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Johns Manville (“JM”) takes compliance with the U.S. Foreign Corrupt Practices Act (the “FCPA”) and other anti-corruption laws very seriously. To satisfy the JM Prohibited Business Practices Policy (“PBPP”) and the PBPP Addendum Intermediary due diligence and documentation requirements, you must answer all questions in this Business Justification Form fully and accurately and receive confirmation from your JM legal partner and/or the Senior Global Compliance Counsel that the due diligence process has been completed prior to engaging any Intermediary.

For your reference, JM’s PBPP, PBPP Addendum, and Global Anti-Corruption Policy are available on the JM Connection Policies Page. Please contact Lindsay Denault, Senior Global Compliance Counsel, with any questions.