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MCRB/Spectrum training on anti-corruption, 23 September 2014 
(Presentation slides provided by Transparency International) 
1
Building an effective anti-corruption programme 
2 
Transparency International’s Business Integrity Toolkit is a user-friendly six step process for building an effective anti-corruption programme: COMMIT, ASSESS, PLAN, ACT, MONITOR, and REPORT. 
An effective anti-corruption programme requires oversight, leadership and support from the Board of Directors (or equivalent) and senior management. 
Establishing such a programme is not a one-time event but an ongoing process. 
For each step in the process, Transparency International provides a suite of tools that are available at no cost and are flexible enough to be tailored for their own purposes. 
Transparency International may work with individual companies or a group of private sector participants to establish a plan of action.
Business Integrity Toolkit–six steps for building an effective anti-corruption programme 
Transparency International's Business Integrity Toolkit is a user-friendly six step process for building an effective corporate anti-corruption programme. 
3 
1. Commit to an anti-corruption programme ‘from the top’ 
4. Act on the plan 
5. Monitor controls and progress 
6. Report internally and externally on the programme 
3. Plan the anti-corruption programme 
2. Assess the current status and risk environment
COMMIT: Commit to an anti-corruption programme ‘from the top’ 
1. Commit to an anti-corruption programme ‘from the top’ 
4 
Companies should adopt an anti- corruption programme as an expression of core values of integrity and responsibility as well as to effectively counter corruption. 
An effective programme requires oversight, leadership and support from the Board of Directors (or equivalent) and senior management. 
The commitment should be expressed formally through a written statement published internally and externally.
COMMIT: What is expected from business? 
The owners/shareholders, chairman or Chief Executive Officer publishes a statement of the organisation’s commitment to anti-corruption business principles, e.g.: 
“The enterprise shall prohibit corruption in any form whether direct or indirect.” 
“The enterprise shall commit to implementing a programme to counter corruption.” 
The commitment is communicated and adopted throughout the organisation in operational (e.g. procurement) and key support (e.g. Finance & Controlling) departments, as well as to external stakeholders worldwide. 
Sufficient resources are allocated to ensure implementation or review of the anti-corruption programme, which may include the setup of an independent, cross-functional project team. 
Commitment from the business’s senior management should be renewed on a periodic and regular basis(e.g. yearly). 
A “culture of integrity” is fostered from the top down. 
5
COMMIT: Business Principles for Countering Bribery 
6 
* The focus of the Business Principles lies on bribery as a core corruption risk. Other corruption risks include fraud, insider trading, collusion, undue influence (for more information, please refer to TI’s Global Corruption Report 2009 –Corruption and the Private Sector). 
TheBusiness Principles for Countering Bribery arethecornerstone of Transparency International’s private sector anti-corruption activities.* 
The Business Principles provide practical guidelines (including a tailored version for SMEs –see Burmese translation) regarding 
Scope: which areas should be addressed at a minimum, and 
Implementation: the minimum implementation requirements. 
The Business Principles apply both to bribery of public officials and to business-to-business transactions. 
The Business Principles are not only relevant in the Commit phase,but apply throughout all other phases of the Business Integrity Toolkit.
•Bribes 
•Gifts 
•Hospitality and Entertainment 
•Business Travel Expenses for Customers 
•Facilitation Payments 
•Favours 
•Contract payment terms 
•Conflicts of Interest 
•Political Contributions, Sponsorship and Charitable Donations 
Developing the scope of your business principles for countering bribery:
•Thandaris involved in a bid for a new government contract. Part-way through the negotiations, she has been asked by a government minister to make a charitable donation. 
Charitable donations 
“I’ve been requested by a government minister to make a substantial donation to a local schools charity. What do you think? It’s not a large amount for us and will be good for our image. Should we do it?”
Ask yourself: “Is the Minister in a position to make a decision about our company?” If he is, we shouldn’t make the donation. 
•Charitable donations should be made against criteria established in the company’s charitable donations policy 
•Avoid making charitable and ad hoc contributions from the marketing budget 
•Seek help from your legal department (if you have one) 
9 
What’s the right answer?
