This document outlines NTN's Code of Conduct for employees in the Americas. It begins with messages about NTN's vision, values, and a letter from the CEO emphasizing the importance of integrity and ethical business practices. It then describes resources for reporting concerns confidentially, including NTN's Help Line. The Code of Conduct sections address ethics, equal opportunity, data privacy, antitrust laws, conflicts of interest, and other topics to guide employees' conduct.
This document is Network Rail's Code of Business Ethics. It outlines the company's expectations for ethical behavior and integrity from all employees. This includes complying with laws and policies, acting honestly, avoiding conflicts of interest, and reporting any unethical behavior that is observed. The document provides guidance on issues like bribery, fraud, gifts and hospitality, and safety reporting procedures to help employees make ethical decisions.
This document is the Code of Conduct for Operation Noah's Ark Corporation (O.N.A.). It outlines the company's core principles of integrity and avoiding conflicts of interest. The Code discusses how employees should serve users, respect each other, avoid conflicts of interest, preserve confidentiality, protect assets, ensure financial integrity, obey laws, and who to contact with questions or concerns about the Code.
This document contains the Code of Conduct for Operation Noah's Ark Corporation (O.N.A.). The Code emphasizes serving users with integrity and respecting privacy, as well as avoiding conflicts of interest. It provides guidance on topics like equal opportunity, harassment, gifts, personal investments, handling confidential information, protecting company assets, financial integrity, and obeying laws. Employees are expected to know and follow the Code, and it can be applied to contractors as well. Employees should report any Code-related questions or concerns.
This document contains the Code of Conduct for Operation Noah's Ark Corporation (ONA). Some key points:
- The Code is based on ONA's principle of "Don't be evil" and sets high ethical standards for employees.
- Employees must follow the Code and can report any potential violations. There will be no retaliation against employees who report issues.
- The Code outlines how employees should serve users with integrity, respect privacy, be responsive, and take action when needed.
- Employees are expected to respect each other and foster a supportive work environment free of harassment or discrimination.
- Other sections provide guidance on avoiding conflicts of interest, maintaining confidentiality, protecting company assets, ensuring financial integrity
Tenet Standards of ConductTogether we’re moving health f.docxbradburgess22840
Tenet Standards
of Conduct
Together we’re moving health forward.
1
Dear Tenet colleague,
Integrity and compliance matter every day, in every situation. It is
central to everything we do as caregivers and operators. A strong
culture of compliance helps ensure that our patients receive care
that is focused on their needs, that our communities trust us to be
responsible corporate citizens, and that our shareholders and other
key constituents have confidence that we will do the right thing,
every time.
Operating our business ethically and compliantly is both a collective
obligation and an individual responsibility. Our Compliance Program
represents a shared undertaking of all colleagues, ranging from our
executives to the most junior employees. It was created to go beyond
just knowing the rules; all colleagues are expected to take ownership
of compliance and to perform all tasks with integrity.
The Standards of Conduct outlined in the following pages set the
basic principles we must follow in order to earn and maintain the trust
of our patients, communities, business partners, and shareholders. Of
course, no set of standards can adequately anticipate every situation
we might encounter at work.
When you see or hear something that doesn’t seem right, reach out
to seek help. Talk with your supervisor, your local compliance officer,
call the Ethics Action Line at 1-800-8-ETHICS, or email us at
[email protected] You have the option to call or email
anonymously 24 hours a day, seven days a week. When someone
raises a good faith concern, calls the Ethics Action Line, or cooperates
with an investigation or corrective action, retaliation against that
person is strictly prohibited. By working together, we can create
an environment where we uphold the spirit and values that define
our company.
Thank you for all that you do to serve our hospitals, our patients, our
clients, and our colleagues. Compliance matters and you truly do
make a difference.
Sincerely,
Howard Hacker
Chief Compliance Officer
Contents
Letter from Howard Hacker . . . . . . . . . . . . . 1
Our Mission and Values . . . . . . . . . . . . 3
Care with Integrity . . . . . . . . . . . . . . . . . . 4
• Living Our Mission and Values
• Making the Right Decision
• See It. Say It. Fix It.
• Ethical Decisions Guide
• Commitment to Federal Programs
Care that Meets Our Standards . . . . . . . 5
• Standards Apply to All of Us
• Managers’ Responsibility
• Policies and Procedures
• Tenet s Quality, Compliance, and Ethics Program Charter
• Pre Clearance
Care with Transparency . . . . . . . . . . . . . 7
• Culture of Transparency
• No Retaliation
• Ethics Action Line
• See It. Say It. Fix It.
Care with Honesty . . . . . . . . . . . . . . . . . . 9
• Medical Records
• External Reports
• Billing
• False Claims Act
• Bribes and Kickbacks
• Government Inquiries
• Fair Competition
Care about Each Other . . . . . . . . . . . . . 11
• Care with Compassion
• .
This document is Checkpoint Systems' Global Ethics Policy which outlines the company's ethical standards and guidelines for employee conduct. It covers topics such as compliance with laws, conflicts of interest, financial reporting, harassment, and protecting company assets. The policy emphasizes open communication, seeking guidance when uncertain, and reporting any suspected violations. Employees are responsible for understanding and following the policy. Compliance is monitored through reporting concerns to supervisors or an ethics committee. Investigations are conducted confidentially and retaliation is prohibited.
Code of Reponsible Business Conduct_EN_15.08.16Anni Jin
This document provides Telia Company's Code of Responsible Business Conduct. It introduces the code and explains that it aims to define a common ethical framework and set clear standards for how employees should conduct business with integrity. It notes that Telia takes responsible business seriously. The code applies to all employees, directors, and contractors working for Telia. It outlines expectations for employees to follow all relevant laws and policies and to be transparent in their work. Employees are also expected to report any violations or concerns. The code provides guidance on various topics like gifts and hospitality, conflicts of interest, sponsorships and donations, and improper payments. It emphasizes conducting business with the highest standards of integrity and transparency.
This section discusses BHP's commitment to health and safety in the workplace. It provides resources for employees to access regarding health, safety, and employee assistance programs. It emphasizes that health and safety is everyone's responsibility. Employees are expected to comply with all health and safety requirements and plans, including being alcohol and drug free. Random testing may occur and employees must comply. Support is available for those struggling with dependency issues. Additional precautions must be taken for high risk travel destinations. Contractors and other third parties working with BHP are also expected to comply with health and safety standards.
This document is Network Rail's Code of Business Ethics. It outlines the company's expectations for ethical behavior and integrity from all employees. This includes complying with laws and policies, acting honestly, avoiding conflicts of interest, and reporting any unethical behavior that is observed. The document provides guidance on issues like bribery, fraud, gifts and hospitality, and safety reporting procedures to help employees make ethical decisions.
This document is the Code of Conduct for Operation Noah's Ark Corporation (O.N.A.). It outlines the company's core principles of integrity and avoiding conflicts of interest. The Code discusses how employees should serve users, respect each other, avoid conflicts of interest, preserve confidentiality, protect assets, ensure financial integrity, obey laws, and who to contact with questions or concerns about the Code.
This document contains the Code of Conduct for Operation Noah's Ark Corporation (O.N.A.). The Code emphasizes serving users with integrity and respecting privacy, as well as avoiding conflicts of interest. It provides guidance on topics like equal opportunity, harassment, gifts, personal investments, handling confidential information, protecting company assets, financial integrity, and obeying laws. Employees are expected to know and follow the Code, and it can be applied to contractors as well. Employees should report any Code-related questions or concerns.
This document contains the Code of Conduct for Operation Noah's Ark Corporation (ONA). Some key points:
- The Code is based on ONA's principle of "Don't be evil" and sets high ethical standards for employees.
- Employees must follow the Code and can report any potential violations. There will be no retaliation against employees who report issues.
- The Code outlines how employees should serve users with integrity, respect privacy, be responsive, and take action when needed.
- Employees are expected to respect each other and foster a supportive work environment free of harassment or discrimination.
- Other sections provide guidance on avoiding conflicts of interest, maintaining confidentiality, protecting company assets, ensuring financial integrity
Tenet Standards of ConductTogether we’re moving health f.docxbradburgess22840
Tenet Standards
of Conduct
Together we’re moving health forward.
1
Dear Tenet colleague,
Integrity and compliance matter every day, in every situation. It is
central to everything we do as caregivers and operators. A strong
culture of compliance helps ensure that our patients receive care
that is focused on their needs, that our communities trust us to be
responsible corporate citizens, and that our shareholders and other
key constituents have confidence that we will do the right thing,
every time.
Operating our business ethically and compliantly is both a collective
obligation and an individual responsibility. Our Compliance Program
represents a shared undertaking of all colleagues, ranging from our
executives to the most junior employees. It was created to go beyond
just knowing the rules; all colleagues are expected to take ownership
of compliance and to perform all tasks with integrity.
