Trade Restrictions and Export
Governmental Restriction Lists
Lawson and its temporary workers, consultants, independent contractors, business partners, and other representatives in the Lawson community, worldwide will not do business anywhere in the world with any suspected terrorist organization or other companies or individuals identified on applicable governmental restriction lists (“Restriction Lists”). Before Lawson agrees to sell or purchase any software or other goods and services with any company or individual, the appropriate information about that company or individual must be checked against the then current “Restriction Lists.” No contract will be signed or product shipped by Lawson without checking the Restriction Lists.
Export Control
Lawson will comply with applicable U.S. Export Administration Regulations issued by the U.S. Department of Commerce and other foreign applicable laws and regulations that affect exports and imports. The U.S. government and many other countries have implemented strict export control restrictions. Lawson is required to comply with both U.S. export control laws and the export control laws of other jurisdictions before it can complete any transactions.
Lawson employees may obtain a copy of Lawson’s current Export Control Policy located at the employee portal under the heading “Corporate Compliance.”
Please consult with Lawson’s Legal Department with any questions related to these compliance requirements.
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