•Handouts: 
–Extract from Coca Cola Code of Business Conduct (in Burmese) 
–Coca-Cola Anti-Bribery Policy (Global) (in English) 
–Max Myanmar Anti-corruption policy (English and Burmese) 
COMMIT: Examples of Codes of conduct/anti-bribery policies
ASSESS: Assess the current status and risk environment 
2. Assess the current status and risk environment 
11 
Before a business develops and implements its anti-corruption programme, it conducts a risk assessment. 
The aim of the risk assessment is to identify areas of greatest inherent risk (for example along geographic or functional lines) and evaluate the effectiveness of existing risk- mitigating measures. 
As a result, the business can prioritize and allocate resources appropriately to the areas of greatest risk.
ASSESS: What is expected from business? 
The risk assessment identifies inherent risks of corruption by : 
industry, 
the countriesin which the business operates, and 
business-specific corruption risks, such as the procurement processes, interaction with public officials, utilization of intermediaries, political contributions, facilitation payments etc. 
Also, the risk assessment evaluates the effectiveness of existing risk-mitigating measures to determine the residual risks of corruption in the business. 
Finally, the risk assessment takes into consideration: 
changes in the legal environment, 
new or increased risk exposure, 
technological developments (e.g. continuous auditing), or 
past experience (e.g. internal audit reports, incidents). 
12
ASSESS: Tools from Transparency International 
Tools Helps business… 
Anti-Bribery Checklist … to carry out a high-level assessment of their anti-corruption 
approach. 
Corruption Perceptions 
Index 
... to understand the perceived level of corruption in a 
particular country among public officials and politicians. 
Bribe Payers Index … to assess the likelihood of companies from the 
world’s wealthiest and most economically influential 
countries to bribe abroad. 
Global Corruption 
Barometer 
… to assess general public attitudes towards, and 
experience of, corruption in dozens of countries around 
the world. 
National Integrity System 
assessment 
… to understand the anti-corruption provisions and 
capacities in a particular country. 
13 
Lower Bound Upper Bound 
1 Belgium 8.8 2.00 8.5 9.0 
1 Canada 8.8 1.80 8.5 9.0 
3 Netherlands 8.7 1.98 8.4 8.9 
3 Switzerland 8.7 1.98 8.4 8.9 
5 Germany 8.6 2.14 8.4 8.8 
5 Japan 8.6 2.11 8.3 8.8 
5 United Kingdom 8.6 2.10 8.4 8.7 
8 Australia 8.5 2.23 8.2 8.7 
9 France 8.1 2.48 7.9 8.3 
9 Singapore 8.1 2.60 7.8 8.4 
9 United States 8.1 2.43 7.9 8.3 
12 Spain 7.9 2.49 7.6 8.1 
13 Hong Kong 7.6 2.67 7.3 7.9 
14 South Africa 7.5 2.78 7.1 8.0 
14 South Korea 7.5 2.79 7.1 7.8 
14 Taiwan 7.5 2.76 7.1 7.8 
17 Brazil 7.4 2.78 7.0 7.7 
17 Italy 7.4 2.89 7.1 7.7 
19 India 6.8 3.31 6.4 7.3 
20 Mexico 6.6 2.97 6.1 7.2 
21 China 6.5 3.35 6.2 6.8 
22 Russia 5.9 3.66 5.2 6.6 
Confidence Interval 95% 
Rank Country/Territory 
BPI 
2008 
Standard 
Deviation
PLAN: Plan the anti-corruption programme 
3. Plan the anti-corruption programme 
14 
After completing its risk assessment, a business lays the foundation by developing a plan of action. 
Policies and procedures are developed defining the scope and activities of the anti- corruption programme. 
The policies and procedures should be available throughout the organization and be issued in the main languages of all employees.
PLAN: Scope and implementation requirements of the programme 
15 
Scopeof the Programme 
Implementation Requirements 
The programmeshould address the most prevalent forms of corruption relevant to the business, but at a minimum should cover the following areas: 
The following requirements should be met at a minimumwhen implementing the programme: 
Corruption inside the business Examples:Fraud,Conflicts of Interest, Insider Trading 
Corruptionin the supply chain Examples: Bribery, Extortion 
Corruption inthe market environment Example: Collusion 
Corruption in society Example: Undue influence 
Laundering the proceeds of corruption Example: Money Laundering 
Organisation,roles and responsibilities 
Business relationships with 
Subsidiaries and other entities 
Joint ventures and consortia 
Agents and intermediaries 
Contractors and suppliers 
Human Resources 
Training 
Raising concerns and seeking guidance 
Communication 
Internal controls, monitoring and record keeping
PLAN: What is expected from business? 