The Standards of Conduct outlined in the following pages set the
basic principles we must follow in order to earn and maintain the trust
of our patients, communities, business partners, and shareholders. Of
course, no set of standards can adequately anticipate every situation
we might encounter at work.
When you see or hear something that doesn’t seem right, reach out
to seek help. Talk with your supervisor, your local compliance officer,
call the Ethics Action Line at 1-800-8-ETHICS, or email us at
[email protected] You have the option to call or email
anonymously 24 hours a day, seven days a week. When someone
raises a good faith concern, calls the Ethics Action Line, or cooperates
with an investigation or corrective action, retaliation against that
person is strictly prohibited. By working together, we can create
an environment where we uphold the spirit and values that define
our company.
Thank you for all that you do to serve our hospitals, our patients, our
clients, and our colleagues. Compliance matters and you truly do
make a difference.
Sincerely,
Howard Hacker
Chief Compliance Officer
Contents
Letter from Howard Hacker . . . . . . . . . . . . . 1
Our Mission and Values . . . . . . . . . . . . 3
Care with Integrity . . . . . . . . . . . . . . . . . . 4
• Living Our Mission and Values
• Making the Right Decision
• See It. Say It. Fix It.
• Ethical Decisions Guide
• Commitment to Federal Programs
Care that Meets Our Standards . . . . . . . 5
• Standards Apply to All of Us
• Managers’ Responsibility
• Policies and Procedures
• Tenet s Quality, Compliance, and Ethics Program Charter
• Pre Clearance
Care with Transparency . . . . . . . . . . . . . 7
• Culture of Transparency
• No Retaliation
• Ethics Action Line
• See It. Say It. Fix It.
Care with Honesty . . . . . . . . . . . . . . . . . . 9
• Medical Records
• External Reports
• Billing
• False Claims Act
• Bribes and Kickbacks
• Government Inquiries
• Fair Competition
Care about Each Other . . . . . . . . . . . . . 11
• Care with Compassion
• .
This document is Checkpoint Systems' Global Ethics Policy which outlines the company's ethical standards and guidelines for employee conduct. It covers topics such as compliance with laws, conflicts of interest, financial reporting, harassment, and protecting company assets. The policy emphasizes open communication, seeking guidance when uncertain, and reporting any suspected violations. Employees are responsible for understanding and following the policy. Compliance is monitored through reporting concerns to supervisors or an ethics committee. Investigations are conducted confidentially and retaliation is prohibited.
Code of Reponsible Business Conduct_EN_15.08.16Anni Jin
This document provides Telia Company's Code of Responsible Business Conduct. It introduces the code and explains that it aims to define a common ethical framework and set clear standards for how employees should conduct business with integrity. It notes that Telia takes responsible business seriously. The code applies to all employees, directors, and contractors working for Telia. It outlines expectations for employees to follow all relevant laws and policies and to be transparent in their work. Employees are also expected to report any violations or concerns. The code provides guidance on various topics like gifts and hospitality, conflicts of interest, sponsorships and donations, and improper payments. It emphasizes conducting business with the highest standards of integrity and transparency.
This section discusses BHP's commitment to health and safety in the workplace. It provides resources for employees to access regarding health, safety, and employee assistance programs. It emphasizes that health and safety is everyone's responsibility. Employees are expected to comply with all health and safety requirements and plans, including being alcohol and drug free. Random testing may occur and employees must comply. Support is available for those struggling with dependency issues. Additional precautions must be taken for high risk travel destinations. Contractors and other third parties working with BHP are also expected to comply with health and safety standards.
The document is Graphic Packaging's Code of Business Conduct and Ethics. It outlines the company's core values of integrity, respect, accountability, relationships, and teamwork. It provides guidance on complying with laws and regulations, avoiding conflicts of interest, maintaining accurate records and confidentiality, ensuring product quality and safety, and protecting human and workplace rights. Employees are expected to know, decide on, and act in accordance with the Code.
The document discusses fraud prevention and whistleblowing. It begins with definitions of auditing and who can be an auditor or whistleblower. It then discusses how fraudsters fool auditors through falsified documents and stories. The presentation uses a case study of a supplier who committed fraud against the company through fake invoices and documents. It highlights that the company did not properly verify any of the supplier's information, showing where things went wrong. It concludes with survey results finding most companies do not sufficiently screen contractors or verify their documents to prevent fraud.
The newly hired retail operations manager analyzed the company's situation and identified several weaknesses, including outdated market research, poor product variety, and a demotivated team. The manager proposed initiatives to address these such as new product lines, improved customer experience, and establishing a strong organizational culture. A key goal is achieving $9 million in annual revenue across high, low, and custom furniture tiers. Internationally, the company will pursue ISO certification and expand into the Arabian Peninsula through foreign retail subsidiaries.
The document discusses ethics in trading and provides guidelines on dos and don'ts. It defines ethics as standards of right and wrong that prescribe what humans ought to do in terms of rights, obligations, benefits to society, fairness, or virtues. It also discusses developing one's ethical standards through continuous self-examination. The dos section recommends learning about trading strategies, having a money management plan, making independent decisions, and understanding risks. The don'ts advise against making decisions based on rumors, letting emotions rule trading, and manipulative activities. It also discusses resolving ethical dilemmas by analyzing consequences, actions, and making a decision.
The TERN Volunteer Guide provides information for prospective volunteers with The Entrepreneurial Refugee Network (TERN). TERN aims to help refugees in the UK start businesses by providing mentors, expert advisors, access to funding sources, and developing a support network. Volunteers play an important role in TERN's work through assisting with outreach, media/communications, event planning, and grant writing. The guide outlines TERN's selection process, volunteer roles and responsibilities, training support provided to volunteers, and process for feedback and evaluation.
Data Facts is a diversified supplier corporation that has been in business since 1989 providing background screening and hiring services. They offer criminal records searches, employment verification, education verification, drug testing, and applicant assessment services. They pride themselves on outstanding customer service and ensuring clients find the right fit for their hiring needs.
Accenture is a global management consulting and outsourcing company with over 177,000 employees worldwide. The document discusses Accenture's business ethics and compliance program. It summarizes that Accenture takes business ethics, corporate governance, and transparency seriously. The program is designed to foster high ethical standards, prevent and address misconduct, and comply with legal standards. It also discusses Accenture's Code of Business Ethics and decision-making model to guide employees in ethical situations.
PeopleMatter: 10 Common Compliance Traps and How to Avoid Them WebinarSnag
This document summarizes a webinar about avoiding common compliance traps. It discusses 10 common traps such as ensuring proper healthcare coverage requirements are met, paying attention to overtime rules, completing I-9 forms for all new hires, testing E-Verify users, keeping proper documentation, using appropriate interview questions, obeying EEOC regulations, following CFPB rules, using updated tax forms, and taking advantage of available tax credits. Screenshots from the PeopleMatter workforce management platform are included to demonstrate how the software can help businesses avoid some of these compliance issues.
Building a positive culture in your companyKevin Withane
A positive workplace culture helps foster a strong culture of integrity, which ultimately is good for your people and your bottom line. This presentation looks at the need for psychological safety and trust to build a speak-up culture in your organization.
This document outlines Ambuja Cement's Code of Conduct and Business Ethics. It covers integrity in the workplace, business practices, and community. Key points include:
- The code applies to all employees and representatives and aims to ensure business is conducted with integrity.
- It prohibits bribery, corruption and discrimination, and promotes workplace health, safety, diversity and respect.
- Employees must protect company assets and information, and not abuse technology or social media.
- Gifts and hospitality must not be used to exert improper influence on business decisions.
- The company is committed to fair competition, accurate reporting, and managing community impacts responsibly.
1. The document provides an overview of conducting needs assessments for settlement services, outlining key aspects like actively listening, asking effective questions, and making appropriate referrals.
2. It emphasizes developing rapport, understanding the client's needs and limitations, and focusing on an outcome that satisfies the client.
3. Examples of effective communication techniques are presented, like reflecting feelings, summarizing to confirm understanding, and closing on a positive note.
The document is Compass Group's Code of Business Conduct. It outlines Compass' visions, values, and policies regarding various topics including food safety, responsible supply chain practices, personal integrity, commercial integrity, employment practices, protecting company assets, external activities, and the environment. It emphasizes Compass' commitment to ethics and integrity across all operations. It also describes Compass' Speak Up program which allows employees to confidentially report any concerns about potential misconduct or unethical behavior.
This document discusses ethics and trust in public relations. It begins by defining ethics and reviewing the PRSA Code of Ethics. It then explores how ethics impact trust and the bottom line, noting statistics about how customers are more likely to buy from and recommend brands they trust. It addresses threats to trust like fake news and data/technology issues. The document suggests that creating an ethical framework within an organization can help rebuild trust and provides tips for doing so, like anticipating ethical challenges and having prompt assessments. It emphasizes that trust creates ethical behavior and that PR professionals have an obligation to operate ethically.
