This disclosure asks an organisation to explain whether it has formal policies that set expectations for business conduct, and how those policies are used in practice. The focus is not just on saying a policy exists, but on showing what it covers, who it applies to, and whether it is embedded in day-to-day decision-making rather than sitting only on paper.
In practical terms, the organisation should think about coverage across the whole business, not only a few flagship sites or headquarters functions. A useful report will make clear whether the policy applies group-wide, to specific entities, operations or activities, and whether there are any important gaps, exceptions or differences in implementation across locations or parts of the business.
This LRA educational guidance supports disclosure preparation. For the exact requirements, always refer to the official EFRAG source.
A quick mental checklist before you prepare this disclosure — tick each as you settle it.
Key datapoints to prepare
How to prepare it
Request the business conduct policy pack and coverage details
Translate the disclosure into an internal business question — then adapt it to your organisation's own language.
Use your organisation’s own policy names, control labels and team names first, then map them to the reporting disclosure. Keep the ask in everyday internal language rather than framework wording, and check the source documents before sign-off.
Please provide the ESRS G1:G1-1 policy disclosures, including the policy name, scope, coverage, objectives, anti-corruption alignment, whistleblower coverage, high-risk functions, high-risk countries, and exposure to public authorities.
Why it fails: This uses framework language that many internal owners will not use day to day, so it is harder to route and answer quickly. It also bundles several concepts without telling the owner which documents to pull, where to look, or how to describe the business areas in their own terms.
Please send the latest business conduct policy documents and a short summary covering: the document names, what each one is for, which parts of the business or group they apply to, whether we have an anti-bribery / corruption policy, whether we have a speak-up policy and who it covers, which roles or locations carry higher exposure, which markets we treat as higher risk, and where we deal with public bodies or officials. Use our internal terms first, then we will map them to the reporting disclosure. Please check the source documents before sign-off.
Notes that turn data into a disclosure
LRA training templates — adapt them to your organisation, and check the official source before sign-off.
This disclosure can explain which policies were reviewed, how the organisation defined their scope and coverage, and what counts as a high-risk role, location or external exposure for the purposes of the data set.
Taken together, these data points show whether the organisation has formal controls in place, how far they extend across operations and the value chain, and where the main corruption-related risk areas are concentrated.
If the figures or coverage changed from the prior period, the reporter can attribute that to policy updates, a broader or narrower scope, changes in the list of higher-risk roles or countries, or a revised view of exposure to public authorities.
Preparation tools & forms
Professional preparation tools for G1-1 — free with an LRA Community membership. Register once (it's free) and every download unlocks, together with the Disclosure Library, templates and the LRA AI-assistant.
For each claim, check the evidence
Evidence pack to prepare
Common reporting gaps
Mistakes to avoid when collecting the data
Where judgement is often needed
Illustrative examples
Synthetic, written by LRA — not from a company report, not text from any standard.
We describe a group-wide anti-bribery and integrity policy that applies to our own sites and the parts of the supply chain where we have direct oversight, and it is aimed at preventing misconduct and supporting ethical conduct. The policy is built to align with the recognised sustainability principles, and we also maintain a separate speaking-up policy that covers employees and contractors and is intended to meet the legal protections available in the jurisdictions where we operate. - The integrity policy covers 100% of our owned operations and 85% of tier-1 suppliers by spend; it is active across all business units. - We identify 42 roles as more exposed to bribery risk, mainly procurement, sales, customs, logistics and government-facing managers; 18 of those roles sit in three higher-risk countries, and 12 roles regularly deal with public bodies.
Synthetic example for practitioner review only. It shows how to narrate the policy name, where it applies, what it is meant to achieve, whether the anti-corruption and speaking-up arrangements exist, whether the anti-corruption policy is aligned to the UN Compact, and which roles, countries and public-authority touchpoints are treated as higher risk.
