If we don,t, this perhaps needs to be done soon by present management.
The new amendments to the CFPOA increase the risk of bribery-related liability for Canadian companies. Given that new powers will be given to prosecute Canadian individuals and companies for their activities anywhere in the world, the range of activities that can lead to fines and severe prison sentences has been considerably increased. - See more at: http://www.northernminer.com/news/commentary-what-will-canadas-strengthened-foreign-anti-corruption-law-mean-for-your-company/1002441471/#sthash.UVzKbTIk.dpuf
"Companies will want to ensure that they have anti-bribery compliance programs in place to avoid running afoul of the new provisions. Those with existing anti-bribery programs will need to make changes to their policies and procedures to ensure compliance with the new requirements. - See more at: http://www.northernminer.com/news/commentary-what-will-canadas-strengthened-foreign-anti-corruption-law-mean-for-your-company/1002441471/#sthash.UVzKbTIk.dpuf"