Detailed policies, processes, training materials and guidancethat form the basis for the detailed implementation in step 4 (ACT) are drafted (or reviewed): 
Who is responsible for ensuring compliance with and monitoring the programme (e.g. compliance officer, internal audit)? 
Do existing policies need to be adapted (e.g. employee incentive structures)? 
What monitoring controls are needed? 
How will suggestions and complaints be handled? 
How will the programme be communicated to internal and external stakeholders? 
To what extent will external assurance and reportingbe used? 
What recordkeepingsystems need to be put in place? 
The policies and procedures should be reviewed and approved by management, employee representatives and (if appropriate) external stakeholders. 
The detailed implementation plan (including objectives, resources and timetable) must be drafted and approved by all relevant parties before proceeding to step 4. 16
ACT: Act on the plan 
4. Act on the plan 
17 
After planning an anti-corruption programme, the written words need to be translated into visible actions. 
This is a key step in the overall framework, as it is Transparency International’s experience that while many businesses have well planned programmesthey fall short on effective implementation. 
Controls must be tempered in consideration of the trustworthiness and competence of stakeholders.
ACT: What is expected from business? 
The policies and procedures need to be integrated into the organisational structures: 
Implement policies and procedures (e.g. internal checks and balances) 
Develop supporting systems (IT, etc.) 
Communicatethe programme(e.g. CEO announcement, workshops, newsletter) 
Identify ‘local champions’to support the implementation 
Deliver training(face-to-face, self-study etc.) 
Provide supporting tools and guidance (e.g. self-assessment survey for high-risk departments) 
Address concerns and issues (e.g. hotline, FAQ) 
Furthermore, the capacity of internal functionsneeds to be reviewed and (if necessary) strengthened(e.g. building an international law repository): 
Support functions(legal, finance, internal audit, human resources etc.) 
Operational functions (procurement and supply chain management, marketing, sales etc.) 
18
• Make it real 
• Online for less exposed 
employees and face to 
face for exposed ones 
• Identify and practice 
practical strategies 
e.g. Handling demands for facilitation 
payments: One day down at the Tax 
Office…….(acted out scenario) 
19 
Training
•Not pay the ‘service fee’ 
•Give full details of the incident to his company, so that they can try to avoid this situation in future –for example: 
–Send employees to the tax office in pairs 
–Ask senior managers to elevate the problem to a higher level of the Ministry 
–Raise it in local business forums to see if other companies are experiencing the same problem and whether a joint solution can be found (‘collective action’) 
•Should he also: 
–report the incident to the local police? 
–Complete an Inland Revenue feedback form. 
In this situation, what shouldhe do?
ACT: Tools from Transparency International 
Tools 
Helps business… 
Anti-Bribery Guidance for Transactions 
… withguidance for anti-corruption due diligence in mergers, acquisitions and investments. 
Resisting Extortions and Solicitations in International Transactions 
… to establish training on how to respond to an inappropriate demandby a client, business partner or public authority in the most efficient and ethical way. 
21
MONITOR: Monitor controls and progress 
5. Monitor controls and progress 
22 
Implementing an anti-corruption programme is not a one-time event; it needs to be followed up through regular periodic evaluation (monitoring). 
Monitoring ensures that strengths and weaknesses are identified and that the programme is continuously improved to remain effective and up-to-date (change management activities). 
Internal and external monitoring must be undertaken.
MONITOR: What is expected from business? 
Responsibility for the monitoring of the overall anti-corruption programme needs to be assigned clearly and resources made available. 
The progress of the overall programme needs to be continuously monitored (e.g. internal employee self-evaluations, automated controls monitoring). 
The management of the company (e.g. Board of Directors, Audit Committee) must review the results of internal and external reviews and ensure that required changes are implemented in an appropriate and prompt manner. 
In addition to internal monitoring and traditional external auditing processes, external independent assurance should be considered to provide further security to management and stakeholders regarding the effectiveness of the anti-corruption programme. 
