Anti-Corruption Policy
1. OBJECTIVE
The Anti-Corruption Policy aims to disseminate anti-corruption practices in order to ensure compliance with Federal Law 12,846 of August 1, 2013, as well as to continue the conduct adopted by Miracema-Nuodex in maintaining its business, based on transparency, honesty and integrity.
2. APPLICATION
This Policy applies to individuals and legal entities, not limited to, but including members of management, suppliers of goods and services, commercial representatives, employees and third parties.
3. PRACTICES ADOPTED
3.1. Disclose and demand compliance with anti-corruption legislation.
3.2. Identify situations that demonstrate the possibility of undue advantages in order to avoid them.
3.3. Punish, within the limits of the law, employees who violate the anti-corruption policy.
3.4. Terminate contracts with third parties who fail to comply with anti-corruption laws.
4. PROHIBITED CONDUCT
4.1. Committing fraud or corruption, through bribery or kickbacks.
4.2. Maintain commercial contact with third parties involved in active or passive corruption.
4.3. Bidding fraud.
4.4. Disregarding anti-corruption legislation.
Rev. 00, March 2015