
Learn how LINEV Systems EU UAB actively prevents corruption through a clear Anti-Corruption Policy, strict behavioral principles, and ISO 37001:2017-compliant controls. Discover employee duties, reporting mechanisms, and legal responsibilities.
LINEV Systems EU UAB applies the Anti-Corruption Policy in all business activities, including the design, development, production, installation, and maintenance of instruments and equipment based on X-ray, ionizing, and electromagnetic radiation technologies.
The company does not tolerate any forms of corruption, regardless of the degree or extent of involvement. Any employee who engages in corrupt activities, regardless of their position, responsibilities, or contributions to the company, will be held accountable under applicable legal provisions.
All employees must resist any persuasion to give or accept a bribe. Employees must reject any requests from clients or business partners for bribes or any other form of valuable compensation.
Employees are strictly prohibited from offering or accepting facilitation payments, which are payments made to encourage or expedite routine administrative processes.
Anti-corruption management system measures must comply with the laws of the Republic of Lithuania and other applicable international anti-corruption regulations.
The company avoids conflicts of interest or situations that may contradict an employee’s professional responsibilities. Employees are expected to act in the best interests of LINEV Systems EU UAB and make decisions uninfluenced by personal interests.
Employees are continuously informed about the company’s Anti-Corruption Policy and are involved in implementing anti-corruption control measures.
Anti-corruption control measures are designed and implemented according to the level of identified corruption risks.
The company prioritizes anti-corruption control measures that are simple to implement, provide significant benefits, and do not become a burden to the company.
To continuously improve the anti-corruption management system, the company regularly monitors the implementation of anti-corruption measures and evaluates the effectiveness of its Anti-Corruption Policy.
The primary entities responsible for forming and implementing the company’s anti-corruption management system are the Company Director and the Employee Responsible for Corruption Prevention (Compliance Officer). The Director may allocate additional human resources to support the implementation of the anti-corruption management system.
All employees of the company are personally responsible for understanding, complying with, and implementing the anti-corruption management system requirements related to their duties.
Employees are encouraged to report any observed or suspected violations of the Anti-Corruption Policy, conflicts of interest, or potential corruption cases. Reports can be submitted via email to korupcija@linevsystems.eu.
The company is committed to maintaining the confidentiality of whistleblowers and will take all possible measures to ensure that individuals who report suspected violations of the Anti-Corruption Policy, corruption cases, or conflicts of interest do not suffer negative consequences as a result.
Cases of Anti-Corruption Policy violations may be disclosed through internal communication channels, provided that such disclosures do not violate data protection regulations.
Violations of the Anti-Corruption Policy may be considered a serious breach of work duties and may result in consequences as specified by Lithuanian law.
If a violation of the Anti-Corruption Policy constitutes a criminal offense, it will be reported to the relevant authorities, and legal action may be taken.