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When any member of the Company has to make or influence a decision that
 7.2 MONEY LAUNDERING PREVENTION ACTIONS
                            may directly or indirectly benefit them or a family member (as an employee,
                            supplier of goods and/or services or client), they must notify their immediate
 The  Company  is  committed  to  comply  with  the  laws  and  regulations   supervisor and the area’s deputy director or director of the existence of a conflict
 regarding activities considered vulnerable.  Therefore, business relationships   of  interest;  the  latter  must  make  the  final  decision.  These  transactions  may
 4
 will only be established with reputable customers and suppliers whose   be authorized if they are properly supported insofar as they are carried out at
 activities are carried out with funds from legitimate sources. Hence, we must   market prices and under the same commercial conditions and requirements
 comply with the measures implemented that allow us to have knowledge of   applied to third parties. These operations must be documented and reported
 our clients and suppliers, calibrating the risk based on the type and size of   to the Corporate Audit Area, who will follow up their progress.
 business in question.
                            The  Company’s  Board  of  Directors  and  its  representative  bodies  have  the
 In the same way, reasonable measures must be taken to prevent and detect   authority  to  review  transactions  with  third  parties  considered  conflicts  of
 forms of payment that may be unacceptable or suspicious in accordance   interest or related parties and to approve or cancel them.
 with  the  corresponding  policy.  Failure to  detect business  relationships  or
 transactions that may put the Company at risk may also result in severe   In the event that direct relatives of the Company’s employees or executives are
 damage to its reputation. Therefore, as employees, we must be aware of and   hired,  justification  that  they  have  the  sufficient  qualifications,  performance
 comply  with external  and  internal  measures  regarding  the  prevention  of   and credentials for the position must be submitted and there must not be
 money  laundering  and  terrorist  financing,  to  always  be  vigilant  in  the  event   any direct employment or commercial dependency relationship between
 CODE OF ETHICS     RESPECT IS THE GOLDEN RULE
 that someone tries to use the services or products of the Group’s companies   the employee and said family member.
 to hide or simulate the origin of illicit resources.
                            For no reason will staff be assigned to positions where a relative of theirs has
                            the opportunity to verify, supervise, review, audit or affect their work, in any
 7.3 CONFLICT OF INTEREST AND RELATED PARTIES
                            way that may influence their salary or promotion progress.

 There is a real or apparent conflict of interest when the interests of a person,   If Company members contract marriage or other kind of kinship, they will
 their family or related third parties (where there is an emotional or personal   not be able to work in related areas that may generate a conflict of interest.
 bond) complicate their decision-making or compromise their efficient and
 objective performance.     Misuse of resources or influence of any position is prohibited. Even when there
                            is  no  immoral  intention,  the  appearance  of  a  conflict  can  have  a  negative
 A related party is understood as any person or legal entity who has   impact. It is crucial to consider how certain actions may be perceived and
 business dealings with the Company and who meets any of the following   how a perception of conflict of interest can be avoided.
 assumptions:
                            7.4 OTHER POSITIONS WITH DIRECT COMPETITORS
   Any  person  who  is  a  relevant  officer  and/or  has  significant  influence
 on the related party, and who has a blood or marriage kinship up to   OR WITH SUPPLIERS
 the fourth degree with the Company’s personnel  that is part of the
 Management Group or Relevant Directors.   In their free time, the actions of employees or executives must not clash with
                            their responsibilities in the Company. Company employees (regardless of
  The related party has share participation or power of command of   their position or hierarchical level) are not allowed to participate in another
 any executive, Board of Directors member or relevant director of the   organization that is a direct competition or with a supplier. If an executive
 Company.                   is  invited  to participate  as an  administrative or  advisory  Board  director  in
                            another entity or organization, he must inform his superior and the Executive
                            Chairman through the Corporate Audit area, who will communicate the
 4  Specifically, the Federal Law for the Prevention and Identification of Operations with Resources   resolution taken.
 of Illicit Origin in force on the date of this Code of Ethics’ publication, as well as the general
 provisions issued for that purpose by the Financial Intelligence Unit subordinated to Mexico’s
 Tax Authority (SAT, Servicio de Administración Tributaria).



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