Teva’s suppliers are an integral part of the overall success of Teva. Each day, Teva and its suppliers make decisions that impact Teva’s ability to provide quality health care products to its customers.
Teva has high standards for conducting business ethically and in accordance with all governmental and industry standards, laws and regulations, as well as Teva’s internal policies. Teva expects the same commitment from its suppliers. This Supplier Code of Conduct documents principles and expectations for establishing and maintaining a business relationship with Teva.
Teva is aware of cultural differences and challenges associated with interpreting and applying these principles globally. While Teva believes these principles are universal, Teva understands that the methods for meeting these expectations may vary in order to be consistent with the laws, values and cultural expectations in different countries around the world.
All Teva suppliers are expected to understand and comply with this Supplier Code of Conduct. Teva considers these Supplier Code of Conduct principles when selecting a supplier and Teva reserves the right to monitor a supplier’s ongoing compliance with these principles. Teva’s suppliers must also apply the same or substantially similar principles toward third parties with whom they work in providing goods and services to Teva. If Teva becomes aware of any actions or conditions not in compliance with this Supplier Code of Conduct, Teva reserves the right to seek corrective action and/or terminate any engagement with such non-compliant supplier.
Suppliers are strongly encouraged to contact a Teva representative with any questions, including inquiries relating to the appropriateness of any activity.
Suppliers shall conduct their business in an ethical manner and act with integrity.
Corruption, extortion and embezzlement are prohibited. Suppliers shall not pay or accept bribes or participate in any other illegal inducements in business or government relationships. Suppliers shall conduct their business consistent with fair and vigorous competition and in compliance with all applicable anti-trust laws. Suppliers shall employ fair business practices including accurate and truthful advertising.
Teva expects that suppliers will meet the standards embodied in this Supplier Code of Conduct:
Suppliers’ workers and service providers should be encouraged to report concerns or illegal activities in the workplace without threat of reprisal, intimidation or harassment.
Suppliers who believe that a Teva employee, or any person or entity acting on behalf of Teva, has engaged in illegal or otherwise improper conduct shall report the matter promptly to Teva’s Office of Business Integrity.
Teva’s Office of Business Integrity (OBI) is responsible for assessing and investigating reports of misconduct, including those made through the Teva Integrity Hotline. There are multiple ways to report concerns confidentially and without fear of retaliation. Reports can be made directly to the OBI at www.tevahotline.ethicspoint.com or via email: Office.BusinessIntegrity@tevapharm.com.
Suppliers shall provide humane care and treatment of research animals.
Animal testing should be performed only after consideration has been given to non-animal based test methods, reducing the numbers of animals used, or refining procedures to minimize distress in animals being tested. Use of animals in any testing or process should only occur after alternate methods have been fully explored and rejected. Alternatives should be used wherever these are scientifically valid and acceptable to regulators. If animals must be utilized in testing, these animals shall be treated humanely, with minimized pain and stress.
Contract laboratories and collaborating laboratories must be accredited by the Association for Assessment and Accreditation of Laboratory Animal Care International (AAALAC).
In an ongoing effort to work together to secure the supply chain from the dangers of counterfeiting, illegal diversion and theft of Teva products, suppliers must notify Teva immediately if they are offered the opportunity to purchase counterfeit, illegally diverted or stolen products, or otherwise become aware of any such products.
Suppliers shall uphold ethical labor practices and procedures globally. Suppliers’ responsibility in this matter includes creating awareness and understanding of human rights and compliance with employment and labor laws and practices. By incorporating these principles into strategies, policies and procedures, and embodying these principles, suppliers will uphold their basic responsibilities toward their employees and others.
Suppliers shall not use forced, bonded or indentured labor, involuntary prison labor or human trafficking.
The employment of young workers below the age of 18 shall only occur in non-hazardous work and when such workers are above the local legal age for employment or the age established for completing compulsory education. Accurate and complete employee files shall be maintained, inclusive of confirmation of date of birth.
Suppliers shall provide a workplace free of harassment, discrimination, punitive and/or inhumane treatment.
Harassment is any physical or verbal act that creates an offensive, hostile or intimidating work environment. Discrimination is any workplace action such as hiring, firing, demoting, and promoting based on a prejudice of some kind that results in the unfair treatment of employees. Harassment or discrimination for reasons such as race, color, age, gender, sexual orientation, ethnicity, disability, religion, political affiliation, union membership or marital status shall not be condoned or tolerated.
Punitive and/or inhumane treatment includes, but is not limited to, any sexual harassment, sexual abuse, corporal punishment, mental or physical coercion, verbal abuse or threat of any such treatment.
Violence of any kind in the workplace, including acts or threats of violence toward another person, intentional damaging of the property of any person, or behavior that causes others to feel unsafe is prohibited and shall not be tolerated.
