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Anti-bribery and corporate gifts policy: Trustees, Council, Board and Committee members

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This policy applies to RCR trustees, Council, Board and Committee members. A similar policy exists for RCR employees and contractors.

The Bribery Act 2010 created a new offence which can be committed by organisations which fail to prevent persons associated with them from bribing another person on their behalf. The Act provides:

  • a general offence of bribery, which is defined as giving someone a financial or other advantage to induce them to perform their functions or activities improperly, or to reward them for having already done so.
  • an offence of bribing a foreign public official in order to win business, keep business or gain a business advantage for the organisation.
  • an offence relating to failure by a business to prevent a person associated with it from committing the above offences on its behalf in order to win business, keep business or gain a business advantage for the organisation.

An organisation that can prove it had "adequate procedures" in place to prevent persons associated with it from bribing will have a defence. What counts as adequate will depend on the bribery risks an organisation faces and the nature and size of the organisation.

See the Royal College of Radiologists’ policies and privacy notices.

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