Hybrid Workplace Harassment: Are You Protecting Your Company from Hidden Thre...Case IQ
In today’s “new world of work,” many organizations run on a hybrid model, with some employees working remotely and others in the physical office. While this set-up is convenient, it can cause unique interpersonal issues between employees.
Reduced face-to-face communication makes it harder for teams to bond, while making it easier for harassers to get away with bad behavior. To reduce harassment incidents in your hybrid workplace, you need to foster a culture of openness, willingness to learn, and compassion.
Join workplace investigation and executive management expert Kenneth McCarthy as he outlines how to address and prevent hybrid workplace harassment incidents.
The letter from the Chairman outlines Tech Data's Code of Ethics and emphasizes the importance of integrity, ethical decision making, and upholding the company's reputation. It notes that the Code of Ethics is meant to guide employees in making decisions that are in the long-term best interests of all stakeholders. Employees are expected to read and follow the Code, and ask questions if they are unsure about appropriate actions.
This document outlines the content of a workshop on workplace ethics hosted by the Integrity Management Unit of the National Prosecuting Authority (NPA) of South Africa. The workshop covers topics like rules of engagement, personal and organizational branding, ethics in decision-making, conflict of interest, whistleblowing policies, and the way forward for cultivating integrity in the workplace. The overall purpose is to help NPA officials conduct their work in an ethical manner and maintain public confidence.
The document is e&'s Code of Conduct. It begins with a message from the Group CEO Hatem Dowidar emphasizing the importance of conducting business with uncompromised ethics and integrity in order to maintain trust. The Code of Conduct then outlines e&'s values of customer centricity, collaboration, agility, and empowerment. It describes the responsibilities of employees, customers, partners and suppliers to comply with the Code. It provides guidance on treating colleagues with respect, dignity and fairness, as well as prohibiting discrimination, harassment, bullying and other unacceptable behaviors.
This document outlines QNet's code of ethics for professional marketing which Independent Representatives must follow. It provides guidelines on prohibited practices, product presentations, verbal promises, answering customer questions, literature, testimonials, disclaimers, policies/procedures, comparisons, privacy, fairness, and income expectations. Representatives are told to be honest, respectful, and avoid false or misleading statements to build successful, long-term businesses and customer relationships. Violations can result in disciplinary action including termination.
Animated ReMax Buyer Presentation- Al intro.pptxAl Bruce
The document provides background information on an individual working in the financial services industry. It summarizes their qualifications and experience, including licenses, past employment, hobbies, family, and career history working in financial services for over 20 years. It outlines the process they will take with a client, from an initial consultation to ongoing reviews. It emphasizes providing undivided attention, being available to answer questions, finding the best programs efficiently, and maintaining the client relationship over time.
The document summarizes key takeaways from speakers at the Fortune Magazine Leadership Summit in 2015. The summaries are:
- Verne Harnish recommended that companies write a book to build credibility and ask competitors what they are launching daily.
- Christine Comaford discussed neuroscience leadership, trust building, individual development plans, and engaging company culture.
- Additional speakers discussed topics like branding, newsjacking, subscription business models, and how to hook customers.
The document then provides more detailed summaries of Christine Comaford's presentation on using neuroscience to build a high-trust "Smart Tribe" culture through ensuring safety, belongingness, and employee motivation. Tools for leaders are outlined for mission
2011-2017: NTN Americas Town Hall Meeting & Leadership Academy TETSUYA SOGO
2015-2017: NTN Americas Town Hall Meetings at 12 companies in 15 locations
2015 Town Hall Meetings in NTN Americas -"NTN Corporate Strategy & Vision"
2016 Town Hall Meetings in NTN Americas -"NTN Corporate Philosophy"
2017 Town Hall Meetings in NTN Americas - "Maximizing the Value of NTN Americas"
2011 - 2016: NTN Americas "Leadership Academy" - Building a "Learning Organization" by "Middle up/down Management"
The document is Graphic Packaging's Code of Business Conduct and Ethics. It outlines the company's core values of integrity, respect, accountability, relationships, and teamwork. It provides guidance on complying with laws and regulations, avoiding conflicts of interest, maintaining accurate records and confidentiality, ensuring product quality and safety, and protecting human and workplace rights. Employees are expected to know, decide on, and act in accordance with the Code.
The document discusses fraud prevention and whistleblowing. It begins with definitions of auditing and who can be an auditor or whistleblower. It then discusses how fraudsters fool auditors through falsified documents and stories. The presentation uses a case study of a supplier who committed fraud against the company through fake invoices and documents. It highlights that the company did not properly verify any of the supplier's information, showing where things went wrong. It concludes with survey results finding most companies do not sufficiently screen contractors or verify their documents to prevent fraud.
The newly hired retail operations manager analyzed the company's situation and identified several weaknesses, including outdated market research, poor product variety, and a demotivated team. The manager proposed initiatives to address these such as new product lines, improved customer experience, and establishing a strong organizational culture. A key goal is achieving $9 million in annual revenue across high, low, and custom furniture tiers. Internationally, the company will pursue ISO certification and expand into the Arabian Peninsula through foreign retail subsidiaries.
The document discusses ethics in trading and provides guidelines on dos and don'ts. It defines ethics as standards of right and wrong that prescribe what humans ought to do in terms of rights, obligations, benefits to society, fairness, or virtues. It also discusses developing one's ethical standards through continuous self-examination. The dos section recommends learning about trading strategies, having a money management plan, making independent decisions, and understanding risks. The don'ts advise against making decisions based on rumors, letting emotions rule trading, and manipulative activities. It also discusses resolving ethical dilemmas by analyzing consequences, actions, and making a decision.
The TERN Volunteer Guide provides information for prospective volunteers with The Entrepreneurial Refugee Network (TERN). TERN aims to help refugees in the UK start businesses by providing mentors, expert advisors, access to funding sources, and developing a support network. Volunteers play an important role in TERN's work through assisting with outreach, media/communications, event planning, and grant writing. The guide outlines TERN's selection process, volunteer roles and responsibilities, training support provided to volunteers, and process for feedback and evaluation.
Data Facts is a diversified supplier corporation that has been in business since 1989 providing background screening and hiring services. They offer criminal records searches, employment verification, education verification, drug testing, and applicant assessment services. They pride themselves on outstanding customer service and ensuring clients find the right fit for their hiring needs.
Accenture is a global management consulting and outsourcing company with over 177,000 employees worldwide. The document discusses Accenture's business ethics and compliance program. It summarizes that Accenture takes business ethics, corporate governance, and transparency seriously. The program is designed to foster high ethical standards, prevent and address misconduct, and comply with legal standards. It also discusses Accenture's Code of Business Ethics and decision-making model to guide employees in ethical situations.
PeopleMatter: 10 Common Compliance Traps and How to Avoid Them WebinarSnag
This document summarizes a webinar about avoiding common compliance traps. It discusses 10 common traps such as ensuring proper healthcare coverage requirements are met, paying attention to overtime rules, completing I-9 forms for all new hires, testing E-Verify users, keeping proper documentation, using appropriate interview questions, obeying EEOC regulations, following CFPB rules, using updated tax forms, and taking advantage of available tax credits. Screenshots from the PeopleMatter workforce management platform are included to demonstrate how the software can help businesses avoid some of these compliance issues.
Building a positive culture in your companyKevin Withane
A positive workplace culture helps foster a strong culture of integrity, which ultimately is good for your people and your bottom line. This presentation looks at the need for psychological safety and trust to build a speak-up culture in your organization.
This document outlines Ambuja Cement's Code of Conduct and Business Ethics. It covers integrity in the workplace, business practices, and community. Key points include:
- The code applies to all employees and representatives and aims to ensure business is conducted with integrity.
- It prohibits bribery, corruption and discrimination, and promotes workplace health, safety, diversity and respect.
- Employees must protect company assets and information, and not abuse technology or social media.
- Gifts and hospitality must not be used to exert improper influence on business decisions.
- The company is committed to fair competition, accurate reporting, and managing community impacts responsibly.
1. The document provides an overview of conducting needs assessments for settlement services, outlining key aspects like actively listening, asking effective questions, and making appropriate referrals.
2. It emphasizes developing rapport, understanding the client's needs and limitations, and focusing on an outcome that satisfies the client.
3. Examples of effective communication techniques are presented, like reflecting feelings, summarizing to confirm understanding, and closing on a positive note.
The document is Compass Group's Code of Business Conduct. It outlines Compass' visions, values, and policies regarding various topics including food safety, responsible supply chain practices, personal integrity, commercial integrity, employment practices, protecting company assets, external activities, and the environment. It emphasizes Compass' commitment to ethics and integrity across all operations. It also describes Compass' Speak Up program which allows employees to confidentially report any concerns about potential misconduct or unethical behavior.
This document discusses ethics and trust in public relations. It begins by defining ethics and reviewing the PRSA Code of Ethics. It then explores how ethics impact trust and the bottom line, noting statistics about how customers are more likely to buy from and recommend brands they trust. It addresses threats to trust like fake news and data/technology issues. The document suggests that creating an ethical framework within an organization can help rebuild trust and provides tips for doing so, like anticipating ethical challenges and having prompt assessments. It emphasizes that trust creates ethical behavior and that PR professionals have an obligation to operate ethically.
Hybrid Workplace Harassment: Are You Protecting Your Company from Hidden Thre...Case IQ
In today’s “new world of work,” many organizations run on a hybrid model, with some employees working remotely and others in the physical office. While this set-up is convenient, it can cause unique interpersonal issues between employees.
Reduced face-to-face communication makes it harder for teams to bond, while making it easier for harassers to get away with bad behavior. To reduce harassment incidents in your hybrid workplace, you need to foster a culture of openness, willingness to learn, and compassion.
Join workplace investigation and executive management expert Kenneth McCarthy as he outlines how to address and prevent hybrid workplace harassment incidents.
The letter from the Chairman outlines Tech Data's Code of Ethics and emphasizes the importance of integrity, ethical decision making, and upholding the company's reputation. It notes that the Code of Ethics is meant to guide employees in making decisions that are in the long-term best interests of all stakeholders. Employees are expected to read and follow the Code, and ask questions if they are unsure about appropriate actions.
This document outlines the content of a workshop on workplace ethics hosted by the Integrity Management Unit of the National Prosecuting Authority (NPA) of South Africa. The workshop covers topics like rules of engagement, personal and organizational branding, ethics in decision-making, conflict of interest, whistleblowing policies, and the way forward for cultivating integrity in the workplace. The overall purpose is to help NPA officials conduct their work in an ethical manner and maintain public confidence.
The document is e&'s Code of Conduct. It begins with a message from the Group CEO Hatem Dowidar emphasizing the importance of conducting business with uncompromised ethics and integrity in order to maintain trust. The Code of Conduct then outlines e&'s values of customer centricity, collaboration, agility, and empowerment. It describes the responsibilities of employees, customers, partners and suppliers to comply with the Code. It provides guidance on treating colleagues with respect, dignity and fairness, as well as prohibiting discrimination, harassment, bullying and other unacceptable behaviors.
This document outlines QNet's code of ethics for professional marketing which Independent Representatives must follow. It provides guidelines on prohibited practices, product presentations, verbal promises, answering customer questions, literature, testimonials, disclaimers, policies/procedures, comparisons, privacy, fairness, and income expectations. Representatives are told to be honest, respectful, and avoid false or misleading statements to build successful, long-term businesses and customer relationships. Violations can result in disciplinary action including termination.
Animated ReMax Buyer Presentation- Al intro.pptxAl Bruce
The document provides background information on an individual working in the financial services industry. It summarizes their qualifications and experience, including licenses, past employment, hobbies, family, and career history working in financial services for over 20 years. It outlines the process they will take with a client, from an initial consultation to ongoing reviews. It emphasizes providing undivided attention, being available to answer questions, finding the best programs efficiently, and maintaining the client relationship over time.
The document summarizes key takeaways from speakers at the Fortune Magazine Leadership Summit in 2015. The summaries are:
- Verne Harnish recommended that companies write a book to build credibility and ask competitors what they are launching daily.
- Christine Comaford discussed neuroscience leadership, trust building, individual development plans, and engaging company culture.
- Additional speakers discussed topics like branding, newsjacking, subscription business models, and how to hook customers.
The document then provides more detailed summaries of Christine Comaford's presentation on using neuroscience to build a high-trust "Smart Tribe" culture through ensuring safety, belongingness, and employee motivation. Tools for leaders are outlined for mission
Similar to NTN Code of Conduct for the Americas (20)
2011-2017: NTN Americas Town Hall Meeting & Leadership Academy TETSUYA SOGO
2015-2017: NTN Americas Town Hall Meetings at 12 companies in 15 locations
2015 Town Hall Meetings in NTN Americas -"NTN Corporate Strategy & Vision"
2016 Town Hall Meetings in NTN Americas -"NTN Corporate Philosophy"
2017 Town Hall Meetings in NTN Americas - "Maximizing the Value of NTN Americas"
2011 - 2016: NTN Americas "Leadership Academy" - Building a "Learning Organization" by "Middle up/down Management"
Business Essay in the August 2023 issue of Waseda Mail Magazine TETSUYA SOGO
My business essay reflecting on my experience for over 40 years at a Japanese manufacturing company was published in the August 2023 issue of Waseda Mail Magazine hosted by Professor OHNO, Faculty of Science and Engineering. (Japanese version with English translation attached)
Profile of Tetsuya Sogo as of March 31, 2023TETSUYA SOGO
1. Tetsuya Sogo is a retired CFO of NTN Corporation and former CEO of NTN Americas.
2. He has over 35 years of experience in various leadership roles within NTN Corporation and its subsidiaries worldwide, focused on global strategy, mergers and acquisitions, and business expansion.
3. As CFO of NTN Corporation, he led initiatives that increased the company's market capitalization 1.8 times despite challenging business conditions.
1. Tetsuya Sogo is a retired CFO and CEO of NTN Corporation and NTN Americas with over 35 years of experience in the bearing manufacturing industry.
2. He has held various leadership positions within NTN Group companies in Japan, the Americas, Europe, and Asia, leading business expansion, M&A activities, and joint venture formations.
3. Sogo has an MBA from Kellogg School of Management and BS in engineering from Waseda University.
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2. 2
Table of Contents
MESSAGES
Our Vision 3
Our Values 3
Letter from Mr. Sogo 4
ETHICS REPORTING RESOURCES
Reporting Concerns and Seeking Guidance:
Open Door Policy and Confidential Help Line 5
When Should I Raise a Concern? 6
How Reports Are Handled Confidentially 6
Non-Retaliation Policy 7
NTN Americas’ Confidential Help Line 7
OUR CODE OF CONDUCT
Integrity at NTN Americas 8
Who is Responsible for Our Code of Conduct? 8
Resolving Ethical Dilemmas in our Workplace 9
Transforming Ethics into Action in our Workplace 10
Equal Employment Opportunity and Global Inclusion
Diversity 10
Employment 10
Harassment Defined 10
Prohibition of Harassment 11
Wage and Hour Laws 11
Environment, Health and Safety 12
Drug- and Alcohol-Free Workplace 13
Employee Security and Safety:
Prohibition of Workplace Violence 13
Data Privacy 14
Electronic Communications Systems and
Expectations of Privacy 14
BUSINESS CONDUCT FOR OUR CUSTOMERS
Fair Dealing, Promotion and Advertisement 15
Product Quality 15
Government Customers 16
BUSINESS CONDUCT IN THE MARKETPLACE
Antitrust and Competition Laws 18
Dealing Fairly with Others 19
Intellectual Property Rights of Others 19
Purchasing Practices 20
BUSINESS CONDUCT FOR OUR SHAREHOLDERS
Accurate and Complete Financial Records 21
Cooperation with Auditors, Responding to
External Requests 21
Record Retention 22
Company Assets 22
Conflicts of Interest 23
Giving and Receiving Gifts and Entertainment 24
OUR CONDUCT IN THE GLOBAL COMMUNITY
Export Controls 25
Embargoes, Sanctions and “Prohibited Parties” Lists 25
Corruption and Bribery 26
Political Contributions 26
EMPLOYEE RESPONSIBILITIES
Compliance with Our Code of Conduct 27
Future or Ongoing Amendments 27
Applying for Waivers 27
NTN AMERICAS’ CONFIDENTIAL HELP LINE
TELEPHONE CONTACT INFORMATION
This Code of Conduct summarizes various ethical responsibilities of employees and agents of NTN in the Americas and also summarizes some NTN’s policies.
We are obligated to obey applicable laws at all times. An NTN policy will provide more detailed information. Any questions or uncertainties should be resolved with
consultation with NTN management and the NTN Americas’ legal department.
3. 3
Code of Conduct
OUR VISION
“Learning Organization” Through “Middle-Up-Down Management”
NTN Americas is:
1. To be a Corporate group that makes steady growth with powerful product development and market
penetration.
2. To be a Corporate group where each employee can pursue professional growth and achieve full career
potential through his or her job.
3. To be a Corporate group that is respected in the local and global community for doing more than pursuing
its own profits.
OUR VALUES
INTEGRITY
EMPOWERMENT
QUALITY
COMMITMENT
TEAMWORK
RELENTLESS
PURSUIT OF
EXCELLENCE
4. 4
A COMMITMENT to Always Do the Right Thing
Ethics and integrity stand as a cornerstone at the NTN Group. Integrity is a commitment to always do
the right thing in the right way. Integrity guides every action we take, every day, as we put NTN products,
processes and know-how to work and have a Global Presence for the next 100 years.
Ethical business practices result in high quality products and happy customers. You hold NTN’s guide to
ethical business practices in your hands.
