PROUD TO PRESENT (Professor Healthcare Co., Ltd.) maintains formal, signed policies and controls for ethical, transparent business conduct as a partner to pharmaceutical and vaccine companies. Policy summaries are published below; signed full versions are available for download.
Zero tolerance · Includes fraud & economic crime prevention
Professor Healthcare Company Limited prohibits bribery, corruption, fraud, and all other economic crimes in any form, whether involving public officials, healthcare professionals, or private parties. We comply with applicable anti-bribery, anti-corruption, and fraud-prevention legislation, including Thai law, the UK Bribery Act 2010, the UK Criminal Finances Act 2017, the UK Economic Crime and Corporate Transparency Act 2023, and the US Foreign Corrupt Practices Act 1977, each as amended.
Integrity in every engagement
Our Code of Conduct sets the standard of behaviour expected of every director, employee, and contractor acting on behalf of the company.
Modest · Transparent · Never to influence
Hospitality and gifts may only ever be modest, reasonable, infrequent, and given or received openly for a legitimate business purpose. They must never be offered or accepted to improperly influence a decision.
Legitimate · Documented · Approved
All business expenses must serve a legitimate, documented business purpose and be incurred, approved, and recorded under controlled procedures.
Fair selection · Supplier due diligence
We buy goods and services fairly, transparently, and on merit, ensuring suppliers meet our ethical, quality, and data-protection standards — particularly where they support work for pharmaceutical and vaccine clients.
Documented · Monitored · Anti-bribery, anti-fraud & anti-tax evasion
We operate a documented and monitored compliance programme designed to prevent, detect, and investigate potential misconduct and non-compliance with our policies, covering bribery, corruption, fraud, facilitation of tax evasion, and other economic crimes.
Open to staff, subcontractors, partners & the public · Anonymous reporting accepted
We maintain a speak-up mechanism through which integrity-related concerns can be raised — anonymously or otherwise — by anyone: our employees, permitted subcontractors, third-party agents, clients, or members of the general public.
Assess · Track · Resolve · Audit
Management oversight procedures ensure that issues of misconduct or non-compliance are assessed, tracked, and resolved, and that internal audits verify compliance with applicable legal, regulatory, and industry requirements — including anti-bribery, anti-corruption, and prevention of fraud and tax evasion.
PDPA-aligned · Processor on client instructions · 72-hour breach notification
We process personal data in accordance with Thailand's Personal Data Protection Act B.E. 2562 (PDPA) and, where relevant to client engagements, principles equivalent to the GDPR. In most engagements we act as a data processor, handling personal data only on the documented instructions of our client.
Need-to-know access · Six-monthly review · Prompt revocation · Annual testing
Access to personal data and client information is granted strictly on a need-to-know basis, reviewed regularly, and revoked promptly when people leave or engagements end.
Due diligence · Contractual flow-down · Annual re-assessment
Third parties who may access client information or personal data — sub-contractors, sub-agents, freelancers, and technology suppliers — are assessed before engagement and bound by terms no less protective than those we owe our clients.
Named accountability · Three lines of control · Annual review
Responsibility for anti-bribery, anti-corruption, anti-fraud, and anti-tax-evasion risk is formally allocated to named individuals, each of whom has been informed of and has accepted their responsibilities in a signed acknowledgement record.
Mandatory on appointment · Annual refresher · Signed attendance record
All personnel complete anti-bribery and anti-corruption training on appointment and annually thereafter, aligned with AstraZeneca’s Expectations of Third Parties. Subcontractors and third-party agents must complete our briefing or evidence equivalent training before starting work.
Prohibited without exception · Preventive and detective controls
Facilitation payments — payments to a public official to secure or speed up a routine action they are already obliged to perform — are strictly prohibited in all circumstances, regardless of local custom, amount, or commercial consequence, and whether made directly or through any third party.
Independent pricing · No bid rigging · Fair and balanced promotion
We compete on merit and comply with competition law, including Thailand’s Trade Competition Act B.E. 2560 (2017) and the Price of Goods and Services Act B.E. 2542 (1999), in every commercial dealing — quoting, tendering, purchasing, subcontracting, and promotion.
Absolute prohibition · Three lines of control · Assess, prevent, detect, mitigate
Professor Healthcare Company Limited strictly prohibits the offering, promising, giving, soliciting, or accepting of anything of value intended to influence any action or decision, whether by our personnel or by any third party acting on our behalf, and whether the counterparty is a government official, a healthcare professional, a client representative, or a private party. This summary consolidates the policies, controls, training, monitoring, reporting and disciplinary measures that give effect to that position.
Signed by the Managing Director · Zero tolerance · Tone from the top
A personal statement from our Managing Director, as sole authorised director, setting the tone from the top for the whole compliance framework. It is issued to every person on joining, repeated at each annual training session, and provided to subcontractors and agents before they begin work.
Ten assessed risks · Rated and owned · Reviewed annually
Our completed annual assessment of exposure to bribery, corruption, fraud and the facilitation of tax evasion, covering all business activities and all associated persons — employees, contractors, subcontractors, freelancers and agents. Each risk is rated High, Medium or Low against existing controls and assigned a named owner.
Policy Documents
All eighteen documents are approved and signed by the Managing Director, effective 1 September 2026, with the next annual review due 1 September 2027. The framework is structured around the six principles of the UK Ministry of Justice guidance under section 7 of the Bribery Act 2010 and the equivalent principles in the UK Government guidance on the failure to prevent fraud offence under section 199 of the Economic Crime and Corporate Transparency Act 2023, applied proportionately to the size and risk profile of a small enterprise.
For questions regarding these policies or additional compliance evidence, contact sutiwas@proudtopresent.net · www.professorhealthcare.com