Anti-Bribery & Anti-Corruption Policy
- Applies to:
- Employees
- Contractors
- Agents
- Suppliers
- Partners
- Applies to:
- Employees
- Contractors
- Agents
- Suppliers
- Partners
EFFECTIVE DATE
January 1, 2025
LAST UPDATED
January 30, 2026
APPROVED BY
Board of Directors
POLICY OWNER
Legal & Compliance
EFFECTIVE DATE
January 1, 2025
LAST UPDATED
January 30, 2026
EFFECTIVE DATE
January 1, 2025
LAST REVIEWED
January 30, 2026
APPROVED BY
Board of Directors
POLICY OWNER
Legal & Compliance

Zero Tolerance
Zoiko Foods Corp maintains a zero-tolerance policy for bribery, corruption, kickbacks, and facilitation payments.
Zero Tolerance
Our Commitment
Zero tolerance for bribery, corruption, kickbacks, facilitation payments
Compliance with FCPA, UK Bribery Act, and local laws
Clear rules on gifts, hospitality, travel, expenses
Risk-based due diligence for third parties
Accurate books & records with financial controls
Serious consequences including termination
1. Scope & Applicability
Who This Policy Applies To
This policy applies to all individuals and entities acting on behalf of Zoiko Foods Corp, including:
- Employees: All employees, regardless of position or location
- Directors and Officers: Board members and executive management
- Interns and Temporary Workers: All temporary staff and interns
- Contractors and Consultants: Independent contractors performing services
- Agents and Intermediaries: Sales agents, brokers, distributors, customs agents, lobbyists
- Suppliers and Partners: Expected to maintain similar standards
Geographic Scope
This policy applies to all business activities in all geographies andjurisdictions where Zoiko Foods Corpoperates,including NorthAmerica,the Caribbean, Europe, Africa, and Asia.
Situations Covered
- Procurement and supplier relationships
- Sales and customer relationships
- Logistics, customs, and regulatory interactions
- Government permits, licenses, inspections
- Marketing, sponsorships, charitable contributions
Stricter Standard Applies
If local law is more restrictive than this policy, the stricter standard applies.
2. Definitions & Examples
Key Terms
Bribery
Offering, giving, soliciting, or receiving anything of value to influence a business decision or gain improper advantage.
Corruption
Bribery
Offering, giving, soliciting, or receiving anything of value to influence a business decision or gain improper advantage.
Kickback
Facilitation Payment
Anything of Value
Includes but is not limited to:
- Cash, checks, wire transfers, cash equivalents
- Gifts (items, gift cards, vouchers)
- Meals, entertainment, hospitality
- Travel, accommodation, transportation
- Services, favors, business opportunities
- Employment offers or internships
- Charitable donations or sponsorships
- Loans, guarantees, debt forgiveness
Food & Beverage Industry Examples
Prohibited Examples
- Payment to a retailer's buyer to secure shelf placement
- Cash to customs official to expedite clearance
- Meals, entertainment, hospitality
- Lavish hospitality tied to contract renewal
- "Consulting fee" without documented services
- Donation requested by official for a permit
- Gift to inspector during inspection
3. Prohibited Conduct
The following activities are strictly prohibited:
- Bribes: Offering, promising, giving, or accepting bribes
- Kickbacks: Undisclosed payments, side deals, secret commissions
- Facilitation Payments: Payments to speed routine government actions
- Indirect Bribery: Using third parties to do what we cannot do directly
- False Documentation: Creating false invoices, sham contracts, off-book transactions
- Improper Influence: Any attempt to improperly influence decisions
- Charitable donations or sponsorships
- Retaliation: Against those who report concerns in good faith
When in Doubt
When in Doubt
If unsure whether an action is permissible, do not proceed. Contact Legal or Compliance at compliance@
zoikofoods.com
4. Gifts, Hospitality, Travel & Expenses
Core Principles
Gifts and hospitality must be:
- Reasonable: Modest in value and appropriate
- Proportionate: Not excessive or lavish
- Infrequent: Not a pattern of repeated gifts
- Transparent: Properly documented and disclosed
- Not Intended to Influence: Never tied to decisions
- Compliant: Must comply with policy and local law
Decision Table
✓ Allowed (No Pre- Approval)
- Nominal branded promotional items
- Modest refreshments during meetings
- Gifts below threshold
⚠️ Requires Pre-Approval
- Travel and lodging expenses
- Expensive meals or entertainment
- Gifts above threshold
- Anything involving government officials
- Hospitality during negotiations
✕ Prohibited
- Cash or cash equivalents
- Lavish or excessive hospitality
- Gifts tied to pending decisions
- Gifts to secure advantage
- Anything violating local law
Government Officials - High-Risk
🚨 Special Rules for Government Officials
Any gift, meal, travel involving a government official requires pre-approval from Legal/Compliance, regardless of value. This includes:
- Customs and border officials
- Health and food safety inspectors
- Tax and revenue authorities
- Licensing and permit officials
- State-owned enterprise employees
- Politicians and political candidates
5. Facilitation Payments
Bright-Line Prohibition
Facilitation payments are prohibited under this policy, even where customary or permitted under local law.
