- The Group’s ethic and compliance commitment
For over 200 years, the BUCHER Group, to which the KUHN Group belongs, has been recognized worldwide for the development and production of high-quality machinery and vehicles. One of the key foundations for this success is our corporate culture, which promotes respectful behaviour towards customers, co-workers, business partners, competitors and authorities. The excellent reputation of BUCHER and its divisions is based on its integrity and professionalism in business as well as fair behaviour that respects the rules of ethics.
- The Code of Conduct
Drafted and distributed to all our employees in 2009, the Code of Conduct sets clear rules for our day-to-day professional activity.
It is based on both integrity and trust and defines the rules of behaviour to be adopted with respect to all legal or private persons. It makes all our employees aware of the applicable laws and internal rules of the company as well as the legal risks encountered daily in the course of the work.
To respect the Code of Conduct is to help strengthen our corporate culture and lay the foundations for our future success.
- Preventing the risk of corruption
Corruption is a crime punishable by fines or imprisonment in almost every country in the world. Article 5 of our Code of Conduct prohibits all forms of corruption. The Anti-Corruption Directive drafted in 2014 by BUCHER for all its divisions is the reference text for the prevention of corruption. It describes the expected behaviours and sets the rules to be followed by all employees. Its objective is to protect them by clearly specifying what is allowed or prohibited, allowing them to identify risky situations and illustrating the right behaviours to adopt.
It aims to preserve the culture of integrity of the BUCHER Group.
The implementation of the Code of Conduct and the Anti-Corruption Directive is accompanied by an awareness program.
- Respecting other regulations
- The warning system
This system is intended for Group external and occasional employees who wish to make a report of facts of which they have been personally aware.
Employees should give priority to the internal reporting procedure described in the Internal Regulations.
This warning is part of the provisions of the Sapin II Act of 9 December 2016 on transparency, anti-corruption and the modernisation of economic life as well as the 19 April 2017 decree on collection of reports issued by whistleblowers within public or private legal entities or state administrations.
These reports concern:
- A crime or offense
- A serious and manifest violation of an international commitment regularly ratified or approved by France, a unilateral act of an international organization taken on the basis of such a commitment,
- A violation of the law or regulations,
- A threat or serious harm to the public interest,
- A Conduct or a situation contrary to the Company's Code of Conduct or Anti-Corruption Directive.
To make a report, click here.