23
MONITOR: Tools from Transparency International 
Tools 
Helps business… 
Self-EvaluationTool 
… to determine where they standwith their anti- corruption programmeand identify improvements, based on an easy-to-use checklist that comprises an in- depth and extensive range of more than 240 indicators. 
Framework for Voluntary Independent Assurance of Corporate anti- corruption Programmes 
… to strengthen and lend greater credibility to their anti-corruption programmesthrough the use of voluntary independent assurance. 
24
REPORT: Report internally and externally on the programme 
6. Report internally and externally on the programme 
25 
Reporting on the anti-corruption programme demonstrates the sincerity of the company’s commitment and demonstrates how values and policesare being translated into action. 
Reporting not only reassures internal and external stakeholders that the business is operating properly but can also act as a deterrentto those intending to bribe or solicit bribes.
REPORT: Why reporting on anti-corruption? 
Reporting on anti-corruption is an important way for a business to demonstratethat it is living up to its anti-corruption commitments 
Benefits: 
There are three major benefitsfrom reporting on anti-corruption: 
Pleasenote: 
The first two categories apply to individual business (independent of their size), whereas the third category outlines benefits also for the overall community. 
Reporting on anti-corruption raises awareness among employees and provides a means of control and discipline for the management. 
Reporting on anti-corruption establishes a common language to measure, compare, discuss and improve anti- corruption activities and practices. 
Reporting on anti-corruption positively influences a business’s reputation in the marketplace and society. 
Increased internal integrity and transparency 
Common information basis 
Enhanced reputation 
26
REPORT: What is expected from business? 
Information about the programme needs to be regularly communicated to relevant internal and external stakeholders, e.g.: 
how the programme is being implemented, 
employee perceptions and attitudes to the company’s anti-corruption stance and performance, 
numbers of inquires or issues raised through help and whistle-blowing channels, 
numbers and types of violations detected as well as corrective action undertaken, 
sanctionsapplied and transactions abandoned because of corruption incidents etc. 
Implementation experiences should be discussed with external stakeholders and peer groups to share good (and bad) practices and learn from each other (e.g. through participation in voluntary anti-corruption initiatives). 
27
REPORT: Tools from Transparency International 
Tools 
Helps business… 
Anti-corruption Reporting Guidance 
… to report on the anti-corruption programme by providinga comprehensive set of 22 Reporting Elements which can be used to provideinformation in a mainly descriptive manner. 
Transparency in Corporate Reporting 
… to assess the extent to which some 500 leading global companies report on the strategy, policies and management systems they have in place for combating bribery and corruption. 
28
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Best practice for anti corruption

  • 1. MCRB/Spectrum training on anti-corruption, 23 September 2014 (Presentation slides provided by Transparency International) 1
  • 2. Building an effective anti-corruption programme 2 Transparency International’s Business Integrity Toolkit is a user-friendly six step process for building an effective anti-corruption programme: COMMIT, ASSESS, PLAN, ACT, MONITOR, and REPORT. An effective anti-corruption programme requires oversight, leadership and support from the Board of Directors (or equivalent) and senior management. Establishing such a programme is not a one-time event but an ongoing process. For each step in the process, Transparency International provides a suite of tools that are available at no cost and are flexible enough to be tailored for their own purposes. Transparency International may work with individual companies or a group of private sector participants to establish a plan of action.
  • 3. Business Integrity Toolkit–six steps for building an effective anti-corruption programme Transparency International's Business Integrity Toolkit is a user-friendly six step process for building an effective corporate anti-corruption programme. 3 1. Commit to an anti-corruption programme ‘from the top’ 4. Act on the plan 5. Monitor controls and progress 6. Report internally and externally on the programme 3. Plan the anti-corruption programme 2. Assess the current status and risk environment
  • 4. COMMIT: Commit to an anti-corruption programme ‘from the top’ 1. Commit to an anti-corruption programme ‘from the top’ 4 Companies should adopt an anti- corruption programme as an expression of core values of integrity and responsibility as well as to effectively counter corruption. An effective programme requires oversight, leadership and support from the Board of Directors (or equivalent) and senior management. The commitment should be expressed formally through a written statement published internally and externally.
