Workers, Sub-contractors, suppliers and all JG-I affiliates shall conduct business in compliance with all applicable federal, provincial and local laws and regulations while conducting business on behalf of JG-I Group of Companies Canada Inc. including the listed below:
- Comply with the Canadian Corruption of Foreign Public Officials Act (CFPOA), which applies to persons and companies and makes it a criminal offence for persons or companies to bribe foreign public officials to obtain or retain a business advantage.
- Comply with the Canadian Competition Act, which is a federal law governing most business conduct in Canada. It contains both criminal and civil provisions aimed at preventing anti‑competitive practices in the marketplace.
- Comply with the Canadian Proceeds of Crime (Money Laundering) and Terrorist Financing Act, vow to not willfully or knowingly participate in a money-laundering scheme or avoid tax liability.
- Comply with all applicable federal, provincial and local laws regarding hazardous materials, emissions, waste and waste water management, and the transportation, storage and disposal of such materials.
- Comply with the Canadian Personal Information Protection and Electronic Documents Act (PIPEDA)
- Act and respond truthfully in any correspondence with government officials and agencies
- Comply with the Criminal Code of Canada (Criminal Code) which includes laws against human trafficking cases including kidnapping, forcible confinement, uttering threats, extortion, assault, sexual assault, prostitution-related offences, and criminal organization offences.
- Obtain and maintain all applicable permits and licenses required to conduct specified work tasks for which they have been employed
- Prohibit any facilitating payments, unless they are pre-approved in writing by a legal representative, allowed under all applicable anti-corruption laws and properly and accurately accounted for in the Company’s records
- Refuse gifts and services offered as a means of bribery including money or expensive gifts in exchange for services outside of the agreed contract. Note: Acceptance of nominal gifts, such as marketing merchandise and other gifts of minimal value given in no way related to bribery or as a condition of a project may be permitted.