Doing the right thing includes acting when you see something is not right, acknowledging mistakes and
addressing them quickly and not making assumptions. These three ethical themes help prevent irreparable
damage to NTN’s credibility, brands and reputation in the marketplace.
Please read and ensure that you understand NTN’s Code of Conduct. By following it, we demonstrate our
commitment to both our values and to using ethical business practices in all that we do.
We each have a responsibility to fellow employees, customers and surrounding communities to uphold our
long-standing reputation of trust.
As we drive to grow in NTN’s Transformation for the Next 100, I encourage you to join me in ensuring that our
everyday actions always reflect the highest ethical standards.
Sincerely,
Tetsuya (“Ted”) Sogo
CEO – NTN Americas Region
Senior Executive Officer, NTN Corporation
December 2017
If you have a concern – NOTIFY US!
5. 5
Code of Conduct
ETHICS REPORTING RESOURCES
“Our company” refers to all entities that are part of NTN Americas. “NTN” can mean either the NTN Global
Group or NTN Americas.
Transforming ethics into business conduct each day applies to how we treat others, do our jobs and make
decisions. It also means speaking up when you feel something is not right or when you have a question.
Reporting Concerns and Seeking Guidance: Open Door Policy
and Confidential Help Line
When you have a question or concern, speak first with your manager or someone in management with whom
you feel comfortable. You also may speak with your local human resources representative.
NTN expects supervisors and managers to listen and respond to questions and concerns. If you feel your
concerns or questions have not received proper consideration, speak with higher levels of management.
NTN’s goal is to correct problems and improve processes.
NTN provides additional avenues of reporting concerns or seeking guidance, if needed, to Transform Ethics
into Action:
Remember:
If you are aware of or suspect unethical or illegal conduct, you have a duty to report the issue or seek guidance.
• Your supervisor or manager
• Any company leader
• Human Resources (local or corporate)
• NTN Legal Department
NTN Americas’ Help Line “MySafeWorkplace”
(It’s confidential; your comments can be anonymous if you prefer)
1-800-461-9330 or at www.convercent.com/report.
A list of international phone numbers for the Help Line is
available at the end of this booklet.
6. 6
When Should I Raise a Concern?
At NTN, our Code of Conduct is the responsibility of all employees. Speak up if something just doesn’t seem
right. Not only is this accepted, it is expected. It enables us to uphold our values and fulfill our commitments
to one another, our customers, suppliers and to the community.
Speak up if there is a practice or behavior that you believe violates our standards. When we all conduct
ourselves according to the highest standards, it enables us to uphold our values and fulfill NTN’s
commitments to one another, our customers, suppliers and the community.
Our Code of Conduct addresses the most common legal and ethical issues you may encounter. However, not
every situation can be addressed here. Use your best judgment in each case. If you encounter something
which conflicts with the standards set forth, or your own conscience, you should speak up.
When Should I Speak Up?
Examples of situations you should report:
How Reports Are Handled Confidentially
NTN investigates all reports promptly, thoroughly and fairly and takes appropriate action. We expect
employees to participate in such an investigation when asked. Every effort is made to safeguard
confidentiality during and after the investigation.
• Questionable accounting or auditing matters
• Inappropriate gifts or practices by or for suppliers, customers or
NTN company staff
• Environmental, health or safety concerns
• Conflicts of interest (improper business relationships)
• Theft or unauthorized use of company or personal property
• Discrimination or harassment towards employees, customers,
suppliers or other groups
• Verbal or physical threats
• Product quality concerns
• Regulatory violations
NTN Americas’ Help Line “MySafeWorkplace”
(It’s confidential; your comments can be anonymous if you prefer)
1-800-461-9330 or at www.convercent.com/report.
7. 7
Code of Conduct
Non-Retaliation Policy
You should never fear retaliation. NTN Americas does not tolerate acts of retaliation against anyone who
makes a good faith report. Making a report in “good faith” means that you believe the information you
provided is true, accurate and complete.
Retaliation against anyone who raises valid concerns or who participates in investigations is prohibited. If
you believe you have experienced retaliation, report it to NTN’s Human Resources or Legal Department
immediately. Anyone making a report in bad faith is subject to disciplinary action. NTN hopes to be able to
resolve all issues internally, but if you need complete anonymity, use www.convercent.com/report. (You may
restrict who will receive the report at the website.)
Remember, NTN Americas’ reputation is in your hands. We need your efforts and assistance to ensure we are
living up to the high standards of business conduct we have set for ourselves. If you observe a concern –
please notify us.
NTN Americas’ Confidential Help Line
NTN prefers that all issues be resolved within NTN, but recognizes that there may be times when you
might be reluctant to discuss concerns or questions with your manager. For this reason, the NTN Help Line is
available online and via telephone.
The NTN Help Line is answered by a separate, independent company. Reports made to the NTN Help Line are
not traced or recorded. We encourage you to report your concerns, sharing as much information as possible,
including your name, so we can conduct a thorough investigation. You may restrict who at NTN will receive
your report; however, if you are not comfortable sharing your name, you can still file a report with the service
and NOT share your identity. There is no way to trace your contact information.
If you file an anonymous report, you will receive a reference number to check the status of your report
(by either calling the Help Line, or viewing NTN feedback on the confidential web site). All reports remain
confidential to the maximum extent possible according to local law. You may contact the NTN Help Line by
telephone or submit a report online at:
NTN Americas’ Help Line “MySafeWorkplace”
(It’s confidential; your comments can be anonymous if you prefer)
1-800-461-9330 or at www.convercent.com/report.
NTN Americas’ Help Line “MySafeWorkplace”
(It’s confidential; your comments can be anonymous if you prefer)
1-800-461-9330 or at www.convercent.com/report.
8. 8
OUR CODE OF CONDUCT
Integrity at NTN Americas
Transforming Ethics into Business Conduct means that each of us must uphold the following principles, which
define our core values of ethics and integrity:
Honesty
We tell the truth. If we make a mistake, we communicate the mistake and identify the appropriate solution.
We behave so that all of our stakeholders can rely on us to do what we say. Whether preparing a financial
report, responding to a question from auditors, talking to a customer or dealing with a supplier, we are always
truthful. We refuse to participate in any conduct that is questionable on ethical grounds.
Fairness
We buy from our suppliers and sell to our customers based on our product quality, excellent service,
established agreements and contracts, and honest relationships. We must keep confidential the information
regarding our employees, customers and suppliers. This information is only to be used for business-related
purposes by authorized staff. We avoid conflicts of interest. We always try to improve the performance of
the NTN Americas region by conducting only legitimate business activities.
Respect
We treat each other with respect. We operate safely with environmental responsibility and respect our fellow
employees, our suppliers, our customers and the communities where we operate.
Responsibility
We act responsibly, exercise sound judgment and do what is necessary to preserve and enhance NTN’s
reputation. We do not wait for others to tell us what we need to do. We follow the Code of Conduct.
Who Is Responsible for Our Code of Conduct?
We all must act according to the principles set forth in our Code of Conduct. NTN expects every person
working on our company’s behalf, including consultants, agents, suppliers and business partners, to adhere
to our ethical standards. Therefore, it is critical that all our stakeholders become aware of our policies that
apply to them.
9. 9
Code of Conduct
Resolving Ethical Dilemmas in our Workplace
When you face an ethical dilemma, ask yourself the following questions:
KNOW THE FACTS
ANALYZE
CONSIDER
If after reviewing these questions, you are unsure of the best course of action, seek advice and guidance from
your manager, Legal or NTN’s HR before proceeding.
• What are the facts?
• Who will be impacted by my decision?
• Do I have authority to make this decision on my own?
• Is this the right thing to do?
• Does it comply with our Code of Conduct? With the law?
• Will my decision impact the company or NTN’s reputation?
• Would I be embarrassed if my friends and family found out about
this?
• Would I be embarrassed if this appeared in the news?
10. 10
Transforming Ethics into Action in our Workplace
In the NTN Americas region, Transforming Ethics into Action in our workplace means:
Equal Employment Opportunity and Global Inclusion
Diversity
NTN values the individuality and diversity of its employees. We cultivate an inclusive work environment
which is free of any type of unlawful discrimination and where all individuals may realize their potential and
contribute to the overall success of the business. By respecting diversity and being a good corporate citizen,
we become an employer of choice and attract the most talented people. As we value diversity, we break
down barriers to workplace performance and create a climate that ensures the voice of each employee is
respected.
Employment
Our company treats all employees and applicants fairly according to their individual qualifications, abilities,
experiences and adheres to all local and national employment factors where we operate. NTN does not
tolerate discrimination due to race, religion, color, national origin, gender, age, sexual orientation, disability,
veteran/military status or any other legally protected trait.
Harassment Defined
We all share the responsibility of keeping our work environment free of harassment and discrimination.
Supervisors and managers have a duty to act if they are aware of such behavior. If you observe conduct
that may constitute harassment, you must report the matter to your supervisor, manager, Human Resources
Department or the Legal Department.