  • 5. COMMIT: What is expected from business? The owners/shareholders, chairman or Chief Executive Officer publishes a statement of the organisation’s commitment to anti-corruption business principles, e.g.: “The enterprise shall prohibit corruption in any form whether direct or indirect.” “The enterprise shall commit to implementing a programme to counter corruption.” The commitment is communicated and adopted throughout the organisation in operational (e.g. procurement) and key support (e.g. Finance & Controlling) departments, as well as to external stakeholders worldwide. Sufficient resources are allocated to ensure implementation or review of the anti-corruption programme, which may include the setup of an independent, cross-functional project team. Commitment from the business’s senior management should be renewed on a periodic and regular basis(e.g. yearly). A “culture of integrity” is fostered from the top down. 5
  • 6. COMMIT: Business Principles for Countering Bribery 6 * The focus of the Business Principles lies on bribery as a core corruption risk. Other corruption risks include fraud, insider trading, collusion, undue influence (for more information, please refer to TI’s Global Corruption Report 2009 –Corruption and the Private Sector). TheBusiness Principles for Countering Bribery arethecornerstone of Transparency International’s private sector anti-corruption activities.* The Business Principles provide practical guidelines (including a tailored version for SMEs –see Burmese translation) regarding Scope: which areas should be addressed at a minimum, and Implementation: the minimum implementation requirements. The Business Principles apply both to bribery of public officials and to business-to-business transactions. The Business Principles are not only relevant in the Commit phase,but apply throughout all other phases of the Business Integrity Toolkit.
  • 7. •Bribes •Gifts •Hospitality and Entertainment •Business Travel Expenses for Customers •Facilitation Payments •Favours •Contract payment terms •Conflicts of Interest •Political Contributions, Sponsorship and Charitable Donations Developing the scope of your business principles for countering bribery:
  • 8. •Thandaris involved in a bid for a new government contract. Part-way through the negotiations, she has been asked by a government minister to make a charitable donation. Charitable donations “I’ve been requested by a government minister to make a substantial donation to a local schools charity. What do you think? It’s not a large amount for us and will be good for our image. Should we do it?”
  • 9. Ask yourself: “Is the Minister in a position to make a decision about our company?” If he is, we shouldn’t make the donation. •Charitable donations should be made against criteria established in the company’s charitable donations policy •Avoid making charitable and ad hoc contributions from the marketing budget •Seek help from your legal department (if you have one) 9 What’s the right answer?
  • 10. •Handouts: –Extract from Coca Cola Code of Business Conduct (in Burmese) –Coca-Cola Anti-Bribery Policy (Global) (in English) –Max Myanmar Anti-corruption policy (English and Burmese) COMMIT: Examples of Codes of conduct/anti-bribery policies
  • 11. ASSESS: Assess the current status and risk environment 2. Assess the current status and risk environment 11 Before a business develops and implements its anti-corruption programme, it conducts a risk assessment. The aim of the risk assessment is to identify areas of greatest inherent risk (for example along geographic or functional lines) and evaluate the effectiveness of existing risk- mitigating measures. As a result, the business can prioritize and allocate resources appropriately to the areas of greatest risk.
  • 12. ASSESS: What is expected from business? The risk assessment identifies inherent risks of corruption by : industry, the countriesin which the business operates, and business-specific corruption risks, such as the procurement processes, interaction with public officials, utilization of intermediaries, political contributions, facilitation payments etc. Also, the risk assessment evaluates the effectiveness of existing risk-mitigating measures to determine the residual risks of corruption in the business. Finally, the risk assessment takes into consideration: changes in the legal environment, new or increased risk exposure, technological developments (e.g. continuous auditing), or past experience (e.g. internal audit reports, incidents). 12
