At Rockwell Collins, we take anti-bribery laws very seriously and have a zero tolerance policy on corruption. Company policies are in place to ensure our employees operate in compliance with the FCPA, UK Bribery Act, and other anti-corruption laws in the countries in which we do business. This includes policies that prohibit facilitation payments, political or charitable contributions without prior approval, and any payments with corrupt intent.
We've developed a comprehensive anti-corruption program and have a dedicated International Compliance team that works to identify operational and third party risk areas, conduct appropriate due diligence, ensure operating procedures address the risk and raise awareness of potential issues and best practices through regular employee outreach and communications. The team also participates in and speaks at anti‐corruption conferences around the globe.
Our gratuities and business courtesies guidelines are clearly outlined in a chart that employees can download as a PDF or interactive mobile application on their portable electronic devices. All employees are expected to follow these guidelines and seek appropriate approvals before offering or receiving gifts that may violate our policies or anti-bribery laws.
Download copies of our anti‐bribery guidelines in the US and in other countries where we do business: