RGPC
RGPC
The General Regime for the Prevention of Corruption (RGPC) was approved by Decree-Law No. 109-E/2021, of December 9, to which CONSULGAL is subject, under the terms set out in paragraph 1 of article 2 of the aforementioned RGPC, which will be monitored by the National Anti-Corruption Mechanism (MENAC), created by the same diploma.
CONSULGAL’s Administration is committed to promoting all actions and providing the organization with the necessary mechanisms and tools to ensure the prevention of corruption.
This commitment to complying with laws, regulations, standards and best practices at an ethical and good conduct level has been an invaluable value of CONSULGAL since its foundation, instilled in all its employees and recognized by its clients, partners, suppliers, official entities and the engineering consultancy community.
With the framework now conferred by the RGPC, CONSULGAL chose to bring together, in an integrated set, all documentation related to the prevention of corruption and related offences.
CONSULGAL’s RGPC regulatory compliance program , in order to respond to the provisions of article 5 of the RGPC, includes the following elements, with the aim of preventing, detecting and sanctioning acts of corruption and related offenses, carried out against or through CONSULGAL:
- Corruption and Related Offences Risk Prevention Plan (PPR) , consisting of the attached document, which allows for the response to the provisions of Article 6 of the RGPC.
Corruption and Related Offences Risk Prevention Plan
- Corruption and Related Offenses Risk Matrix (MER RGPC ), published annually, the first being in 2025, which comes into force together with this PPR.
Internal document
- Corruption and Related Offenses Risk Management Program (PGI RGPC ), published annually, the first in 2025, which comes into force together with this PPR.
Internal document
- Code of ethics and conduct , consisting of a stand-alone document, approved in October 2021 in its first version, and which, thanks to the RGPC framework, was subject to its revision 01, which comes into force together with this PPR, which allows for the provision of article 7 of the RGPC.
Code of ethics and conduct
- Supplier Code of Conduct , consisting of a stand-alone document, the version of which in effect since May 2024 is considered not to require revision to comply with the GDPR and therefore remains in force in that version.
Supplier Code of Conduct
- RGPC Whistleblower Channel , whose regulatory documentation constitutes a separate document, which comes into force together with this PPR, which allows for a response to the provisions of article 8 of the RGPC, and is complemented by access to the specific Whistleblower Channel platform .
RGPC Whistleblower Channel
- A training program implemented through the inclusion of a training course on corruption prevention in CONSULGAL’s training plan for the 2025-2026 biennium, aimed at all employees, which meets the requirements of Article 9 of the RGPC. It should be noted that the effectiveness evaluation of the training plan is part of the procedures associated with the implementation, management, and monitoring of the training plan.
Internal document
