Expected strategic result 2.4.4.4. Methodological assistance has been provided to private business entities on the practice of applying anticorruption standards, identifying corruption risks in their operations, as well as developing and implementing effective anticorruption programs aimed at eliminating these risks
Measures — 2
2.4.4.4.1.
Developing and approving methodological documents on building an integrity-based (effective) organization, identifying and eliminating risks of corruption in the operations of a legal entity, particularly:
1) when analyzing agreements and contracts signed with legal entities;
2) during business hospitality events;
3) in employment relations;
4) in matters of ensuring observance of sanctions laws;
5) when business entities engage in charitable activities.
The main implementer: National Agency on Corruption Prevention
2.4.4.4.2.
Developing and approving methodological documents on the practice of application of standards of integrity (anticorruption standards), particularly in matters of:
1) organizing the workflows of the anticorruption compliance function and anticorruption compliance units;
2) the content of job descriptions with the functions of anticorruption compliance officers or individuals tasked with performing their functions;
3) conducting anticorruption compliance investigations.
The main implementer: National Agency on Corruption Prevention
Indicators — 2
Methodological documents on building an integrity-based (effective) organization, identifying and eliminating risks of corruption in the operations of a legal entity have been approved, particularly:
a) when analyzing agreements and contracts signed with legal entities (10 percent);
b) during business hospitality events (10 percent);
c) in employment relations (10 percent);
d) in matters of ensuring observance of sanctions laws (10 percent);
d) when business entities engage in charitable activities (10 percent).
Methodological documents on the practice of application of standards of integrity (anticorruption standards) have been approved, particularly in matters of:
a) organizing the workflows of the anticorruption compliance function and anticorruption compliance units (20 percent);
b) the content of job descriptions with the functions of anticorruption compliance officers or individuals tasked with performing their functions (20 percent);
c) conducting anticorruption compliance investigations (10 percent).