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Anti- Bribery and Anti-Corruption Policy

Overview

  1. In conformance with all applicable laws and regulations on anti-bribery and anti-corruption, notably the Malaysian Anti-Corruption Commission Act 2009 ("the MACC Act 2009") and all guidelines issued by relevant authorities corresponding to the same, MCCE Consultant and its related stakeholders are fully committed to conducting their business with the highest integrity.

  2. We are faithful to abide by all applicable laws pertaining to anti-bribery and anti-corruption in Malaysia and have a zero-tolerance stance against all forms of bribery and corruption.

  3. Should you have any knowledge of, or reasonable belief of the existence of an attempted, suspected, or actual bribery or reason to suspect any violation of the policy and the related laws, you may report it in good faith via the following channels:

(a) Using our contact form;
(b) By mail at 723M-1, Vanda Business Park, Jalan Sungai Dua, 11700 Gelugor, Penang;
(c) By phone at +604-305 6556; and
(d) By email at project@mcce.com.my.

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Introduction

  1. This Anti-Bribery and Anti-Corruption Policy outlines MCCE Consultant's guiding principles for dealing with unethical solicitation, bribery, and other corrupt acts that may emerge in the course of conducting business.

  2. This policy should be read in conjunction as follows:

(a) The MACC Act 2009;

(b) The Guidelines on Adequate Procedures pursuant to Subsection (5) of Section 17A under the MACC Act 2009 issued by the Prime Minister's Department; and

(c) Other pertinent anti-bribery and anti-corruption laws and regulations in Malaysia.

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Applicability

  1. This Policy is applicable to MCCE Consultant and its stakeholders which include:

(a) Directors; 

(b) Employees; 

(c) Business Associates which consist of clients, consultants, contractors, suppliers, outsourcing providers, investors, etc.; and

(d) All parties engaged directly or indirectly in the affairs of MCCE Consultant.


Policy Statements

  1. MCCE Consultant possesses a firm rule of not accepting any sort of bribery or corruption. All the representatives, business partners and employees should be held accountable for upholding the company's reputation through ethical and transparent corporate practices.

  2. We will not accept bribery or corruption directly or indirectly through third parties, whether expressly forbidden by Anti-Bribery and Anti-Corruption Policy, laws, or otherwise. Such acts of corruption may include but not limited to the following:

(a) Conflict of interest;

(b) Gift, entertainment and hospitality;

(c) Sponsorship and donation;

(d) Political contribution; 

(e) Facilitation payment; and

(f) Money laundering.

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