+ All Categories
Home > Documents > Presentation for BRCC Evening Briefing 25 June 2014

Presentation for BRCC Evening Briefing 25 June 2014

Date post: 13-Jul-2015
Category:
Upload: neil-mcgregor
View: 43 times
Download: 2 times
Share this document with a friend
Popular Tags:
13
THE UK BRIBERY ACT 2010 APPLICATION IN ROMANIA BRCC Evening Briefing– 25 June 2014 1/13
Transcript
Page 1: Presentation for BRCC Evening Briefing 25 June 2014

THE UK BRIBERY ACT 2010

APPLICATION IN ROMANIA

BRCC Evening Briefing– 25 June 2014 1/13

Page 2: Presentation for BRCC Evening Briefing 25 June 2014

WHO IS AFFECTED? - 1

HOW DOES THE UK’S BRIBERY ACT 2010 AFFECT BUSINESS IN ROMANIA?

Individuals

Individuals are affected primarily if they are:

British;

OR

ordinarily resident in the UK.

These individuals can commit basic offences under the UK’s Bribery Act 2010 anywhere in the world.

Companies are subject to these provisions if they are incorporated in any part of the UK.

BRCC Evening Briefing– 25 June 2014 2/13

Page 3: Presentation for BRCC Evening Briefing 25 June 2014

WHO IS AFFECTED? - 2

Directors and senior officers

Companies which are subject to the UK’s Bribery Act 2010 have directors and senior officers.

Senior officers include managers.

Directors and senior officers of companies which are liable for basic offences are also liable if the offences were committed by the company with their consent or connivance, BUT

where acts constituting the primary offences take place outside the UK, only those with close connections with the UK will be potentially liable;

where the primary offences take place in the UK, all directors and senior officers will be potentially liable (i.e. including those who are not British / do not ordinarily reside in the UK).

BRCC Evening Briefing– 25 June 2014 3/13

Page 4: Presentation for BRCC Evening Briefing 25 June 2014

WHAT ARE THE BASIC OFFENCES?

BRIBING ANOTHER PERSON

Covers offering, promising or giving a financial or other advantage.

Intention to influence or reward, or knowledge that acceptance of the advantage will constitute improper performance.

BEING BRIBED

Covers requesting, agreeing to receive or accepting a financial or other advantage.

BRIBERY OF A FOREIGN PUBLIC OFFICIAL

Overlap with the basic offence of bribing another person, BUT there is no requirement of proof of an intention to bribe the foreign public official or of improper performance.

The foreign public official must not be permitted or required by applicable written law to be influenced.

BRCC Evening Briefing– 25 June 2014 4/13

Page 5: Presentation for BRCC Evening Briefing 25 June 2014

WHAT IS BRIBERY?

THE UK’S BRIBERY ACT 2010 CONTAINS STATUTORY TESTS OF WHAT IS, OR IS NOT, BRIBERY

THESE STATUTORY DEFINITIONS WILL BE AS INTERPRETED BY THE UK COURTS IN BINDING JUDICIAL DECISIONS

THE DEFINITIONS OF BRIBERY, CORRUPTION, TRAFFIC OF INFLUENCE, PAGĂȘ , ETC. UNDER ROMANIAN LAW ARE NOT RELEVANT TO LIABILITY UNDER THE UK’S BRIBERY ACT 2010

The “elephant test”.

“FACILITATION PAYMENTS”

Difference of approach between the UK’s Bribery Act 2010 and US legislation.

BRCC Evening Briefing– 25 June 2014 5/13

Page 6: Presentation for BRCC Evening Briefing 25 June 2014

ANOTHER KEY DIFFERENCE

IN WHICH CIRCUMSTANCES IS BRIBERY AN OFFENCE UNDER THE UK’S BRIBERY ACT 2010?

Foreign public officials (obviously) – as with the US legislation – BUT ALSO:

Anyone performing an activity connected with a business, trade or profession;

Anyone performing an activity in the course of their employment; and

Anyone performing an activity on behalf of a body of persons (whether or not incorporated).

Where there is a position of trust OR there are expectations of:

good faith; or

impartiality.

BRCC Evening Briefing– 25 June 20146/13

Page 7: Presentation for BRCC Evening Briefing 25 June 2014

IMPROPER PERFORMANCE

Improper performance of a function or activity is assessed by reference to the expectations of good faith or impartiality or expectations of performance of a position of trust.

N.B. The test is what a reasonable person in the UK would expect.

Local practices, customs and opinions are to be disregarded unless they are:

permitted;

or

required

under local written law.

BRCC Evening Briefing– 25 June 20147/13

Page 8: Presentation for BRCC Evening Briefing 25 June 2014

LIABILITY FOR “ASSOCIATES”

A MAJOR CHANGE TO THE LAW – DISTINCT FROM THE BASIC OFFENCES

Failure of commercial organisations to prevent bribery.

Automatic liability if an “associate” commits bribery for your benefit (prosecution of the “associate” is not necessary for the offence to be committed).

Bribery means the basic offences under the UK’s Bribery Act 2010 BUT ignoring the requirement for a close connection to the UK.

Applies to:

companies incorporated in the UK; AND

companies (wherever incorporated) carrying on business (or part of a business) in the UK.

BRCC Evening Briefing– 25 June 2014 8/13

Page 9: Presentation for BRCC Evening Briefing 25 June 2014

WHO ARE “ASSOCIATES”?

“ASSOCIATES”

Perform services for you or on your behalf (in Romania?)

In any capacity

Test is determined by all of the relevant circumstances (with a presumption that employees perform services for you).

May be:

employees;

agents; or

subsidiaries; or

others?

BRCC Evening Briefing– 25 June 2014 9/13

Page 10: Presentation for BRCC Evening Briefing 25 June 2014

THE DEFENCE?

“ADEQUATE PROCEDURES”

Proportionate procedures;

Top-level commitment;

Risk assessment;

Due diligence;

Communication (including training);

Monitoring and review.

BRCC Evening Briefing– 25 June 2014 10/13

Page 11: Presentation for BRCC Evening Briefing 25 June 2014

MORE TO CONSIDER

The UK’s Bribery Act 2010 should not be considered in isolation.

There are the various secondary offences: conspiracy, procuring, aiding and abetting, etc.

Financial proceeds from business obtained or retained is likely to be treated as property obtained from unlawful conduct for money laundering purposes.

Potential civil liability to:

the state (disgorgement of profits); and

injured competitors.

Blacklisting.

BRCC Evening Briefing– 25 June 2014 11/13

Page 12: Presentation for BRCC Evening Briefing 25 June 2014

THANK YOU FOR YOUR ATTENTION!

BRCC Evening Briefing– 25 June 2014 12/13

Page 13: Presentation for BRCC Evening Briefing 25 June 2014

This briefing is not a substitute for formal legal advice; if you need further information, please contact:

Neil McGregor / Boiana Berchi / Simona Lehniuc

McGregor & Partners S.C.A.Str. Popa Savu no. 18, Sector 1, Bucharest 011433, Romania

Telephone:+40 21 222 04 88Fax: +40 11 312 16 46

E-mail:

[email protected]@mcgregorlegal.eu

[email protected]

Website: www.mcgregorlegal.eu

BRCC Evening Briefing– 25 June 2014 13/13


Recommended