| D. | Obligations to the Independent Auditor of the Tridan |
In dealing with Tridan’s independent auditor, Covered Officers must be candid and not knowingly misrepresent facts or knowingly fail to disclose material facts, and must respond to specific inquiries and requests by Tridan’s independent auditor.
Covered Officers must not take any action, or direct any person to take any action, to fraudulently influence, coerce, manipulate or mislead Tridan’s independent auditor in the performance of an audit of Tridan’s financial statements for the purpose of rendering such financial statements materially misleading.
IV. FULL, FAIR, ACCURATE, TIMELY AND UNDERSTANDABLE DISCLOSURE
It is Tridan’s policy to provide full, fair, accurate, timely, and understandable disclosure in reports and documents that Tridan files with, or submits to, the SEC and in any other public communications by Tridan. Tridan has designed and implemented Disclosure Controls and Procedures to carry out this policy.
Covered Officers are expected to familiarize themselves with the disclosure requirements generally applicable to Tridan, and to use their best efforts to promote, facilitate, and prepare full, fair, accurate, timely, and understandable disclosure in all reports and documents that Tridan files with, or submits to, the SEC and in any other public communications by Tridan.
Covered Officers must review Tridan’s Disclosure Controls and Procedures to ensure they are aware of and carry out their duties and responsibilities in accordance with the Disclosure Controls and Procedures and the disclosure obligations of Tridan. Covered Officers are responsible for monitoring the integrity and effectiveness of Tridan’s Disclosure Controls and Procedures.
V. COMPLIANCE WITH APPLICABLE LAWS, RULES AND REGULATIONS
Covered Officers are expected to know, respect and comply with all laws, rules and regulations applicable to the conduct of Tridan’s business. If a Covered Officer is in doubt about the legality or propriety of an action, business practice or policy, the Covered Officer should seek advice from the Covered Officer’s supervisor or Tridan’s legal counsel.
In the performance of their work, Covered Officers must not knowingly be a party to any illegal activity or engage in acts that are discreditable to Tridan.
Covered Officers are expected to promote Tridan’s compliance with applicable laws, rules and regulations.
To promote such compliance, Covered Officers may establish and maintain mechanisms to educate employees carrying out the finance and compliance functions of Tridan about any applicable laws, rules or regulations that affect the operation of the finance and compliance functions and Tridan generally.
VI. REPORTING AND ACCOUNTABILITY
All Covered Officers will be held accountable for adherence to this Code. Each Covered Officer must, upon Tridan’s adoption of this Code (or thereafter as applicable, upon becoming a Covered Officer), affirm in writing to the Board that he/she has received, read, and understands this Code by signing the Acknowledgement Form attached hereto as Appendix A. Thereafter, each Covered Officer, on an annual basis, must affirm to the Board that he/she has complied with the requirements of this Code.