HOSTING, ENTERTAINING AND PROVIDING GIFTS TO OFFICIALS: WHAT IS AND ISN’T ACCEPTABLE? ACI Conference, Moscow, March 2011.

Slides:



Advertisements
Similar presentations
John Browne’s note of February 11, 2002 sets out the following policy changes and other developments in BP’s Ethical Conduct Policy: Facilitation Payments.
Advertisements

Ms Valerie Vandermeersch National expert, Ministry of Justice.
What You Need to Know To Ensure Compliance October 2014.
Corporate Governance in UAE THE COSTS OF NON-COMPLIANCE: THE BENEFITS OF CHOOSING THE RIGHT PATH Musthafa Zafeer Founder & Managing Partner Musthafa &
Bribery Jon Taylor 24 June What is bribery? Transparency International (a non-governmental anti-corruption organisation) defines bribery as "the.
ANTI-BRIBERY LEGISLATION IN BRAZIL: LATEST DEVELOPMENTS By Daniel Varga 21 January 2014.
The influence of geo-political and constitutional-legal factors on the specifics of the development of the Kaliningrad region in the context of WTO Gorodilov.
An Overview of the Student Loan Practices Code of Conduct Richard W. Buck Associate General Counsel University of North Florida Office of the General Counsel.
FEDERAL ANTIMONOPOLY SERVICE. Government regulation on banking market in Russia Competition aspects.
FIGHT AGAINST CORRUPTION November 2008.
Responsibilities and Organizational Structure of Ethiopian Vital Events Registration Agency December /2014 Addis Ababa.
Board of Director’s Training December 5, Board’s Ultimate Responsibility.
GREENBERG TRAURIG, LLP ATTORNEYS AT LAW ©2010. All rights reserved. Managing Compliance Risk in International Transactions Michael X. Marinelli.
Specifics in the prevention of corruption and ascertainment of conflict of interest through a single body. The experience of Latvia. Jaroslavs Streļčenoks.
Using the UN Convention against Corruption as a Basis for Good Governance.
Millennium Challenge Corporation (MCC) Component Three US Department of Justice/OPDAT (Office of Overseas Prosecutorial Development, Assistance and Training)
“Package” of Anti-Corruption Laws enacted in compliance with the Anti- Corruption Plan (approved by the Russian President on July 31, 2008): Federal Law.
Combating Terrorism Financing 1 National Accountants Conference 2004, Kuala Lumpur “Combating Terrorism Financing” 13 October 2004 by Koid Swee Lian Financial.
Ethics – Dos and Don’ts Mary Garcia Melissa Miller Dennis McGuire Office of Regional Counsel.
CHILEAN SYSTEM OF CRIMINAL LIABILITY OF LEGAL ENTITIES BASIC ELEMENTS OF CRIME PREVENTION (LAW Nº20.393) Pablo Gómez Niada Valparaíso’s Regional Prosecutor.
Compliance and Corporate Social Responsibility 6th CIS LOCAL COUNSEL FORUM Mr. Alexander Bolkvadze, Partner, BLC Law Office - Tbilisi.
GLOBAL FORUM V ON FIGHTING CORRUPTION AND SAFEGUARDING INTEGRITY INTER-RELATIONSHIP AMONG THE VARIOUS FRAMEWORKS.
Chinese Foreign Trade Law Jiaxiang Hu Professor of Law, School of Law, SJTU.
Supervision and Oversight in Procurement as a Tool of Efficient Project Implementation.
Ide kerülhet az előadás címe CCTV operation at work Belgrade, 11 th April 2013.
The Bribery Act 2010 Bribery – no longer a ‘conventional’ way of doing business TELFA CONFERENCE AND GLOBAL LAW FORUM IN CONJUNCTION WITH USLAW MOSCOW.
Division for Treaty Affairs Aims and Structure of Convention Preventive Measures International Cooperation Asset Recovery Technical Assistance Information.
The Bribery Act 2010 Rhodri DaveyPartner & Head of Employment Team.
Seminar on Migration Legislation Ministry of Foreign Affairs of Guatemala 15 – 16 February 2007.
Director of the General Department for Analysis and Regulation of Foreign Economic Activity of the Ministry of Economic Development of the Russian Federation.
Preparing Russian Companies for UK Bribery Act Enforcement - The Defence of “Adequate Procedures” Nicholas Munday 14 December 2010 Moscow.
1 Accounts Chamber of the Russian Federation. The Accounts Chamber of the Russian Federation 2 PreventiveRepressive.
Profit tax Emil Garayev 2 April I. General aspects  Tax payers and taxable base:  Tax rate and the reporting period  Major exemptions: - income.
