Administrative liability of the company

Viridis Energia implements an organisation and management model geared towards ensuring fair and transparent conducting of transactions and company activities, in order to safeguard its position and image, as well as stakeholder expectations (in accordance with the provisions of Legislative Decree no. 231 of 8 June 2001, which introduced regulations concerning administrative responsibility – but de facto criminal responsibility – of corporate bodies).

The model has been updated over the years to include new legal provisions and subsequent integrations regarding new offences set forth in Decree no. 231.

In particular, over the course of the years the organisational model of the parent company has been revised and updated as a result of the Group’s growth; in addition, new specific organisational models have been drawn up for subsidiaries that take into account the specific activities of the latter.

This decision, in accordance with the indications of the relevant legal theory and case-law, allows for ensuring greater efficacy and concreteness of the organisational models of both the parent company and the subsidiaries. Consequently, the various VRD “xx” S.r.l. and VBIO “xx” S.r.l. companies all have an autonomous organisation and management model that takes into account the specific nature of their business. At the same time, in accordance with the holding company’s model, these companies have updated their respective models to include offences taken into consideration by the legislator as a prerequisite for the application of Legislative Decree no. 231/01.
Reports of violations to Model 231 can be submitted via e-mail at the following address: or mailed to the following postal address:
Viridis Energia Srl – Organismo di Vigilanza Modello 231
Via Fabio Filzi, 2, 60123, Ancona (AN)



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