Harassment includes any unwelcome conduct. It creates an intimidating, offensive or hostile work
environment, or unreasonably interferes with someone’s work. Sexual harassment includes unwelcome
sexual advances, requests for sexual favors and other physical or verbal conduct of a sexual nature.
Harassment can take many forms, including physical actions, spoken and written remarks, and videos or
pictures.
• We treat one another with professionalism, dignity and respect.
• We are honest.
• We are good corporate citizens, contributing to our communities.
• We protect the environment and global ecosystem.
• We work safely.
• We protect the security and confidentiality of persons and other
companies.
• We value diversity and diverse perspectives and will give equal
opportunities to all.
11. 11
Code of Conduct
Prohibition of Harassment
NTN does not tolerate harassment, regardless of where it takes place. It is prohibited on NTN premises, as
well as in off-hours or off-site business-related functions, such as business travel or company events.
We all share the responsibility of keeping our work environment free of harassment and discrimination.
Supervisors and managers have a duty to act if they are aware, or should be aware, of such behavior. If
you observe conduct that may constitute harassment, you have a responsibility to report the matter to your
manager, a representative of management at your site or directly to HR.
You may also choose to alert the company directly via our in-house Legal Department (legal@ntnusa.com,
847-298-7500, ext. 20125 or ext. 20126) or to the NTN Americas’ Help Line.
Retaliation against anyone who raises valid concerns or who participates in investigations is prohibited. If you
believe you have experienced retaliation, report it to our Legal Department or to your Human Resources
Representative immediately. Anyone making a report not in good faith may also be subject to disciplinary
action.
Wage and Hour Laws
We comply fully with applicable wage and hour laws. We expect our supervisors and managers to be leaders
in this area.
Employees who are required to track their hours worked must maintain accurate records of those hours.
Supervisors and managers are expected to ensure time records accurately reflect hours worked. They ensure
compliance with all overtime and maximum hour laws. Further, our supervisors and managers have a duty to
enforce child labor laws throughout our global operations. They must be familiar with all national, state and
local laws that might apply.
NTN Americas’ Help Line “MySafeWorkplace”
(It’s confidential; your comments can be anonymous if you prefer)
1-800-461-9330 or at www.convercent.com/report.
12. 12
Environment, Health and Safety
NTN evaluates the effect of business activities on the environment and works to reduce our environmental
impact and environmental risks. We are committed to continuously improving our environmental, health, and
safety (EHS) performance. By doing so, we will create a safe and healthy workplace, take responsible care
of environmental resources and develop sustainable technologies and business practices that contribute to
global economic prosperity and solving environmental problems.
Every NTN employee is responsible for understanding and supporting NTN’s commitment to operating in an
environmentally responsible manner. NTN will:
We expect managers to provide the leadership for delivering our EHS objectives. Likewise, we expect every
NTN employee to contribute to improving the safety of our work environment. If you become aware of any
activities that are in conflict with this policy, report the situation to your manager, local Environmental/
Health/Safety Representatives, local Human Resources, or the NTN Legal Department. All legal violations
should be reported immediately to the Legal Department at legal@ntnusa.com; 847-298-7500, ext. 20125 or
ext. 20126.
• Conduct business so that environmental challenges are
managed as an integral part of current and changing business
strategies.
• Communicate about environmental issues across organizational
and functional lines.
• Comply with applicable federal, state and local environmental
laws, and meet other environmental commitments we make.
• Promote pollution prevention.
• Continually improve the environmental management system.
• Make EHS performance a priority in our business and operations
and decision-making.
• Comply with all EHS laws, regulations, company policies and
standards and require the same from our suppliers.
• Expect employees and contractors to always conduct their
activities safely and responsibly.
• Be diligent in identifying and assessing risks and potential
hazards that can affect our environmental, health and safety
performance. Quickly correct hazards and implement corrective
actions to improve safe operating practices.
• Support environmental sustainability through pollution
prevention and control, waste management, recycling, energy
conservation and energy-saving product innovations.
13. 13
Code of Conduct
Drug- and Alcohol-Free Workplace
Our company values the health and safety of all employees.
NTN maintains a drug- and alcohol-free workplace. Performing
work under the influence of drugs or alcohol imperils your
health, safety and well-being and puts those around you at risk.
It can interfere with your ability to do your job.
Employees and visitors may not use, be under the influence of,
possess or distribute illegal drugs or alcohol while on company
premises or when conducting company business. This also
applies to lawfully prescribed medication which may impair
one’s ability to perform jobs or poses a direct threat to persons
in the workplace. The only exception to this policy arises when
we consume alcohol at authorized work-related events. In such
cases, we may only consume the alcohol in moderation and
must maintain professional behavior.
Anyone suspected of possessing alcohol or illegal drugs during working hours is subject to inspection and
search, with or without notice. This applies while on NTN’s premises during work hours or at any other
location while conducting NTN business. You are encouraged to notify your supervisor or manager if you
have reason to believe illegal drugs or alcohol are present in the workplace. (Legal use of certain drugs for
medical purposes should be discussed with HR.)
Employee Safety & Security: Prohibition of Workplace Violence
Our company is committed to providing a safe workplace for everyone. We do not tolerate or
engage in any type of workplace violence.
NTN places a high priority on the safety of its employees, contractors and visitors. We do
not tolerate any threats, acts of violence or other forms of intimidation in the workplace.
The possession of firearms or weapons is prohibited on company property, to the extent permitted by state
law. To maintain a secure working environment, all employees have the obligation to remain alert and to
immediately report any actual or suspected violent acts in the workplace.
If you feel threatened by someone’s behavior, you should immediately report it. In cases of immediate danger,
call law enforcement authorities immediately.
14. 14
Data Privacy
Subject to the following section on electronic communications systems, NTN is committed to protecting the
security and confidentiality of the data people entrust to us. This includes the data provided by our fellow
employees, as well as information we receive from customers, suppliers and other third parties with whom
we do business.
NTN complies with all applicable data protection and privacy laws. We share a responsibility to protect
the privacy and security of any personal information collected, stored, processed, transmitted, shared or
disposed. “Personal information” includes the data contained in personnel records, medical records and
credit or banking information.
Do not share personal information with others who do not have a business need to know. Never leave
personal information about yourself or others – such as: performance management documents, salary
information, expense reports or medical information – unsecured on a desktop or smartphone or in any
accessible location.
Electronic Communications Systems and
Expectations of Privacy
Our electronic communications systems are essential business tools
that help us work efficiently and productively.
We are committed to using these systems professionally and
appropriately within the scope of our jobs. Our electronic
communications systems, including all data or information they
contain, are company property. When using company electronic
communications systems, our activities should be conducted
according to our Code of Conduct. This includes treating people with dignity and respect and avoiding any
appearance of impropriety, as well as not disclosing confidential information about our products, services,
contracts, customers, suppliers, employees, or other stakeholders (community organizations or government
entities we do business with).
NTN recognizes you may need to reach a family member or other personal contact during work hours.
Reasonable personal use of our company’s telephone and electronic communications systems is permitted.
However, such use must not interfere with company business, relate to a personal business venture or violate
any company policy. Expectations are that personal communications are kept to a minimum.
Social media is defined as social networking sites, blogs, wikis, chat rooms, online forums, etc. Social media
can sometimes make it hard to know the line between professional and personal activity. We must ensure
that our personal participation in social media does not create risks to our company’s reputation, taking care
to protect proprietary or confidential information. Please consult NTN’s policy regarding the use of social
media.
Social media should never be used to defame or harass other employees, customers, suppliers, competitors
or other stakeholders with whom we do business. NTN does not intend to interfere with any employee’s legal
use of social media outside the workplace.
Keep in mind that information sent or received using any of our company’s electronic communications
systems is not private. Activity may be monitored to ensure these resources are used appropriately. NTN
also reserves the right to block access to websites, as well as the transmission of emails or files when the
company determines there is a conflict with its business interests, employee policies or ethics standards.
15. 15
Code of Conduct
BUSINESS CONDUCT FOR OUR CUSTOMERS
At NTN Americas, our Code of Conduct for our customers means:
Fair Dealing, Promotion and Advertisement
We work fairly and honestly with our customers. We earn their business through the performance of our
products and our ability to fulfill commitments. We follow through on our promises and honor contractual
obligations. We compete solely on the merits of our products and promote them honestly.
Comparisons of our products or services with those of our competitors must be accurate. We do not offer
our customers – or their employees – benefits or rewards that may violate the law, the customers’ policies or
our business practices. Gifts and entertainment to a customer must be nominal, customary, infrequent and
legal.
Product Quality
Our products are used in numerous demanding applications. Customers trust us to provide high
performance products with consistent quality, which means each of us has to act with integrity, from design
to manufacturing through the distribution of our products.
• We produce products that meet our quality standards.
• We speak up if we discover an actual or potential product quality
or safety issue.
• We deal fairly with our customers.
• We make only those commitments and promises that we can
keep – and we honor them.