Suppliers shall pay workers according to applicable wage laws, including minimum wages, overtime hours and mandated benefits as per custom of the country of employment.
Suppliers shall communicate to the workers the basis on which they are being compensated in a timely and clear manner. Suppliers are also expected to communicate to the worker whether overtime work is required and the wages to be paid for such overtime.
During normal business activities, suppliers may collect personal information regarding various individuals, including employees, patients, customers and other persons or entities with whom they do business. Suppliers shall collect and keep only personal information that is legally permitted and legitimately needed to carry out their business and/or the engagement between Teva and the suppliers, and to implementing measures designed to protect such information.
Suppliers shall conduct their activities with adequate regard for the safety and health of its employees and the general public. Suppliers shall continuously work to provide safe working conditions and instill a strong safety culture worldwide. Suppliers’ goal shall be to avoid any accident in the workplace through their rigorous compliance with global safety standards. Each supplier is responsible for a safe and healthy work environment, including for any supplier-provided living quarters.
Suppliers shall protect workers from exposure to chemical, biological, physical hazards and unreasonably physically demanding tasks in the workplace and other company-provided facilities, including living quarters and vehicles. The supplier shall ensure that any employee who comes into contact with hazardous substances will wear proper personal protective equipment and perform the task according to all safety guidelines and instructions.
Suppliers shall have programs in place to prevent and respond to catastrophic chemical or biological releases, if applicable. Programs shall be commensurate with the facility risks and, at a minimum, compliant with local laws.
Suppliers shall identify and assess emergency situations affecting the workplace, including supplier-provided living quarters, and shall minimize potentially adverse consequences by implementing and maintaining effective emergency plans and response procedures. For example, supplier’s management is responsible for providing safety awareness training, safety drills or other types of safety training as locally required by fire and safety regulations.
Suppliers shall make available safety information relating to hazardous materials in the workplace, including pharmaceutical compounds and pharmaceutical intermediate materials, to educate, train and protect workers and others from hazards.
Suppliers shall operate in an environmentally responsible manner and shall minimize adverse impacts on the environment. Suppliers are encouraged to conserve natural resources, to avoid the use of hazardous materials where possible, and to promote activities that reuse and recycle.
Suppliers shall comply with all applicable environmental laws and regulations. All required environmental permits, licenses, information registrations and restrictions shall be obtained by suppliers and remain valid for the term of engagement, with their operational and reporting requirements followed.
Suppliers shall have systems in place to ensure the safe handling, movement, storage, recycling, reuse or management of waste, air emissions and wastewater discharges. Any waste, wastewater or emissions with the potential to adversely impact human or environmental health shall be appropriately managed, controlled and treated prior to release.
Suppliers shall have systems in place to prevent and quickly respond to all unauthorized spills and releases into the environment.
Suppliers shall adhere to all applicable restricted substance laws, regulations and customer requirements including responding to requests for substance composition in materials/parts, prohibition or restriction of specific substances, including labeling for recycling and disposal.
Supplier shall ensure that all parts and products supplied to Teva do not contain “Conflict Minerals,” i.e., columbite-tantalite, cassiterite, wolframite (or their derivatives tantalum, tin and tungsten) or gold sourced from the Democratic Republic of the Congo (DRC) or an adjoining country that has directly or indirectly financed or benefitted armed groups in the DRC or an adjoining country. Suppliers shall have systems in place that are designed to meet these objectives.
Suppliers shall have a quality management system in place to facilitate continual improvement and ensure constant compliance with all the principles outlined in this Supplier Code of Conduct.
Suppliers shall allocate adequate financial, human and technical resources to ensure compliance with this Supplier Code of Conduct.
Supplier shall identify and comply with applicable laws, regulations, rules, ordinances, permits, licenses, approvals, orders, standards and relevant customer requirements and address identified gaps in a responsible and timely fashion.
Suppliers shall have mechanisms in place to determine and control risks in all areas addressed in this Supplier Code of Conduct. Suppliers shall have adequate financial resources to assure business continuity and maintain financial solvency.
Suppliers shall maintain documentation necessary to demonstrate conformance with the principles contained in this Supplier Code of Conduct and Supplier’s compliance with applicable laws, regulations, rules, ordinances, permits, licenses, approvals, orders, standards and relevant Teva requirements.
Suppliers shall have an effective training program that achieves an appropriate level of knowledge, skills and abilities within management and workers to address these expectations and perform the requested services. Documented training of all employees must be available as evidence that training took place.
Suppliers shall maintain open and direct communication with appropriate Teva business functions, including Global Procurement.
Suppliers shall have a mechanism in place to ensure that all supplied documentation, particularly for material or services used in primary product activities, is complete, accurate and consistent. Such documentation should be compliant with applicable regulations requirements.