ANTI-CORRUPTION POLICY
1. Preamble
The Anti-Corruption Policy (“Policy”) of DLearners has been developed in alignment with DLearners’s
vision to adhere to highest code of ethical conduct, rules and regulations adopted by DLearners and
inconformance with the legal and statutory framework of anti-bribery and anti-corruption legislation
prevalent in India. The Policy reflects the commitment of DLearners and its management for
maintaining
highest ethical standards while undertaking open and fairbusiness and culture, following the best
practices of corporate governance and enhancing DLearners’s reputation at appropriate levels.
2. Purpose
This Policy emphasizes DLearners’s zero tolerance towards bribery and corruption practices.The
Policy provides necessary information and guidance on how to recognise and deal with bribery and
corruption issues. The purpose of this Policy is to establish clear rules to ensure compliance with
all applicable anti-bribery and anti-corruption laws.
3. Applicability
This Policy applies to all Stakeholders, or any other person associated with DLearners and who may be
acting on behalf of DLearners.
4. Definitions
Bribe/ Bribery means the offering, promising, giving, receiving, soliciting or accepting of a
financial or another advantage, or any other thing of value, with the intention of influencing or
rewarding the behavior of a person in a position of trust to perform a public, commercial or legal
function to obtain or retain a commercial advantage. Bribes are payments made in the form of money
or anything of value in return for a business favor or advantage. For e.g., Gifts taken or received
to unfairly influence a business outcome, facilitation payments made for facilitating the
performance of routine governmental action, etc.
Family Member: A spouse, parent, sibling, grandparent, child, grandchild, mother or father-in-law, a
domestic partner (opposite sex or same-sex), or another family member who lives with you or who is
otherwise financially dependent on you, or on whom you are financially dependent.
Government Official: Government Official refers to any ‘public servant’ as defined under the Indian
Penal Code, 1860.
Stakeholders: Shall means to include but not limited to individuals, directors, employees working at
all levels and grades (whether permanent, fixed term or temporary), consultants, contractors,
trainees, seconded staff, casual workers and agency staff, interns, agents, business partners,
vendors, service providers, suppliers, contractual staff, apprentices, direct selling agents, and
any other person/entity acting for and on behalf of DLearners.
5. Policy Framework
Bribes
-
DLearners prohibits all forms of Bribery and corruption practices involving, but not limited to,
Government officials or a private sector person or company.
-
DLearners conducts its business lawfully and ethically and expects every Stakeholder to conduct
its business with integrity.
-
DLearners prohibits the making or accepting of Facilitation Payments of any kind for any favors
to facilitate or expedite official business or work.
Gifts, hospitality, and entertainment
-
No gifts including cash gifts, hospitality, or entertainment may be offered or provided in
exchange for any favor (or promise of any favor) for or benefit to DLearners under any
circumstances to any Government Official or any private person.
-
However, DLearners acknowledges that the exchange of nominal gifts or souvenirs of a nominal
value (e.g., bouquets, pens, calendars, diaries, etc.) which are customarily given on special
events/ occasions and is infrequent in nature. In any case, such gifts shall not be lavish or in
the form of cash or cash equivalents, and any such instances and offers or receipts (whether
accepted or not by any person directly or indirectly) should be immediately reported to the
Head-Human Resources. All persons need to exercise sound judgment in identifying inappropriate,
frequent, or material gifts and shall avoid the same to maintain integrity and independence.
-
Reasonable and appropriate hospitality is not prohibited if the person offering it is in
attendance. However, it shall be strictly limited to meals as may be offered (to and/ or
received) and only if it is reasonable and justifiable in all circumstances, taking into account
reason and nature, appropriate type, value, given at an appropriate time and not made with the
intention of influencing or to obtain or retain business or a business advantage, or to reward
the provision or retention of business or a business advantage, or in explicit or implicit
exchange for favors or benefits.
-
The giving or receipt of gifts by a Person is not prohibited, if:
-
It complies with this Policy and all applicable anti-bribery and anti-corruption laws.
-
There is a legitimate business purpose to support gifts-related expenses and are not
given or received in return for a favor / favorable treatment or to refrain from doing
something disadvantageous to learners.
-
Considering, the reason and nature of the gift, it is of an appropriate type and value
and given at an appropriate time; and
-
Gifts are not offered to or accepted by politicians or political parties or Government
Officials.
Stakeholders
-
As may be applicable, a Stakeholder appointed to act on behalf of DLearners must be selected
based on their commercial and technical expertise and DLearners’s need for the products or
services. No person or entity may be appointed based on a relationship with a Government
Official, government department, or business associate, or because of a family connection or
friendship. Prior to entering a relationship, DLearners requires its employees to conduct
appropriate due diligence in accordance with its procedures to ensure that such a stakeholder is
a legitimate service provider and to identify circumstances suggesting that such stakeholder has
not engaged or may not be engaging in illegal or unethical conduct. Any red flags discovered
prior to commencement or during the course of the business relationship must be reported to shreenath@dlearners.in for further investigation.
