IN_RBIN_Commercial Compliance_Manager_Senior Manager (RBIN/CPO1)

  • Full-time
  • Legal Entity: Bosch Ltd.

Company Description

In India, Bosch is a leading supplier of technology and services in the areas of Mobility, Industrial Technology, Consumer Goods, and Energy and Building Technology. Additionally, Bosch has in India the largest development center outside Germany, for end-to-end engineering and technology solutions. The Bosch Group operates in India through 14 companies: Bosch Limited – the flagship company of the Bosch Group in India – Bosch Chassis Systems India Private Limited, Bosch Rexroth (India) Private Limited, Bosch Global Software Technologies, Bosch Automotive Electronics India Private Limited, BSH Home Appliances Private Limited, ETAS Automotive India Private Limited, Robert Bosch Automotive Steering Private Limited, Bosch Mobility Platform and Solutions India Private Limited, Newtech Filter India Private Limited, Precision Seals Manufacturing Ltd, Robert Bosch India Manufacturing and Technology Private Limited, MICO Trading Private Limited and Mivin Engg. Technologies Private Limited. Since commencing operations in 1951, we have steadily expanded our footprint across 17 manufacturing sites and 7 development and application centers, supporting both domestic and global markets. These facilities enable us to localize solutions, drive innovation, and respond with speed to dynamic customer and industry requirements. In FY 2024–25, we reported net revenue of 373,457 million INR (approximately euros 4.13 billion) and employed 38,655 associates as of March 31, 2025. Bosch Limited continues to anchor the Group’s India presence with a sharp focus on next-generation mobility, smart manufacturing, and digital transformation. It earned revenue from operations of Rs. 18,087 crores ((1,985 million euros) in fiscal year 2024-25.

 

 

Job Description

The tasks of the CPO are laid down in the RB/GF- Directive 120 “Bosch Group Compliance Management System”; topics include corruption, fraud, breach of trust, etc. including the respective Compliance Management System (area of responsibility). With respect to other (Compliance) topics forwarding of received information to the responsible department of the Bosch Group. To fulfil these tasks, the CPO has to be adequately equipped with sufficient human resources and equipment and with the required authority (e.g. rights of access).

I. Tasks of Commercial Compliance (RBIN/CPO1)
1. Risk Management
• Support Corporate Compliance Management (C/CM) in conducting risk analyses for the Bosch Group
• Support for the respective organizational Unit (OE) in assessing whether further anti-corruption risk analyses at the OE level are required; conducting of such anti-corruption risk analyses in their area of responsibility
• Develop, initiate and monitor measures to minimize these risks as well as support in taking any other measures required according to local law

2. Advice
• Advise for associates on questions concerning Compliance regulations in the Compliance area of anti-corruption and the Compliance Requirement in general within the scope of its responsibility.
• Take the insights gained from the consulting into account when further developing the Compliance Management System (CMS).
• Cooperation with authorities (incl. reports to the authorities) and law firms

3. Training / Communication
• Implementation and conducting of or providing assistance for Compliance training and other communication measures as required by C/CM
• Driving mindset change through compliance awareness and communication initiatives
• Supporting review of the need for additional Compliance measures at its organizational level (e.g., GB level regarding specific business risks), particularly by additional local regulations, risk analyses, or training to mitigate corruption risks

4. Monitoring and Control
• Receiving and processing reports concerning potential violations of the Compliance Requirement
• Conducting internal investigations on the basis of reports received (if necessary, with the help of other suitable responsible departments, particularly C/AUP) or transferring responsibility for the internal investigation to the responsible C for Compliance area or other appropriate offices or departments.
• Sanctions: Making recommendations and supporting the competent department (disciplinary supervisors, HR) with regard to disciplinary measures and other legal consequences based on compliance violations
• Work with professional IT tools

5. Reporting
• Regular reports to C/CM, RO/P and notifications to the GL of the OE to which it is assigned
• Support reporting of RBIN compliance cases to the Audit Committee in accordance with local law (as set out in the Whistleblower Policy)

6. Skills and Competence

• Sound knowledge in legal compliance and especially in the relevant criminal law as well as in the relevant Compliance regulations
• Fluent in the local language and English
• Certain experience within Bosch group (e.g. at least 5 to 8 years) or external experience in a comparable position
• Certain hierarchy level (minimum SL1 or development group)
• Good or very good knowledge of processes and procedures, products and services of Bosch and the respective entity
• Very good analytical, conceptional, report writing skills
• Broad network / networking abilities
• Flexibility, high willingness to perform and take responsibility, confident appearance, self-assertion and communication skills
• Good computer literacy
• Willingness to travel
• Other soft skills:…. (according to country / tasks)

Qualifications

• Chartered Accountant or Degree in law or similar with 5 to 8 years of experience in Ethics and Compliance, Fraud Investigation. Additional relevant certification such as Certified Fraud Examiners (CFE) would be preferred
 

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