Members must neither give nor take, directly or through others, anything capable of being a bribe; must have enough knowledge of bribery and corruption to comply with the standard; and must report activity they know breaches applicable anti-bribery laws to the firm's nominated reporting officer (MLRO) or to the senior manager responsible for reporting to the authorities. (Recommended: declaring gifts and hospitality, training, following the employer's code, and leading on the regime if senior.)
The graph holds this control, the 0 it maps to, and the evidence behind each claim, over MCP and REST.