  • 13. ASSESS: Tools from Transparency International Tools Helps business… Anti-Bribery Checklist … to carry out a high-level assessment of their anti-corruption approach. Corruption Perceptions Index ... to understand the perceived level of corruption in a particular country among public officials and politicians. Bribe Payers Index … to assess the likelihood of companies from the world’s wealthiest and most economically influential countries to bribe abroad. Global Corruption Barometer … to assess general public attitudes towards, and experience of, corruption in dozens of countries around the world. National Integrity System assessment … to understand the anti-corruption provisions and capacities in a particular country. 13 Lower Bound Upper Bound 1 Belgium 8.8 2.00 8.5 9.0 1 Canada 8.8 1.80 8.5 9.0 3 Netherlands 8.7 1.98 8.4 8.9 3 Switzerland 8.7 1.98 8.4 8.9 5 Germany 8.6 2.14 8.4 8.8 5 Japan 8.6 2.11 8.3 8.8 5 United Kingdom 8.6 2.10 8.4 8.7 8 Australia 8.5 2.23 8.2 8.7 9 France 8.1 2.48 7.9 8.3 9 Singapore 8.1 2.60 7.8 8.4 9 United States 8.1 2.43 7.9 8.3 12 Spain 7.9 2.49 7.6 8.1 13 Hong Kong 7.6 2.67 7.3 7.9 14 South Africa 7.5 2.78 7.1 8.0 14 South Korea 7.5 2.79 7.1 7.8 14 Taiwan 7.5 2.76 7.1 7.8 17 Brazil 7.4 2.78 7.0 7.7 17 Italy 7.4 2.89 7.1 7.7 19 India 6.8 3.31 6.4 7.3 20 Mexico 6.6 2.97 6.1 7.2 21 China 6.5 3.35 6.2 6.8 22 Russia 5.9 3.66 5.2 6.6 Confidence Interval 95% Rank Country/Territory BPI 2008 Standard Deviation
  • 14. PLAN: Plan the anti-corruption programme 3. Plan the anti-corruption programme 14 After completing its risk assessment, a business lays the foundation by developing a plan of action. Policies and procedures are developed defining the scope and activities of the anti- corruption programme. The policies and procedures should be available throughout the organization and be issued in the main languages of all employees.
  • 15. PLAN: Scope and implementation requirements of the programme 15 Scopeof the Programme Implementation Requirements The programmeshould address the most prevalent forms of corruption relevant to the business, but at a minimum should cover the following areas: The following requirements should be met at a minimumwhen implementing the programme: Corruption inside the business Examples:Fraud,Conflicts of Interest, Insider Trading Corruptionin the supply chain Examples: Bribery, Extortion Corruption inthe market environment Example: Collusion Corruption in society Example: Undue influence Laundering the proceeds of corruption Example: Money Laundering Organisation,roles and responsibilities Business relationships with Subsidiaries and other entities Joint ventures and consortia Agents and intermediaries Contractors and suppliers Human Resources Training Raising concerns and seeking guidance Communication Internal controls, monitoring and record keeping
  • 16. PLAN: What is expected from business? Detailed policies, processes, training materials and guidancethat form the basis for the detailed implementation in step 4 (ACT) are drafted (or reviewed): Who is responsible for ensuring compliance with and monitoring the programme (e.g. compliance officer, internal audit)? Do existing policies need to be adapted (e.g. employee incentive structures)? What monitoring controls are needed? How will suggestions and complaints be handled? How will the programme be communicated to internal and external stakeholders? To what extent will external assurance and reportingbe used? What recordkeepingsystems need to be put in place? The policies and procedures should be reviewed and approved by management, employee representatives and (if appropriate) external stakeholders. The detailed implementation plan (including objectives, resources and timetable) must be drafted and approved by all relevant parties before proceeding to step 4. 16
  • 17. ACT: Act on the plan 4. Act on the plan 17 After planning an anti-corruption programme, the written words need to be translated into visible actions. This is a key step in the overall framework, as it is Transparency International’s experience that while many businesses have well planned programmesthey fall short on effective implementation. Controls must be tempered in consideration of the trustworthiness and competence of stakeholders.
  • 18. ACT: What is expected from business? The policies and procedures need to be integrated into the organisational structures: Implement policies and procedures (e.g. internal checks and balances) Develop supporting systems (IT, etc.) Communicatethe programme(e.g. CEO announcement, workshops, newsletter) Identify ‘local champions’to support the implementation Deliver training(face-to-face, self-study etc.) Provide supporting tools and guidance (e.g. self-assessment survey for high-risk departments) Address concerns and issues (e.g. hotline, FAQ) Furthermore, the capacity of internal functionsneeds to be reviewed and (if necessary) strengthened(e.g. building an international law repository): Support functions(legal, finance, internal audit, human resources etc.) Operational functions (procurement and supply chain management, marketing, sales etc.) 18
  • 19. • Make it real • Online for less exposed employees and face to face for exposed ones • Identify and practice practical strategies e.g. Handling demands for facilitation payments: One day down at the Tax Office…….(acted out scenario) 19 Training
  • 20. •Not pay the ‘service fee’ •Give full details of the incident to his company, so that they can try to avoid this situation in future –for example: –Send employees to the tax office in pairs –Ask senior managers to elevate the problem to a higher level of the Ministry –Raise it in local business forums to see if other companies are experiencing the same problem and whether a joint solution can be found (‘collective action’) •Should he also: –report the incident to the local police? –Complete an Inland Revenue feedback form. In this situation, what shouldhe do?