What Are Facilitation Payments?
Small payments made to government officials to expedite routine actions such as:
- Processing visas, work permits, licenses
- Clearing goods through customs
- Providing utility services or inspections
- Issuing permits or certificates
If You Are Faced with a Demand
Assignment: Issues are assigned to the appropriate product or engineering team
Escalate Immediately: Contact manager and Legal/Compliance
6. Charitable Donations & Sponsorships
Core Principles
- Legitimate Purpose:For genuine charitable or community benefit
- No Improper Influence: Never to influence business or government
- Transparent: Properly approved, documented, disclosed
- Due Diligence: Recipients vetted for legitimacy
Pre-Approval Requirements
- Donations above threshold
- Requested by government officials
- Sponsorships connected to business partners
- Donations where conflicts of interest exist
🚨 Red Flags
- Donation requested by government official
- Timing coincides with pending contract
- Recipient has unclear governance
- Request to donate to individual not organization
- Lack of proper documentation
7. Third-Party Due Diligence
Who Counts as a Third Party?
- Agents and Representatives: Sales agents, distributors, brokers
- Consultants and Advisors: Business consultants, lobbyists, government relations
- Customs and Logistics: Customs brokers, freight forwarders
- Joint Venture Partners: Strategic alliance partners
Due Diligence Workflow (Pre-Engagement)
Assignment: Issues are assigned to the appropriate product or engineering team
Escalate Immediately: Contact manager and Legal/Compliance
Third-Party Red Flags
🚨 Warning Signs
- Refusal to disclose ownership structure
- Request for cash payments or third-country payments
- Unusually high commissions without justification
- Vague or generic service descriptions
- Close relationships with government officials
- Claims of "special access" or "inside connections"
- Poor documentation or resistance to audit clauses
- Requests to falsify invoices or split payments
8. Conflicts of Interest
Disclosure Requirements
Employees must disclose:
- Agents and Representatives: Sales agents, distributors, brokers
- Consultants and Advisors: Business consultants, lobbyists, government relations
- Customs and Logistics: Customs brokers, freight forwarders
- Joint Venture Partners: Strategic alliance partners
Disclosure Process
9. Books, Records & Financial Controls
Disclosure Requirements
All business transactions must be:
- Accurately Recorded: Reflect true nature and purpose
- Consultants and Advisors: Business consultants, lobbyists, government relations
- Customs and Logistics: Customs brokers, freight forwarders
- Joint Venture Partners: Strategic alliance partners
Prohibited Practices
- False Invoices: For services not rendered
- Sham Contracts: With no legitimate business purpose
- Customs and Logistics: Customs brokers, freight forwarders
- Joint Venture Partners: Strategic alliance partners
10. Training & Awareness
Mandatory Training
All employees must complete anti-bribery training:
- Upon Onboarding: Within first 30 days
- Periodic Refreshers: At least every 2 years
- Role-Specific Training: Enhanced for high-risk roles
- Updates: When material policy changes occur
High-Risk Roles
10. Training & Awareness
Enhanced training for:
- Procurement and sourcing teams
- Sales and business development
- Government relations and regulatory affairs
- Finance and accounting
- Senior management and executives
Report a Concern
If you are aware of, or suspect, modern slavery, forced labor, or human trafficking in our operations or supply
chains, please report it immediately.
📋 Online Report Form
Submit a confidential report
📞 Hotline (Optional)
[Toll-free number to be provided if implemented]
Non-Retaliation
What Happens Next
- Reports are triaged by our compliance team
- We conduct a confidential investigation
- Findings are escalated to appropriate management levels
- Remediation is implemented as needed
- You will receive a response if contact information is provided
12. Investigations, Enforcement & Consequences
Investigation Process
Consequences for Violations
For Employees
- Disciplinary action up to termination
- Recovery of financial losses
- Referral to law enforcement
- Loss of bonuses or compensation
For Third Parties
- Contract termination
- Blacklisting from future business
- Pursuit of damages
- Reporting to authorities
13. Governance, Ownership & Review
Policy Ownership
Version Control
- Effective Date: January 1, 2025
- Last Reviewed: January 30, 2026
- Next Review: January 2027
- Approved By: Board of Directors
Questions or Guidance
zoikofoods.com