FALKIN LTD
Anti-Bribery Policy
Last Updated: April 2026
Introduction
Falkin is committed to conducting all business with integrity and in compliance with applicable laws, including the UK Bribery Act 2010 and equivalent legislation in all jurisdictions in which we operate. We have zero tolerance for bribery and corruption in any form.
Scope
This policy applies to Falkin Limited, its directors, employees, contractors, and any third parties acting on our behalf.
Our Approach
Falkin prohibits the offering, giving, receiving, or soliciting of anything of value, directly or indirectly, to improperly influence a business or government decision.
This applies to both private individuals and public officials.
We do not make facilitation payments of any kind.
We expect all partners, suppliers, and subcontractors to uphold the same standards.
Reasonable Prevention Procedures
Falkin maintains the following procedures to prevent bribery:
- Clear communication of this policy to all directors, employees, and relevant third parties
- Risk-based due diligence on suppliers and business partners
- No use of agents or intermediaries for improper purposes
- Transparent financial record-keeping and expense controls
- Reporting obligations for suspected violations (see below)
Reporting Concerns
Anyone who suspects a violation of this policy should report it promptly to a Director of Falkin Limited. Reports will be treated confidentially. Falkin does not tolerate retaliation against anyone who raises a concern in good faith.
Review
This policy is reviewed annually and updated as necessary to reflect changes in applicable law or our business activities.
This statement covers Falkin Ltd's financial year ending 2026. It was approved by the Board of Directors on 30 April 2026.
Signed,

Boaz Valkin
CEO and Director
Falkin Ltd
30 April 2026
