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IMC 2 Foreign Policy Sanctions
IMC Members should observe the applicable local laws, UN resolutions and United States
INT’L METALWORKING CO. trade sanctions, as may be issued, updated and/or revoked from time to time and published
regardless of whether online or in print.
Current United States sanction programs are listed online at: http://apps.export.gov/csl-
search#/csl-search
IMC Members should consult the IMC Compliance team where a concern is raised regarding
sanctions.
In accordance with the sanction programs currently in place, IMC Members will completely
refrain from conducting any business interaction with any entity operating in, from or under the
auspice of: Cuba, Iran, North Korea and Syria, in addition to any restrictions according to local
laws.
Furthermore, IMC Members will conduct due-diligence measures and appropriate investigation
before engaging with a third party, to make sure that they are not sanctioned or affiliated with
anyone/ any entity who is sanctioned.
Management will continuously monitor available publications at all times in order to keep
updated and ensure awareness of any applicable anti-terrorism, boycott, property block,
transaction prohibition or other foreign trade sanction measures.
IMC Hanjin Warehouse in Seoul
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