• We do not make untrue, unfair or misleading statements about
our own or our competitors’ products.
• We comply with applicable legal and ethical requirements in our
dealings with customers everywhere in the world.
• Ensure all new products satisfy company standards and agreed
customer requirements.
• Adhere to production processes and quality control procedures.
• Comply with all applicable product laws, regulations and industry
standards governing product and process specifications.
• Conform to all product storage, handling and shipping
procedures.
16. 16
Government Customers
At NTN, we value our relationships with government customers and are committed to complying with all
applicable legal and ethical requirements. Employees who support government contracts should be aware
that special rules and regulations apply.
As with all customers, when interacting with national or local governments, remember the foundations of
government contracting:
Additionally, employees who contact government officials and employees for sales to a government agency
or to seek government assistance such as; grants or incentives, should first contact the Legal Department.
Those who work on government contracts should be aware that special rules apply. Government orders
and contracts will only be pursued upon approvals by the appropriate sales vice president, who will
consult as needed with the Legal Department. Similarly, those who must contact elected or appointed
national, regional/state, local or other officials and employees to promote products or services for sale to a
government agency, or to seek government assistance such as grants or incentives, should first contact the
NTN Legal department.
• Maintain the highest level of integrity in dealing with government
employees.
• Ensure honesty in exchanges of information.
• Develop and maintain proper relationships with third parties.
• Promote openness and fairness in competition.
17. 17
Code of Conduct
BUSINESS CONDUCT IN THE MARKETPLACE
At NTN Americas, Transforming Ethics into Action in the marketplace means:
• We do not discuss with competitors prices or price-related
information, information related to bids or proposals, the division
or allocation of markets or our business dealings with any third
party.
• We obtain competitive information legally and ethically.
• We deal fairly with our suppliers and business partners.
• We provide truthful information to our suppliers and business
partners.
• We respect the intellectual property rights of others.
18. 18
Antitrust and Competition Laws
We believe in free and fair competition. The majority of the countries where we do business prohibit anti-
competitive collusion between competitors and abuse of a dominant position (known as “monopolization”
in the United States). These countries also prohibit agreements with customers and suppliers that impose
unreasonable restrictions on their commercial independence. We must comply with applicable antitrust and
competition laws in all countries where we do business. In doing so, we ensure that our customers have
access to quality products and services at fair prices.
It is important to avoid contact with competitors and their employees, except in those limited situations in
which contact is clearly necessary and for a lawful purpose (such as legitimate sales and purchases, and
attending training seminars or industry conferences).
It is never acceptable to discuss with a competitor any of the following:
Gathering competitive intelligence is an important business tool; however, that information should only be
collected through legal and ethical methods. NTN NEVER solicits nor accepts competitive information directly
from any competitor.
Before you consider interviewing competitors to possibly hire at NTN you MUST notify HR in advance of any
interviews. NTN HR and Legal will work with management to guide the appropriate process to understand
what potential competitive restrictions they may have. If we hire an associate who previously worked for a
competitor, we must honor any non-disclosure obligations that person may have.
You should not accept or solicit the disclosure of confidential competitor information from that associate.
Further, you should never hire a competitor’s associate specifically to obtain the competitor’s confidential
information. If colleagues, customers or business partners have competitive information they are required to
keep confidential, never ask them to share it with you. These requirements are outlined in our documents of
employment that are provided to candidates.
If you work in sales, marketing, corporate development, purchasing or any other area of NTN where you may
interact with competitors, be sure to review and understand the NTN antitrust guidelines. Before attempting
to impose any contractual restrictions on any customer or supplier that would limit their ability to purchase
from or sell to our competitors or otherwise restrict their commercial freedom (for example, restricting a
customer’s resale prices or sales territory), you must consult with the Corporate Counsel.
Remember: When you know you will have contact with a Competitor, you are required to get approval in the
Salesforce – Competitor Contact Preapproval System.
• Prices we charge for our products
• Terms of sale
• Production output
• Allocation of markets or customers
19. 19
Code of Conduct
Dealing Fairly with Others
We engage in fair and free economic competition and deal fairly with our competitors, suppliers and other
business associates at all times. We never use unethical means to secure business and only make truthful,
accurate statements to those with whom we conduct business.
Our commitment to fair dealing means that we:
Intellectual Property Rights of Others
We respect the intellectual property rights of others, just as we expect others to respect our rights.
Intellectual property includes trade secrets, copyrights, trademarks and patents, as well as industrial design
rights. To respect intellectual property rights, we must follow these rules:
Contact the Legal Department with any questions regarding intellectual property.
• Supply only honest and truthful information to our suppliers and
other business associates.
• Never misrepresent facts in order to gain a competitive
advantage.
• Never engage in illegal or unethical conduct when competing.
• Honor non-disclosure agreements and follow similar procedures
for how we protect our own information.
• Purchase or license all commercial software.
• Purchase multiple copies of trade journals and other similar
periodicals. Do not copy significant portions of such materials
unless prior permission has been obtained from the copyright
holder.
• License the use of music or videos. Do not use commercial
music or video CDs or DVDs in NTN’s business.
• Seek and obtain permission before using others’ trademarks or
logos.
20. 20
Purchasing Practices
Supplier Selection & Competitive Bidding
NTN requires all employees involved in or making purchases of goods or services from suppliers to maintain
the highest standards of business ethics. Doing business in an honest and fair manner with our suppliers
means that employees responsible for buying or leasing materials and services on behalf of NTN must do so
objectively. We choose to deal with our suppliers on the basis of the price, quality and service.
When an NTN USA Group contract exists for goods or services, employees must purchase those goods or
services from the contracted supplier.
Conflict of Interest & Procurement Ethics
NTN holds itself and its suppliers to the highest commercial ethics and standards at all times. Below are
general guidelines to be followed:
• Do not accept money, goods, services or favors from suppliers in
exchange for information, orders or decisions in their favor or any
other benefit.
• Employees must never accept or seek out any benefit from
a supplier or potential supplier that would compromise their
judgment or create an appearance that their judgment would be
compromised.
• Only promotional gifts or samples of nominal value may be
accepted by an employee from individuals or organizations.
• Please be aware that promotional items may create the
appearance to the organization and other suppliers of a lack of
impartiality by NTN.
• NTN will not share a supplier’s proposal details (including prices,
percentage differences between prices or other terms) with
another supplier.
• Comply with NTN’s Conflict of Interest procedures.
21. 21
Code of Conduct
BUSINESS CONDUCT FOR OUR SHAREHOLDERS
At NTN, our Code of Conduct for our shareholders means:
Accurate and Complete Financial Records
NTN Americas, our shareholders, fellow employees and others depend on our financial information to
make business decisions. The law requires us to maintain accurate books and records. We each have
a responsibility to ensure corporate records fairly and accurately reflect all transactions. Never delay a
necessary entry or make false entries in any company books or records for any reason. Further, never engage
in or support any act that results in an entry that is not properly supported. Payments will only be approved
and made for purposes described in the documentation supporting the charge. We do not approve or make
any payments that are to be used for any purpose other than that described by the document supporting the
payment.
Cooperation with Auditors, Responding to External Requests
Our managers, auditors or the government may ask us to provide information. We are required to fully
cooperate and openly communicate with our internal and external auditors. Auditors require full and
unrestricted access to personnel, facilities, records and other information to do their jobs. This means we
must never attempt to control or influence the free flow of information during the audit process.
Keep in mind that you are not required to obtain permission before speaking to the auditors during reviews.
Managers should not question employees about their interaction with the auditors in the context of the
reviews. If you believe documents are being concealed, destroyed or altered in any way, you should report
your concern.
NTN does not disclose financial information to other parties without authorization from management.
• We maintain financial records that are accurate, complete, and
issued timely.
• We maintain internal controls sufficient to provide reasonable
assurances that all transactions and access to corporate
assets are only undertaken in accordance with management’s
authorization.
• We cooperate with internal and external auditors, internal
investigations and government inquiries.
• We adhere to record retention guidelines.
• We protect our company’s assets and do not use them for our
own personal gain.
• We avoid conflicts of interest.
• We give and receive gifts in good faith and without the intent to
influence a business decision.
22. 22
Record Retention
NTN has standards and processes to create and manage our company records with which we must comply.
Inconsistent handling or disposal of records will adversely affect our ability to serve our customers, meet
legal requirements and operate efficiently. Records may be on paper or electronic.
All records must be retained and destroyed according to the record retention policy unless directed otherwise
by the Legal Department. If you receive a notice that you may have documents which are subject to a legal
hold, follow the instructions in the hold notice. Any questions regarding whether to retain or destroy a record
should be directed to the Legal Department.
Company Assets
NTN’s assets, including facilities, equipment, materials, property, technology and information, must be
protected.
Company assets, both tangible and intangible, should be used only for company purposes.
NTN’s proprietary and confidential information is one of our company’s most important assets. “Proprietary
and confidential information” includes non-public information that, if revealed, might benefit our competitors.