Moral Choices Facing Employees Unit 8 Ethical Awareness.
Why Does My Ethics Policy Say That? TASSCUBO November, 2014 Jason D. King: Assistant General Counsel and Deputy Ethics Advisor.
“Foreign Official” under the FCPA means “any officer or employee of a foreign government or any department, agency, or instrumentality thereof, or of.
OHS Seminar DO THE TIME – avoid the crime! Miles Crawley 8 June 2007.
Audit Director Roundtable, Finance Practice © 2009 Corporate Executive Board. All Rights Reserved. ADR1B2ZMP1 1 The FCPA establishes both anti-bribery.
The Bribery Act 2010 An overview of the Act with reference to the Quick Start Guide published by the Ministry of justice.
Stability Reliability. UK BRIBARY ACT 2010 Surveyor’s Day 24th October 2014.
FEDERAL ANTIMONOPOLY SERVICE Moscow 2006 New Antimonopoly Law of the Russian Federation.
LATVENERGO GROUP COMPLIANCE AND FRAUD RISK MANAGEMENT Kristine Arensone Compliance officer
Access to Information: Bolivia Main Headline Goes Here Special Meeting of the Juridical and Political Affairs OAS December 13, 2010 Laura Neuman Access.
GRECO evaluations on political financing and recommendations follow-up Zurab Sanikidze Head of the Analytical Department of the Ministry of Justice of.
Copyright All rights reserved. Copyright All rights reserved. Foreign Corrupt Practices Act (FCPA) – value added for business or competitive.
GIFTS FROM FOREIGN GOVERNMENTS AND CORPORATIONS Presented by the USPS Law Department Ethics Section, Civil Practice July 2007.
Federal Treasury Deputy Head A. Demidov Prospects for Development of the Federal Treasury Control Powers.
Lecturer: Lina Vladimirovna Zhornyak, associated professor.
M O N T E N E G R O Negotiating Team for the Accession of Montenegro to the European Union Working Group for Chapter 32 – Financial control Bilateral screening:
Corruption in Vietnam Definition, Characteristics, Legal Framework and Prevention Associate, Professor. Hoang Van Hoan, PhD Vice- President of Academy.
Commercial Law and International Transactions Basic Information on the Course Time & Location: –Thursday; room a.m. Commercial Law (lecturer.
Corruption Prevention and Combating Bureau Ms Sintija Helviga Policy Planning Division.
Foreign investments into Russia. Tax consequences.
MONEY LAUNDERING “The Basics”.
Presentation on Mechanisms for Reducing Corruption through Private Sector Monitoring and Enforcement by Essa Faal / Thomas F. McInerney General Counsel.
Distributor Training 1. Why Compliance with Global Anti-Bribery Laws Matters What is Bribery Risks to Medical Device Companies and Distributors Minimizing.
PCard Policy Update Information Session
Prospects for Development of the Federal Treasury Control Powers
Complying with the Foreign Corrupt Practices Act
Monitoring the Funding of Political Parties & Electoral Campaigns
LSGL ANTI-CORRUPTION COMPLIANCE CONTROL IN COMPANY
Analysis of the Guiding Principles on Business and Human Rights in comparison with the Russian legislation Alexander Ermolenko Partner, PhD in Law.
1. The concept and principles of administrative law. 2. The concept and types of administrative offense. 3. The notion of administrative responsibility.
Bob Siegel President Privacy Ref, Inc.
Free movement of persons
Overview of the recommendations regarding approximation of the Law on personal data protection to the new EU General data protection regulation Valerija.
UNCAC Chapter II Overview Prevention of Corruption under the United Nations Convention against Corruption 8-10 April 2019 Addis Ababa.
"AL HILAL" Islamic Bank" JSC
SIMPLIFIED MEASURES FOR CUSTOMER’S IDENTIFICATION
Laws, Standards and Regulations Association of Government Accountants
Presentation transcript:

HOSTING, ENTERTAINING AND PROVIDING GIFTS TO OFFICIALS: WHAT IS AND ISN’T ACCEPTABLE? ACI Conference, Moscow, March 2011

Russian Anti-Corruption Provisions are Contained in: Federal Law “On Fighting Corruption” No. 273-FZ of December 25, 2008; Russian Civil Code; Russian Criminal Code; Russian Code of Administrative Offences; Federal Law “On State Civil Service of the Russian Federation” No. 79-FZ of July 27, 2004; Other legislative acts.

