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LDV Groove’s intended anti-bribery and anti-corruption framework is designed to prevent improper payments, gifts, influence and concealed benefits across commercial relationships, public-sector interactions, tenders, sourcing, distribution and international expansion.
No bribes or kickbacks
No unofficial speed payments
Gifts and hospitality controlled
Know third parties
Concerns raised without retaliation
No employee, director, agent, distributor, adviser or other representative should offer, promise, give, request or accept anything of value to obtain an improper advantage, influence a decision or reward conduct that should remain independent.
The prohibition applies whether a benefit is provided personally or through an intermediary, supplier, consultant, relative, charity or connected party.
Improper influence is unacceptable in government dealings, commercial transactions, tenders, sourcing, hiring, distribution and customer relationships.
Risk may arise through money, gifts, travel, hospitality, rebates, commissions, jobs, donations, discounts, confidential information or other benefits.
Sales, approvals, contracts, licences, customs clearance, market access or delivery pressure do not justify improper payments or concealed arrangements.
Core rule: If a payment, gift, favour or arrangement would be embarrassing if disclosed to the board, customer, regulator or public, it should not proceed without immediate review.
The intended governance model combines leadership oversight, functional controls, business ownership and individual accountability, with higher scrutiny for public officials, tenders, cash payments, high-risk countries and third-party intermediaries.
Set the tone, approve the framework, provide resources and receive reporting on material allegations, breaches and remediation.
Design approval controls, review high-risk arrangements, protect accurate books and support investigation and remediation.
Assess local risks, supervise third parties, document decisions and stop transactions when red flags remain unresolved.
Refuse improper requests, follow approval rules, maintain truthful records and raise concerns promptly.
Controls should operate before a benefit is offered or a third party is appointed—not only after an allegation or financial loss occurs.
Define conduct that is never acceptable, including bribes, kickbacks and facilitation payments.
Evaluate the recipient, purpose, value, timing, geography, decision context and third-party role.
Obtain documented authority before higher-risk gifts, hospitality, sponsorships, travel or intermediaries.
Maintain accurate descriptions, invoices, recipients, business purpose, approvals and supporting documents.
Review unusual payments, commissions, tender activity, third-party changes, complaints and repeat exceptions.
Escalate, preserve evidence, investigate fairly, stop exposure and verify remediation to closure.
The categories below help teams recognise situations that need prohibition, approval, enhanced diligence or escalation.
Cash equivalents, lavish meals, travel, entertainment, personal benefits or repeated courtesies intended to influence a decision.
Unofficial payments to speed routine government action, customs handling, permits, inspections, utilities or other services.
Unclear services, excessive commissions, offshore accounts, political connections, refusal to disclose ownership or requests to avoid contracts.
Gifts to decision-makers, confidential bid information, collusion, undisclosed relationships, side agreements or unofficial access.
Charitable, community or promotional payments connected to officials, customers or decision-makers without transparent purpose and review.
False expenses, personal travel, inflated invoices, hidden discounts, credit notes or rebates used to transfer value improperly.
Vague descriptions, split invoices, off-book funds, false vendors, unsupported cash withdrawals or payments recorded under misleading accounts.
Undisclosed ownership, family relationships, personal interests or outside businesses that affect selection, pricing, hiring or approval.
Specific, legitimate and documented
Identity, ownership and role confirmed
Proportionate to genuine services
Contracted account, invoice and evidence
No cash, secrecy, side payment or influence
Interactions involving regulators, customs, licensing authorities, state-owned enterprises, public procurement or politically exposed persons require careful identification, lawful purpose, documented approval and transparent payment channels.
Do not pay to accelerate routine action, obtain confidential information, influence an inspection or secure preferential treatment.
The safest approach during tenders, approvals, negotiations or inspections is no gift or hospitality to decision-makers.
Where a payment is demanded under threat to personal safety, prioritise safety, record what occurred and report immediately for review.
Risk-based diligence should occur before appointment and be refreshed when ownership, services, geography, government contact, payment arrangements or conduct changes.
Confirm why the intermediary is necessary, what services are expected and who approved the appointment.
Check legal name, beneficial ownership, licences, address, bank account and connected persons.
Review reputation, government ties, sanctions, conflicts, commissions, geography and prior allegations.
Set defined services, fees, anti-bribery commitments, records, audit rights and termination rights.
Confirm deliverables, invoices, payment route, ownership changes and emerging concerns throughout the relationship.
Never outsource accountability: LDV Groove may remain exposed when a distributor, consultant, customs broker, franchisee, sourcing agent or other representative pays a bribe for the Group’s benefit.
Any permitted courtesy should have a legitimate business purpose, comply with the recipient’s rules, avoid cash or cash equivalents, receive required approval and be recorded accurately.
Low-value, infrequent, transparent courtesy connected to a genuine business interaction and allowed by applicable rules.
Travel, hospitality, sponsorship, donations, repeated courtesies or anything involving public officials or active procurement.
Cash, gift cards, personal favours, secret benefits, lavish entertainment, benefits to relatives or anything linked to a decision.
Every payment should reflect a genuine transaction, approved purpose, appropriate counterparty and complete supporting evidence. Vague descriptions and unsupported exceptions should trigger review.
Separate supplier creation, contracting, approval, payment release and reconciliation where practical.
Use contracted legal entities and verified bank accounts; restrict cash, personal accounts and unexplained third-party payments.
Review round-sum invoices, unusual commissions, urgent overrides, duplicate payments, split transactions and high-risk descriptions.
Do not create false invoices, misleading expense categories, undisclosed funds or incomplete documentation.
Employees and partners should be able to ask for guidance, refuse improper conduct and report suspected bribery, false records, retaliation or control bypasses through authorised channels.
Report suspected requests, payments, gifts, conflicts, false records or pressure to bypass approval.
Keep relevant messages, invoices, contracts, approvals and other records; do not alter or destroy evidence.
Use appropriately authorised reviewers, protect confidentiality and manage conflicts within the investigation team.
Stop ongoing exposure, correct controls, apply proportionate consequences and protect good-faith reporters from retaliation.
Reporting should focus on material exposure rather than activity volume alone, including high-risk third parties, gifts and hospitality, payment exceptions, allegations, investigations and overdue remediation.
Track higher-risk countries, sectors, intermediaries, public-official contact and unresolved red flags.
Review gifts, hospitality, donations, sponsorships, unusual commissions, cash activity and payment overrides.
Escalate significant matters promptly while preserving confidentiality and legal privilege where applicable.
Verify root-cause actions, disciplinary outcomes, contract changes, training and control improvements to closure.
The related pages explain oversight, ethical standards, risk ownership and the wider compliance architecture supporting this framework.
Board responsibilities, delegated authority and subsidiary accountability.
Obligation mapping, ownership, due diligence, monitoring and evidence.
Publication note: This page describes an intended anti-bribery and anti-corruption framework for LDV Groove Capital and its group companies. It does not confirm that a board-approved policy, gifts register, reporting channel, investigation protocol, training programme, quantified approval thresholds, certified management system or independent assurance plan is already adopted or operational. Final public content should be verified against current board approvals, employment terms, contracts, systems, local law and actual reporting arrangements.
Long-term value is protected when commercial success is separated from bribery, concealed benefits and unethical access.
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