Examples include technical, design, or process data; pricing information; business plans; acquisition or
teaming plans; project practices; customers; and supplier lists. We share the responsibility of keeping such
information secure at all times.
The NTN trademark and other company-owned trademarks and brand identifiers may only be used in
compliance with NTN’s branding policy.
23. 23
Code of Conduct
Conflicts of Interest
While working for NTN, we may encounter situations in which private interests interfere with our professional
obligations. We must be diligent to avoid activities and personal interests that may create or appear to
create a conflict of interest when conducting business for the company.
Actions by employees of NTN that may lead to a conflict of interest include, but are not limited to, the
following:
We must use common sense and our consciences and a commitment to 100 percent compliance with
company policies and all applicable laws and regulations when assessing individual situations. Ultimately, it
is our responsibility to avoid any situation that creates or appears to create a conflict of interest.
If your job responsibilities include buying or leasing materials and services on behalf of NTN, you must do
so objectively. Never accept or seek any benefit from a supplier or potential supplier that would appear to
compromise your judgment. See “NTN Americas’ Conflict of Interest Policy.”
• Giving gifts and/or entertainment that is of reasonable value.
• Receiving gifts or entertainment that is of reasonable value.
• Taking a personal business or financial interest in an external
entity that seeks to do business with NTN Americas.
• Sharing or distributing corporate sales opportunities and/or
other confidential information to external partners: customers,
suppliers, competitors, etc.
• Employing persons with whom you have a close personal
relationship. Example: No relatives can be used as suppliers
unless approved in advance two levels above your manager. If a
current relationship exists between you and a relative providing
goods or services to NTN, you are required to report this conflict
immediately to your manager. The company will work to resolve
this situation, balancing the interests of all parties.
24. 24
Giving and Receiving of Gifts and Entertainment
In the marketplace, gifts and entertainment are courtesies designed to build goodwill between companies.
They foster positive working relationships between our company and our customers, vendors and suppliers.
Conflicts may arise, though, if gifts are offered with the intent to influence a business decision.
In general, we may offer or accept normal sales promotion items, occasional meals or other non-cash
items of minimal commercial value. However, it is not acceptable to provide or receive gifts, favors or
entertainment if doing so will create or appear to create an obligation. Likewise, you should not offer gifts,
favors or entertainment with any expectation of reciprocation. Giving or accepting bribes and inappropriate,
lavish or repeated gifts or other benefits is always prohibited, even if acceptable according to local customary
practices.
You may not request or solicit gifts or services, or request contributions from customers, suppliers or other
business partners for yourself or for NTN, with the exception of charitable organizations the company
supports. Consider the following guidelines when giving and receiving gifts and entertainment. They should:
If you are offered an inappropriate gift, you should decline it. If doing so would cause you or the company
embarrassment, you may accept the gift but then immediately report it to your supervisor or manager, as well
as Corporate Counsel for help in determining an appropriate course of action. See “NTN Americas’ Gifts and
Entertainment Policy.”
• Be consistent with accepted business practice
• Be of nominal value
• Be in good taste
• Be infrequent
• Be unsolicited
• Not embarrass you or the company if they were publicly
disclosed
• Not be in the form of cash or cash equivalents
25. Code of Conduct
25
OUR CODE OF CONDUCT IN THE GLOBAL COMMUNITY
At NTN Americas, our Code of Conduct in the global community means:
Export Controls
We deliver our products throughout the world. Some activities are governed by international trade laws.
These laws, including export laws and regulations, are established country by country. They are similar in
many ways due to several international organizations and treaties.
We are responsible for complying with local laws in the countries where we do business.
Embargoes, Sanctions and “Prohibited Parties” Lists
In addition to export and import laws, our company is also subject to laws and regulations that prohibit us
from doing business in certain countries and with certain entities and individuals that may be connected to
terrorism or similar activities. Currently, those countries where we cannot conduct business – directly or
indirectly – include Iran, Syria, North Korea and Sudan. In addition, countries under an arms embargo by the
U.S. government, where no military products or services may be provided, must be avoided. Finally, several
“prohibited parties” lists are maintained, showing us with whom we cannot conduct business.
• We deliver our products and services in compliance with trade
laws.
• We conduct business on our own merits and do not engage in
corrupt business practices such as bribery or extortion.
• We respect local cultures and customs and carry out business
activities based on mutual trust.
• We participate in strengthening our communities.
26. 26
Corruption and Bribery
Part of our commitment to our core value of ethics and integrity means we never engage or participate in
corrupt business activities, including bribery. Nearly every country in which we do business has adopted anti-
bribery or anti-corruption laws. We must abide by all such laws.
We may not offer, promise, give or authorize the presentation of anything of value, either directly or indirectly,
to anyone for the purpose of obtaining an improper business advantage.
Anti-corruption laws are generally stricter when it comes to government officials. Government officials are
subject to local anti-bribery and ethics laws and regulations that may limit the gifts, entertainment and other
items of value they are permitted to accept. It is important that we not take any action that violates these
laws or regulations. U.S. companies are governed by the Foreign Corrupt Practices Act regarding foreign
officials. Any questions should be directed to the Legal Department.
When dealing with certain government officials, we may be asked to make facilitating payments. “Facilitating
payments” are small sums of money or gifts, generally given to low-level government employees that are
made to facilitate routine governmental actions (such as processing an application for a permit, license or
other official document). If a facilitating payment is sought, you must obtain prior approval from the Legal
Department. (An exception to this policy is made if the health or safety of a person is at risk, but it must be
reported to the Legal Department.)
Money from third parties or paid through third parties may not be used to launder any payments.
Our company’s internal controls provide reasonable assurances that all transactions are undertaken in
accordance with management’s authorization.
Political Contributions
Decisions made within political systems around the world can significantly affect our company. At times,
NTN may take positions on political issues and lobby on behalf of our interests and goals in the countries in
which we operate. Our participation in the political process is always lawful and ethical.
Our company encourages all of us to be involved in the political processes in the communities where we
live and work. However, we may not use company resources or assets for personal political activities. In
addition, our company does not offer reimbursement for personal political contributions.
Contributions from NTN funds may not be made, directly or indirectly, to any political candidates or political
organizations unless permitted by U.S. law and approved by the Legal Department. Contributions from
company funds are permitted for issue advocacy, but all such contributions must be approved by the Legal
Department.
27. 27
Code of Conduct
EMPLOYEE RESPONSIBILITIES
Compliance with Our Code of Conduct
NTN wants to be known as an ethical company because we are committed to doing the right thing in all
situations. You were hired because the company believes you will share NTN’s commitment to our core value
of ethics and integrity and to Transforming Ethics into Action. NTN is strengthened by our commitment to
our Code of Conduct, company policies and to the laws and regulations of the countries in which we conduct
business.
Violations of any company policy or the law may carry serious consequences. These include disciplinary
action, up to and including termination, and possible civil or criminal liability. Our company retains the right
to administer disciplinary action in response to acts of misconduct. All NTN officers and managers are
responsible for the enforcement of this policy, and for ensuring employees’ knowledge of and compliance
with its guidelines. All NTN employees, directors and agents have the responsibility to fully comply with this
policy. The Legal Department holds ultimate responsibility for the interpretation of this policy.
Although the statements contained in this policy pertain to many types of business conduct generally
considered to be improper, they do not specifically list every type of misconduct. No single document can.
Therefore, if you have any questions or concerns, or are unsure if an action you have observed or engaged in
constitutes misconduct, please reach out to the Legal Department or to Human Resources.
Future or Ongoing Amendments
Changes to our Code of Conduct or other company policies may be made from time to time. We are each
responsible for understanding and upholding the policies at all times. Please take the time to review any
updates as they are made available.
Applying for Waivers
If you feel a waiver of this policy is necessary or appropriate, including but not limited to any potential or
actual conflict(s) of interest, you must submit a request for a waiver and the reasons for the request to the
Legal Department and Human Resources in advance of the requested action.
28. NTN AMERICAS’ CONFIDENTIAL HELP LINE
TELEPHONE CONTACT INFORMATION:
USA: 800-461-9330
Canada: 800-461-9330
Mexico: 001 866-376-0139
Panama: 001 800-204-9188
Web Access:
www.convercent.com/report
NTN Americas’ Legal Department
Office of the NTN Corporate Counsel: (legal@ntnusa.com or 847-298-7500, ext. 20125 or ext. 20126)
Retaliation against anyone who raises valid concerns or participates in investigations is prohibited.
If you believe you have experienced retaliation, report it to our Corporate Counsel or to your Human
Resources representative immediately. Anyone making a report not in good faith may be subject to
disciplinary action.
Distributed by NTN Americas’ Corporate Social Responsibility Committee
December 2017, Version 1.0
NTN Americas’ Help Line “MySafeWorkplace”
(It’s confidential; your comments can be anonymous if you prefer)
1-800-461-9330 or at www.convercent.com/report.