Dave Rushton
Founder
of Paradigm Shift Consulting Limited.
Dave Rushton is Founder of Paradigm Shift Consulting Limited, a Good Distribution Practice Consultancy.
Registered Office: Paradigm Shift Consulting Ltd,The Old Mill, 9 Soar Lane,Leicester, LE3 5DE, United Kingdom
0330 133 0920
Introduction
Paradigm Shift Consulting Ltd has a zero-tolerance policy towards bribery and corruption and is committed to acting fairly and with integrity, in all its business dealings and relationships. This policy sets out how we will implement and enforce effective systems to counter bribery.
Purpose and scope of Policy
This policy sets out the Company’s position on any form of bribery and corruption, and provides guidelines aimed at:
This policy applies to all permanent and temporary employees of Paradigm Shift Consulting Ltd, including any of its intermediaries, subsidiaries, or associated companies.
Legal obligations
The UK legislation on which this policy is based is the Bribery Act 2010 and it applies to the Company’s conduct both in the UK and abroad. A bribe is an inducement or reward offered, promised, or provided to gain any commercial, contractual, regulatory, or personal advantage.
It is an offence in the UK to:
You can be held personally liable for any such offence.
It is also an offence in the UK for an employee or an associated person to bribe another person while doing business intending either to obtain or retain business, or to obtain or retain an advantage in the conduct of business. Paradigm Shift Consulting can be liable for this offence where it has failed to prevent such bribery by associated persons. As well as an unlimited fine, it could suffer substantial reputational damage.
Policy statement
All employees and associated persons are required to:
Bribery of any kind is strictly prohibited. Under no circumstances should any provision be made, money set aside, or accounts created for the purposes of facilitating the payment or receipt of a bribe.
We recognise that industry practices may vary from country to country or from culture to culture. What is considered unacceptable in one place may be normal or usual practice in another. Nevertheless, a strict adherence to the guidelines set out in this policy is always expected of all employees and associated persons.
Responsibilities and reporting procedure
It is the contractual duty and responsibility of all employees and associated persons to take whatever reasonable steps are necessary to ensure compliance with this policy and to prevent, detect and report any suspected bribery or corruption in accordance with the procedure set out in the Company’s disclosures in the public interest policy.
You must report to us any knowledge or suspicion you may have that an employee or associated person, has plans to offer, promise or give a bribe or to request, agree to receive or accept a bribe in connection with the business of Paradigm Shift Consulting.
Paradigm Shift Consulting encourages all employees and associated persons to be vigilant and to report any unlawful conduct, suspicions or concerns promptly and without undue delay so that investigation and any resulting action can be undertaken swiftly.
If you wish to report an instance or suspected instance of bribery you should make a Public Interest Disclosure, and guidance on how to do this can be found on gov.uk. Confidentiality will be maintained during the investigation to the extent that it is practical and appropriate in the circumstances.
Sanctions for a breach of policy
We are committed to taking appropriate action against bribery and corruption. This could include either reporting the matter to an appropriate external government department, regulatory agency or the police and/or taking internal disciplinary action against relevant employees and/or terminating contracts with associated persons.
The Company will support anyone who raises genuine concerns in good faith under this policy, even if they turn out to be mistaken. It is also committed to ensuring nobody suffers any detrimental treatment as a result of refusing to take part in bribery or corruption, or because of reporting in good faith their suspicion that an actual or potential bribery or corruption offence has taken place or may take place in the future.
Sanctions for breach
A breach of any of the provisions of this policy by employees will constitute a disciplinary offence and will be dealt with in accordance with the Company’s disciplinary procedure. As far as associated persons or businesses are concerned, a breach of this policy could lead to the suspension or immediate termination of any relevant contract, sub-contract or other agreement.
Monitoring compliance
The Company’s Director has lead responsibility for ensuring compliance with this policy and will review its contents on a regular basis. They will be responsible for monitoring its effectiveness and will provide regular reports in this regard to the senior management of Paradigm Shift Consulting, who have overall responsibility for ensuring this policy complies with the our legal and ethical obligations.