IJN Holdings Sdn. Bhd. are committed to the highest standards of integrity and uphold a zero-tolerance approach towards all forms of bribery and corruption.
IJN is committed in implementing Anti-Bribery and Anti-Corruption Policy (the Policy) to all staff members and organizational activities and their relationship with the stakeholders to ensure that all chances and opportunities of corruption and abuse of power can be effectively and efficiently addressed.
In line with the commitment to conduct business free from any corruption offence under any law such as the MACC Act 2009 and Penal Code, IJN has adopted a Gift Policy, which prohibits employees of IJN from receiving any gifts from customers and third parties, subject only to certain narrow exceptions. The policy is adopted to avoid conflicts of interest or the appearance of such conflicts for either party.
IJN Sponsorship Policy sets out principles and guidelines for both seeking and offering sponsorship of IJN activities by individuals or organizations including clubs and community groups. All sponsorship offered or accepted by IJN must be compatible with IJN business activities and reflect the Company’s commitment to operate in an ethical manner.
IJN encourages its employees to conduct business-dealings with vendors that uphold the principles of good corporate governance, integrity, transparency, independence, accountability, fairness and social responsibility. The Policy applies to the entire IJN Group, its employee, current and potential vendors and their family members. Any violation of this policy may result in disciplinary actions being invoked against that party, in addition to any contractual or legal remedies.
IJN hold the highest standards of business practice and corporate integrity. We are committed in delivering transparency with any respective parties pertaining to business dealings. This policy serves a channel for declaration of interests in business operations and serves as a guideline in conducting business ethically.
IJN is aware that it may be held liable for act of corruption by our associated parties or any individual or entity that has some form of business relationship. IJN Due Diligence Policy was established to protect reputation and promote transparent business practice.
IJN is committed to the highest standard of integrity and accountability in the conduct of its business and operations. It also protects the employees from victimization, harassment or disciplinary action as a result of any disclosure made in good faith.
Recognizing the abovementioned commitment, this policy covers situation where an individual (the whistleblower) raises a complaint about a risk, malpractice or wrongdoings that affects others such as customers, suppliers, and other employees or public interest.
Subject to:
Disclosure can be made to ANY of the following reporting channels, in strict confidential manner:
IJN is following the best practice of ANTI-MONEY LAUNDERING, ANTI-TERRORISM FINANCING AND PROCEEDS OF UNLAWFUL ACTIVITIES ACT (AMLATFPUAA) 2001 that is imposed by the Government of Malaysia and Bank Negara Malaysia (BNM). The act is to reinforce a culture of compliance in combatting money laundering in the organization.
The policy outlines the following statements:
Disclosure can be made through the following reporting channels, in a strict manner: