Anti Bribery Corruption Policy

Last Updated: 18th June 2025

Message from Managing Director

 

Dear Colleagues,
Corruption is a threat to our business. Failure to comply with the laws and regulations applicable to our business and operations can create liability and reputational harm to the Company. Violations of law will not be tolerated and will be the subject of disciplinary action.



 

As a part of the Company’s commitment to maintaining a high standard of business conduct, direct or indirect involvement in acceptance or payment of bribes or use of company funds or assets for any other illegal, improper, or unethical purpose is unacceptable and prohibited. The Company has a zero-tolerance approach towards bribery and corruption.



 

This anti-bribery and anti-corruption Policy is adopted by the company to help its officers, board members, directors, employees and third parties comply with all laws, domestic and foreign, prohibiting improper payments, gifts or inducements of any kind to and received from any person, including officials in the private or public sector, customers and suppliers.



 

As a Company, we owe it to our customers, our communities, our shareholders, and ourselves to conduct our business according to high ethical standards and in accordance with all applicable laws of the countries where we operate. All officers, directors, employees, agents, and other third-party representatives are expected to conduct business for or on behalf of Omnilink Technology Pvt Ltd in an honest, ethical and professional manner at all times.  

 

This Anti- Bribery and Anti-Corruption (“ABAC”) Policy reflects our commitment to integrity in all dealings with our customers and other stakeholders. The procedures in this Policy apply to all of Omnilink Technology Pvt Ltd (“OTPL”), and its subsidiaries’/joint ventures/associates officers, directors, employees, agents and other third-party representatives regardless of citizenship or place of employment. Many of the policies and procedures also apply to third parties that OTPL engages in the course of its business. 

 

OTPL’s commitment to compliance extends to all parts of the country where OTPL has a presence. 

 

The Compliance Officer is primarily responsible for overseeing the compliance program outlined in this Policy. Other departments and Functions are responsible for implementing the procedures as set forth in the Policy, and the Compliance Officer may assign, as necessary, responsibility for implementation of these procedures to other employees.  

 

Compliance with ABAC Policy is essential from an ethics and business perspective. Thank you in advance for your attention and commitment to compliance.

 

For more details, please refer Anti-bribery & Anti-Corruption Policy

Rajesh Kumar Dora, Managing Director, Omnilink Technology Pvt Ltd

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