Definition of Public Officials in Russian Law: “Public Officials” may be defined as officers and employees of federal or regional state bodies belonging to the legislative, executive, or judicial branches of power. NB! The above notion does not include workers of a state owned enterprise, or a state corporation, doctors in a state hospital, or teachers in a public school. The definition of a “Public Official” under Russian law also does not include officers and employees of international organizations. Public Officials are divided into: High-level Officials (with specific legal status) Other Officials

Restrictions related to Giving Gifts to Officials Article 575 of the Russian Civil Code: Prohibits making gifts, except for ordinary gifts the value of which does not exceed 3,000 Russian Rubles: to Public Officials in connection with their official capacity or performance of their functions; in relations between commercial organizations. Exception to the above general rule: gifts received by Public Officials in the course of protocol events, official business trips, or other official events are not prohibited even if they do not meet the above criteria. However, if the value of the gift exceeds 3,000 Russian Rubles, such gift shall be recognized Federal, Regional, or Municipal Property.

What may be considered a Gift: Gratuitous transfer or undertaking to transfer property, proprietary right or right of claim to a third person; Exoneration from a financial obligation for no charge; Promise of gratuitous transfer of property, proprietary right or exoneration from a financial obligation in the future; Gratuitous performance of an obligation that the gift recipient has in respect of a third person.

GIFT VS. FACILITATING PAYMENT

Gift vs. Act of Corruption Corruption includes, without limitation: Misuse of Official Authority; Giving a Bribe; Accepting a Bribe; Abuse of Powers; Corrupt Business Practices (giving or receiving a “Commercial Bribe”).

Art. 17 of the Law “On State Civil Service of the Russian Federation”: Prohibits State Civil Servants to receive any remuneration from individuals or legal entities in connection with performance of their functions (gifts, monetary remuneration, loans, services, payment of entertainment, recreation, travel expenses, etc.). Prohibits State Civil Servants to travel abroad in connection with their official duties at the expense of individuals or legal entities. An exception to the above general rule is made in respect of business trips conducted on the basis of an international agreement, or on a reciprocal basis under agreements between Russian federal, regional, or municipal state bodies and foreign state bodies or international or foreign organizations.

Liability issues: Russian Criminal Code: Misuse of Official Authority (art. 285): imprisonment for the term of up to 10 years; Giving a Bribe (art. 291): imprisonment for the term of up to 8 years; Accepting a Bribe (art. 290): imprisonment for the term of up to 12 years; Giving a “Commercial Bribe” (art ): imprisonment for the term of up to 4 years; Accepting a “Commercial Bribe” (art ): imprisonment for the term of up to 12 years; Abuse of Powers by a person performing management functions in a commercial, or other organization (art. 201): imprisonment for the term of up to 10 years.

Liability issues: Russian Code of Administrative Offences: Illicit Payment on behalf of a Legal Entity (art ) Sanction – fine of up to the triple amount of the transferred money, or triple price of the transferred property, or services, but in any case no less than 1,000,000 Russian Rubles with confiscation of the unlawfully transferred valuables.

Gift, Meal, Entertainment expenses Reasonable Appropriate Customary

Affirmative Defense Modest amount Legitimate business purpose Compliance with laws and regulations Transparency Documentation Separation

Gift Policy Legitimate occasion Value No articles for personal use No gifts when a decision is pending

Meal Policy Legitimate purpose for the meeting Subordinate in time and focus to the meeting Value & Frequency Spouses should not be invited

Lodging and travel policy Proper location Hotel cost Business air ticket Distance and duration of the flight are to be justified by a good faith business reason

Local Policy - Who decides? Local management External Counsel Corporate Compliance

Where to look for guidance? RF Civil Code (Article 575) RF Law on State Civil Service (Article 17) RF Anticorruption Law No. 273-FZ RF Criminal Code (Article 291) What else?...

Internal control mechanism Corporate management commitment Comprehensive Policy & Guidelines Controls over policy implementation Training Employees awareness Management accountability Local monitoring (Management, Finance, Legal) Disciplinary actions