No offering of bribes
Money, benefits or advantages must not be offered to secure improper treatment, business or influence.
Professionally managed chauffeur and passenger transport for private, corporate, aviation and procurement clients.
Black Fleet London is committed to conducting business honestly, transparently and without bribery, corruption, improper payments or inappropriate influence.
This public policy summarises Black Fleet London’s anti-bribery controls and expectations. Detailed reporting routes, risk records and investigation procedures are maintained separately where appropriate.
The purpose of this policy is to establish Black Fleet London’s prohibition of bribery and corruption and to explain the standards expected when representing, supplying or conducting business with the company.
Anti-bribery considerations form part of procurement, supplier onboarding, account management, payment controls, hospitality, partnerships and other commercial decision-making.
No person acting for or on behalf of Black Fleet London may offer, promise, give, request, agree to receive or accept an improper financial or other advantage.
Money, benefits or advantages must not be offered to secure improper treatment, business or influence.
Individuals must not request or accept benefits in exchange for improper decisions or preferential treatment.
A third party, intermediary, supplier or representative must not be used to perform an act prohibited by this policy.
Unofficial payments intended to accelerate or secure routine action are prohibited, except where personal safety is genuinely threatened.
No person should suffer retaliation for refusing a bribe or raising a genuine concern in good faith.
Payments, benefits, discounts and commercial arrangements must be recorded accurately and not concealed through false descriptions.
Bribery is not limited to envelopes of cash. The circumstances, intention, recipient and expected outcome must all be considered.
Direct payments, concealed fees, kickbacks, rebates or personal transfers.
Excessive or strategically timed gifts, travel, accommodation, entertainment or meals.
Improper allocation, supplier approval, pricing, payment or access to confidential opportunities.
Jobs, contracts or commercial opportunities offered to improperly influence a decision.
Donations used as a route to secure improper commercial or official influence.
Political support connected to an expected business or regulatory advantage.
Personal discounts, credits or refunds not connected to a legitimate commercial purpose.
Free journeys, personal services or benefits supplied in exchange for improper influence.
Controls should reflect the company’s size, activities, relationships and bribery risks.
Leadership should communicate that bribery is unacceptable and support ethical commercial conduct.
Relevant geographical, transactional, supplier and partnership risks should be considered.
Proportionate checks should be applied to individuals and organisations performing services for the company.
Relevant expectations and reporting routes should be understood by those exposed to bribery risk.
Procedures should be reviewed against incidents, business change and emerging risk.
Genuine and proportionate hospitality may support legitimate business relationships. It must not be offered or accepted to obtain an improper advantage, influence a live decision or create an undisclosed obligation.
Is there a genuine business purpose unrelated to improper influence?
Is the value reasonable considering the relationship and circumstances?
Could the recipient still make an impartial decision?
Could the benefit be openly recorded and explained?
Would a reasonable third party consider it proper?
A gift, benefit or hospitality arrangement should be declined or referred for review where its purpose, value, timing or recipient creates concern.
Black Fleet London prohibits unofficial payments intended to secure or accelerate routine government, regulatory, administrative or commercial activity.
A demand should be refused and reported unless the individual reasonably believes that refusal would create an immediate threat to personal safety.
A conflict may arise where personal, family, financial or other relationships could affect—or appear to affect—an individual’s independence and judgement.
A conflict is not necessarily wrongdoing, but it must be disclosed and managed transparently.
Black Fleet London may be exposed to liability and reputational harm through individuals and organisations performing services on its behalf. Appropriate third-party controls are therefore important.
The organisation or individual performing the service should be identifiable and appropriately established.
Services, commissions and payments should have a genuine and documented commercial purpose.
Compensation should be reasonable for the service and paid through transparent channels.
Suppliers should understand the prohibition of bribery, improper payments and hidden benefits.
Unauthorised subcontracting or unidentified intermediaries should not be used to conceal payments or influence.
Suppliers should report credible concerns and cooperate with proportionate enquiries.
Invoices, commissions, discounts, expenses, gifts and other commercial transactions should be described accurately and supported by appropriate evidence.
False, misleading or incomplete records must not be created to conceal an improper payment or benefit.
Requests for payment to unrelated individuals, unexplained cash transactions, excessive commissions or refunds to different accounts should be reviewed before processing.
Commercial urgency must not override reasonable verification.
Employees, contractors, operators, chauffeurs and suppliers should report requests, offers or conduct that may involve bribery, corruption, kickbacks or improper influence.
Individuals should not attempt to conceal a concern or conduct an unauthorised investigation themselves.
Consider confidentiality, evidence preservation and any immediate risk.
Review the credibility, seriousness and commercial context of the concern.
Obtain appropriate internal, professional or regulatory support where needed.
Apply corrective, contractual or disciplinary action and improve controls.
Black Fleet London does not tolerate retaliation against a person who refuses to participate in bribery or raises a genuine concern in good faith, even where the concern is not ultimately substantiated.
Demonstrates senior-level commitment, approves the policy and oversees significant risks and investigations.
Apply payment, supplier, allocation and record-keeping controls and escalate unusual arrangements.
Conduct business without bribery, maintain transparent records and report credible concerns.
Refuse improper requests, disclose conflicts and seek guidance where circumstances are unclear.
Relevant employees, contractors and suppliers should receive proportionate information concerning bribery risks, gifts, conflicts, financial controls and reporting routes.
Additional guidance may be issued for procurement, international activity, public-sector relationships or higher-risk transactions.
Black Fleet London may review supplier onboarding, unusual payments, gifts and hospitality, conflicts, concerns raised and corrective actions.
This policy should be reviewed at least annually and following a significant concern, business change or relevant legal development.
A breach may result in removal from an assignment, suspension of access, termination of a supplier or contracting relationship, disciplinary action or referral to an appropriate authority.
Ethical, operational and transparency requirements for suppliers and operators.
Protected reporting routes for serious wrongdoing and improper conduct.
Human-rights, supply-chain and responsible working commitments.
Corporate clients and prospective partners may contact Black Fleet London regarding ethical-business controls, supplier onboarding, procurement requirements or proportionate supporting evidence.