Should any employee / Person discover any illegal or unethical conduct by such stakeholder, he /
she should report this to deepika@dlearners.in at the
earliest.
-
DLearners has zero tolerance for any conduct by any external entity in contravention of this
Policy or any anti-bribery and anti-corruption law. DLearners and its employees may be subject
to civil and/or criminal liability if such stakeholders, including contractors, suppliers,
distributors, joint venture partners, and other business partners, engage in any activity
violating this Policy or any anti-bribery and anti-corruption law.
-
As may be applicable, a stakeholder, at the start of any relationship with DLearners is required
to be in compliance with the applicable anti-bribery and anti-corruption laws and shall comply
with this Policy.
Charitable Donations
-
DLearners may make charitable donations that are legal and ethical under local laws and
practices. It ensures that the charity or support is for a legitimate cause and that donations
are not being used as a channel for Bribery.
-
Any Stakeholder may also, in their personal capacity, make donations that are legal and ethical
under local laws and practices. However, it must be ensured that charitable contributions are
not used as a scheme to conceal Bribery.
Political Contributions
DLearners does not make contributions to any political party or politicians. Stakeholders must not
use DLearners’s name or trademark for political activities of any kind or provide money or other
forms of support to political parties on behalf of DLearners.
6. Restrictive Practices
An illustrative list of acts/practices that are restricted/prohibited under this Policy shall
include but not be limited to:
-
Dishonest misappropriation of property/money, criminal breach of trust, and cheating, as defined
under Indian Penal Code 1860 (“IPC”).
-
Receiving or giving bribes.
-
Acceptance/giving of gifts over and above the extent and the manner as allowed in this Policy.
-
Gifts on behalf of DLearners, its employees, and other stakeholders in the form of cash or kind,
in any currency.
-
Charity or sponsorship in order to obtain commercial advantages.
-
Participation / contribution in / to political activities.
-
Payment of any costs for Government Officials and their relatives (or in their interests).
-
Any other unethical act or omission; and
-
To use partners, agents, joint ventures, intermediaries, or other persons for any actions that
are contrary to the principles and requirements of the Policy or the rules of the applicable
anti-bribery and anti-corruption law.
7. Record Keeping and Internal Controls
-
DLearners shall keep books, records and accounts in reasonable detail that accurately and fairly
reflect all transactions and disposition of DLearners’s assets.
-
DLearners shall maintain internal controls to prevent and detect potential violations of this
Policy or of applicable laws. All Persons must completely and accurately document the amount of
all transactions, including payments made on behalf of or expenses incurred by DLearners.
-
Records and documents generated in connection with the principles set forth in this Policy,
including, but not limited to, any diligence files and contracting documents, must be maintained
and stored.
-
Violation of this Policy may result in legal action / disciplinary action.
8. Reporting Violations
-
All Stakeholders are encouraged to raise concerns about any issue or suspicion of non-compliance
with this Policy on shreenath@dlearners.in / deepika@dlearners.in . If they are unsure whether a
particular act constitutes Bribery or corruption, they should immediately contact the concerned
Business Head.
-
DLearners aims to encourage genuine reporting of non-compliance and will support anyone who
raises concerns in good faith under this Policy.
-
DLearners endeavours that no one suffers any detrimental treatment because of refusing to take
part in Bribery or corruption, or because of reporting in good faith their suspicion of an
actual or potential Bribery or other corruption-related offence.
-
DLearners will investigate all allegations relating to corruption and Bribery and take legal or
disciplinary action as may be deemed appropriate. All reports under this Policy would receive
confidential treatment and DLearners would protect the identity of any person who reports a
suspected violation. DLearners will prefer that persons identify themselves to facilitate the
investigation of any report. However, in case the concerned person wishes to report anonymously,
he/she may do so. DLearners will also use its best efforts to protect the identity of the person
about or against whom an allegation is brought, unless and until it is determined that a
violation has occurred.
-
Any use of the reporting procedures in bad faith or in a false or frivolous manner will be
considered a violation of the code of conduct, and the reporter may be subject to disciplinary
action, up to and including termination.
9. Training & Communication
-
DLearners ensures that it has adequate procedures to combat threats relating to bribery and
corruption. Accordingly, DLearners provides appropriate training for its employees on prevalent
anti-bribery & anti-corruption laws, their role and importance; to be in conformance with legal
requirements and in compliance thereof.