  • 21. ACT: Tools from Transparency International Tools Helps business… Anti-Bribery Guidance for Transactions … withguidance for anti-corruption due diligence in mergers, acquisitions and investments. Resisting Extortions and Solicitations in International Transactions … to establish training on how to respond to an inappropriate demandby a client, business partner or public authority in the most efficient and ethical way. 21
  • 22. MONITOR: Monitor controls and progress 5. Monitor controls and progress 22 Implementing an anti-corruption programme is not a one-time event; it needs to be followed up through regular periodic evaluation (monitoring). Monitoring ensures that strengths and weaknesses are identified and that the programme is continuously improved to remain effective and up-to-date (change management activities). Internal and external monitoring must be undertaken.
  • 23. MONITOR: What is expected from business? Responsibility for the monitoring of the overall anti-corruption programme needs to be assigned clearly and resources made available. The progress of the overall programme needs to be continuously monitored (e.g. internal employee self-evaluations, automated controls monitoring). The management of the company (e.g. Board of Directors, Audit Committee) must review the results of internal and external reviews and ensure that required changes are implemented in an appropriate and prompt manner. In addition to internal monitoring and traditional external auditing processes, external independent assurance should be considered to provide further security to management and stakeholders regarding the effectiveness of the anti-corruption programme. 23
  • 24. MONITOR: Tools from Transparency International Tools Helps business… Self-EvaluationTool … to determine where they standwith their anti- corruption programmeand identify improvements, based on an easy-to-use checklist that comprises an in- depth and extensive range of more than 240 indicators. Framework for Voluntary Independent Assurance of Corporate anti- corruption Programmes … to strengthen and lend greater credibility to their anti-corruption programmesthrough the use of voluntary independent assurance. 24
  • 25. REPORT: Report internally and externally on the programme 6. Report internally and externally on the programme 25 Reporting on the anti-corruption programme demonstrates the sincerity of the company’s commitment and demonstrates how values and policesare being translated into action. Reporting not only reassures internal and external stakeholders that the business is operating properly but can also act as a deterrentto those intending to bribe or solicit bribes.
  • 26. REPORT: Why reporting on anti-corruption? Reporting on anti-corruption is an important way for a business to demonstratethat it is living up to its anti-corruption commitments Benefits: There are three major benefitsfrom reporting on anti-corruption: Pleasenote: The first two categories apply to individual business (independent of their size), whereas the third category outlines benefits also for the overall community. Reporting on anti-corruption raises awareness among employees and provides a means of control and discipline for the management. Reporting on anti-corruption establishes a common language to measure, compare, discuss and improve anti- corruption activities and practices. Reporting on anti-corruption positively influences a business’s reputation in the marketplace and society. Increased internal integrity and transparency Common information basis Enhanced reputation 26
  • 27. REPORT: What is expected from business? Information about the programme needs to be regularly communicated to relevant internal and external stakeholders, e.g.: how the programme is being implemented, employee perceptions and attitudes to the company’s anti-corruption stance and performance, numbers of inquires or issues raised through help and whistle-blowing channels, numbers and types of violations detected as well as corrective action undertaken, sanctionsapplied and transactions abandoned because of corruption incidents etc. Implementation experiences should be discussed with external stakeholders and peer groups to share good (and bad) practices and learn from each other (e.g. through participation in voluntary anti-corruption initiatives). 27
  • 28. REPORT: Tools from Transparency International Tools Helps business… Anti-corruption Reporting Guidance … to report on the anti-corruption programme by providinga comprehensive set of 22 Reporting Elements which can be used to provideinformation in a mainly descriptive manner. Transparency in Corporate Reporting … to assess the extent to which some 500 leading global companies report on the strategy, policies and management systems they have in place for combating bribery and corruption. 28
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