this means for you!
- No travel, gifts, or entertainment that arent
related to a specific job, for specific
job-related goals, authorized by Company
Management - Expenses to be documented with receipts and
expense reports for accounting
15Agenda
- TRAINING OBJECTIVES and PACI COMMITMENT
- SOPOLECS ETHICSCOMPETITVENESS PROGRAM
- FORMS of CORRUPTION
- ANTI-CORRUPTION STRATEGY AND TECHNIQUES
- LEGISLATION
15
16Possible corruption situations
- Bribe request no threat
- Bribe request physical threat
- Payment is demanded hidden bribe may be
included - Non-verbal indication of bribe expectation -
procedures delayed - A supervisor or senior-level manager requires you
to participate in bribery or fraud - You discover a bribe or fraud in your company or
its business partners - As a manager or senior officer, you discover
someone you are responsible for has paid a bribe
or committed fraud
17Anti-Corruption Strategy
18Anti-Corruption Strategy (cont.)
- Be Honest
- Avoid
- Prevent
- Confront
- Withdraw
- Record
19Situation 1 Request for bribe no threat
- Politely refuse the request
- Inform about company procedures and
anti-corruption principles - Ask to see the senior manager and explain the
situation - If it is not resolved, withdraw and record the
event - If possible, get a witness statement
- Keep a record for yourself
19
20Situation 2 Request for bribe physical threat
- You may pay the bribe
- Safely withdraw
- Call the police and/or the Management
- Record the event with the Anti-Corruption Manager
20
21Situation 3 Payment demanded hidden bribe
- Ask for documentation supporting the charge
- If documentation or receipt is not provided,
refuse to pay. - Ask to see the senior manager and explain the
situation - If it is not resolved, withdraw and record the
event - If possible, get a witness statement
- Keep a record for yourself
21
22Situation 4 Non-verbal indication of bribe
expectation (delay of procedures)
- Politely ask for reasons for delay
- If bribe is requested, proceed as previously
described - If reasons are not indicated, then ask for senior
official - If issue is not resolved, proceed with a formal
complaint to the proper institution
22
23Situation 5 Request to participate in bribery
or fraud by a supervisor or senior-level manager
- Refuse to participate in the action
23
24Agenda
- TRAINING OBJECTIVES and PACI COMMITMENT
- SOPOLECS ETHICSCOMPETITVENESS PROGRAM
- FORMS of CORRUPTION
- ANTI-CORRUPTION STRATEGY AND TECHNIQUES
- LEGISLATION
24
25Anti-Corruption Legislation
- ROMANIAN
- Romanian Legal code number 78/2000 the Law on
Preventing, Discovering, and Sanctioning
Corruption. - Romanian Legal code number 161/2003 the Law on
Measures for Assuring Transparency in Exercising
the Public Domain, Methods of Work in Public
Functions, Preventing and Sanctioning
Corruption. - US
- Foreign Corrupt Practices Act
25
26Law Nr 78/ 2000
- Scope Law preventing and sanctioning acts of
corruption - Who Applies to the following persons/organization
s - Public authorities and institutions
- Managers, Directors, Administrators and Auditors
- Political Parties, Trade Unions, Non-Profit
Society, Foundations and Employers Organizations - Chapter 4 , Section 2, Art 23 The persons with
control duties are obliged to notify the
authorities in the case of discovering an
operation or an illicit act has been carried out. - Chapter 4 , Section 2, Art 28 establishes an
entity and a system for prosecuting corruption
cases
27Law Nr 78/ 2000Forms of corruption and
punishments
28Law Nr 78/ 2000Forms of corruption and
punishments
29Law Nr. 161/2003
- Scope
- Pertains to measures for assuring transparency in
exercising public domain, public functions,
business environment, preventing and sanctioning
corruption. - Pertains to the requirement to assure
transparency and integrity in electronic
documents.
30Foreign Corrupt Practices Act
- Scope The FCPA prohibits corrupt payments to
foreign officials for the purpose of obtaining or
keeping business - Who Applies to the following persons/organization
s - US Companies or nationals operating outside US
directly or through agents and intermediaries - Foreign company or persons operating in the US
directly or through agents - US parent corporations may be held liable for the
acts of foreign subsidiaries
30
31Foreign Corrupt Practices Act (contd)
- Acts of Corruption
- Corrupt intent The offer or promise of a corrupt
payment whether successful or not will be
consider a violation of FCPA - Payment The FCPA prohibits paying, offering,
promising to pay (or authorizing to pay or offer)
money or anything of value - Recipient Under the FCPA The prohibition extends
only to corrupt payments to a foreign official, a
foreign political party or party official, or any
candidate for foreign political office - Business Purpose Test The FCPA prohibits
payments made in order to assist the firm in
obtaining or retaining business for or with, or
directing business to, any person - Third party payments The FCPA prohibits corrupt
payments through intermediaries
31
32Foreign Corrupt Practices Act (contd)
- Sanctions Against Bribery
- Criminal penalties
- Corporations and business entities fines of up
to 2.000.000 - Individuals fines of up to 100.000 and up to 5
years imprisonment - Civil penalties fines of up to 10.000
- Other government action Suspension of right to
do business with the government
32
33Summary
- Corruption is a criminal offense!
- Anti-corruption is a SOPOLEC policy!
- Know the rules! Be prepared!
- The first concern your safety!
- Be Honest
- Avoid
- Prevent
- Confront
- Withdraw
- Record
- Â