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Code of Conduct

1. Ethical Business Practices

At MVE Prospera AG, we are committed to conducting our business with integrity, transparency, and respect for the law. We comply with all applicable international trade laws and local regulations. Our employees do not offer, take or accept shortcuts and retrocessions, and we do not tolerate any form of bribery or corruption.

We are especially attentive to:

 

  • Legal compliance in all global operations;

  • Fair and honest sales practices;

  • Zero tolerance for bribery or unethical influence;

  • Accurate representation in all business dealings and public communications;

  • Sustainable and social responsive business practice.

2. Responsibility to Customers, Partners, and Suppliers

Trust is at the heart of our relationships with customers, suppliers, and third parties. We commit to fair, honest, and ethical behavior in every interaction.

Our commitments include:

 

  • Clear and honest communication with clients

  • Supplying only approved and high-quality products

  • Respecting customer privacy and safeguarding personal and business data

  • Collaborating only with partners who share our values in human rights, sustainability, and transparency

3. Sanctions compliance:

The Company represents, warrants, and undertakes that neither it nor any of its subsidiaries (collectively, the “Parties”) or directors, senior executives or officers, or to the knowledge of the Parties, any person on whose behalf the Parties are acting in connection with the business operations, is an individual or entity (“Person”) that is, or is 50% or more owned or controlled directly or indirectly by individually or collectively by a Person (or Persons) that is the subject of any economic or financial sanctions or trade embargoes administered or enforced by the U.S. Department of the Treasury’s Office of Foreign Assets Control (“OFAC”) the U.S. Departments of State or Commerce, the Security Council of the United Nations (“UNSC”), the European Union (“EU”),  Switzerland, the Bureau of Industry & Security or any other relevant authority of the United States of America; the Office of Financial Sanctions Implementation of the United Kingdom; the Australian Sanctions Office of the Australian Department of Foreign Affairs & Trade; the Monetary Authority of Singapore or other applicable sanctions authority (collectively, “Sanctions”) (collectively, a "Sanctioned Person").

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