The objective of this RIV Technologies FZE (“RIV Technologies” or the “Company”) Whistleblowing Policy is to ensure that any whistleblowers are guaranteed to have safe, secure, and reliable avenues to report any suspicious activities without fear of any repercussion.
This policy applies to all employees (whether full time, part time, temporary, interns, secondees, or any other position within the Company), officers, senior management, and directors of RIV Technologies, as well as to any third parties who deal with RIV Technologies, including, but not limited to, customers and suppliers.
RIV Technologies’ compliance officer is responsible for:
The following suspicious activities may be reported pursuant to this policy:
Money Laundering is the illegal process of “laundering” money generated by criminal activities appear to come from a “clean” source.
Fraud is the illegal process of intentionally using deception and other misconduct to generally steal funds from another person or cause that other person to suffer loss.
Bribery is the illegal process of paying money to a third party as a form of “kickback” to ensure a certain benefit or course of action for the briber by the bribee.
RIV Technologies is committed to ensuring the protection and full confidentiality of any whistleblowers who come forth pursuant to the reporting mechanisms outlined under this policy. Any such whistleblowers will have the following protections:
Whistleblowers may report their concerns via any of the following channels:
Whichever channel you use, all concerns must be accompanied with adequate supporting evidence to support the claims which you are making. We will investigate all credible concerns and reports which are properly substantiated with supporting evidence. The more information you provide, the easier and faster it will be for us to complete our investigation process. If a false or unsubstantiated report is made for any reason, we may investigate the person making the report, which, in the case of employees, can result in disciplinary action.
If you are a RIV Technologies employee, you may discuss your concerns with your line manager in person or in writing. If you are uncomfortable doing so, you may discuss with another RIV Technologies manager. The matter should then be immediately referred to RIV Technologies’ compliance officer by the manager who received the report.
RIV Technologies is committed to treating all whistleblowers and individuals involved in a whistleblowing investigation in fair and just manner.
The internal investigation process will consist of the following steps:
The process begins when an employee or external stakeholder reports a suspected wrongdoing or unethical conduct. Reports can be made anonymously, and the whistleblower will be assured of confidentiality and protection from retaliation.
Once a report is received, an acknowledgment is sent to the whistleblower, ensuring them that the report will be investigated promptly and thoroughly.
A preliminary assessment is conducted to determine the credibility and significance of the report. If the report is found to be unsubstantiated or not in violation of any laws or policies, the investigation may be concluded at this stage.
A detailed investigation will be conducted, gathering all relevant facts, documents, and evidence. The investigation may involve interviewing the whistleblower, the accused party and any potential witness.
All findings, evidence and interviews will be meticulously documented, to maintain the integrity of the investigation process.
Upon completion of the investigation process, the investigator formulates a conclusion based on the evidence collected and makes recommendations for corrective actions, disciplinary measures or policy changes, as appropriate.
If you have any questions or concerns regarding this policy, please contact us by sending an email to the RIV Technologies Compliance Officer at: co@riv-technologies.com.
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