Our compliance framework includes a gifts, hospitality and anti-corruption policy for the company and the controlled entities we manage, with the aim of reducing bribery risk and reinforcing fair dealing. We also run a confidential reporting policy that is designed to operate in line with local legal protections, and the anti-corruption policy is mapped to the recognised sustainability principles. - The policy reaches 100% of our operating sites and 70% of our key intermediaries by contract coverage; it is intended for all staff and relevant third parties. - We classify 27 positions as higher exposure, including customs brokers, fleet managers, tendering staff and country leads; 9 of those positions are in two higher-risk countries, and 7 positions involve routine contact with regulators or other public bodies.
Synthetic example for practitioner review only. It demonstrates a different sector and wording while still covering the policy title, who and what it applies to, the intended purpose, the existence of anti-corruption and whistleblowing arrangements, the UN alignment, and the main higher-risk roles, countries and public-authority interfaces.
How companies report G1-1 in practice
Real reports where this topic is disclosed. These are report practice, not exact disclosure templates to copy.

Scenarios to work through
A group finance team has one conduct policy for the parent company, but the overseas sales subsidiary uses a separate local code and the procurement team follows a third document. The reporting lead is deciding whether to describe one group-wide policy or several separate ones.
A preparer has a draft anti-bribery policy, but it only mentions employees and says nothing about agents, distributors, or other third parties used in sales. The team is unsure whether that is enough for the business conduct note.
The compliance team has a whistleblowing procedure for employees in the UK, but contractors in another country use a separate hotline run by a local provider. The reporting lead is deciding how to answer the policy question for the year-end report.
A multinational has identified customs brokers, public-sector sales contacts, and permit applications as the areas where conduct risk is highest. The draft note lists these activities, but it does not say which countries are most exposed or whether dealings with public bodies are part of the picture.
Related framework references
How this disclosure maps across the major reporting frameworks.
Questions this page answers
The page says to prepare the policy title, policy coverage, coverage share, policy aims, anti-bribery policy, UN alignment, speak-up policy, whistleblower law coverage, sensitive roles, risk countries and public-sector exposure. Use that list as your starting checklist before drafting.
Use it as a practical workflow to move from identifying the relevant policy and scope to collecting the supporting data and evidence. It is designed to help you prepare the disclosure rather than interpret the underlying standard.
The page points you to policy coverage and coverage share, so you should define what the policy applies to and how much of the business it covers. Keep the scope consistent with the rest of the datapoints you collect for the disclosure.
The page does not assign a single owner, so you need to decide ownership internally based on who holds the policy, the coverage data and the evidence. A practical approach is to name one accountable lead and then map supporting inputs from the relevant functions.
The page says there is an evidence pack with five items for assurance readiness. Use that pack to support the claims you make and to show where each datapoint came from.
The page says there are six assurance claims to verify, each linked to a claim, risk and evidence. Use those claims to test whether the disclosure is supported by the underlying records before you finalise it.
The page includes a list of common reporting gaps and mistakes, so use that as a pre-submission check. It is there to help you spot missing scope, weak evidence or inconsistent wording before the draft goes out.
The page has a draft-output section with visualisation ideas, narrative starters and a content-index line. Use those to turn the collected datapoints into a readable draft rather than starting from a blank page.
The Download Centre includes a Prep & Assurance workbook in .xlsx format and a printable Library Card in .pdf format. Use the workbook to organise the preparation and evidence, and the card as a quick reference while drafting or reviewing.
Yes. It includes a 'From company reports' table that links to real published reports at the pages where the topic is disclosed, which you can use as reference points when shaping your own draft.
The page includes synthetic illustrative example disclosures, including a quantitative table. Treat these as made-up examples for learning how the disclosure might look, not as reporting requirements.
Get your G1-1 tools — free
Your preparation tools are free for LRA Community members and students. Register once (it's free) and your download starts right away — plus the Disclosure Library, templates and the LRA AI-assistant.
You're in — your download is starting
Your file is downloading now. Your Community Cabinet — with the Disclosure Library, templates and the LRA AI-assistant — is ready too.
Open your Cabinet →