+7 (8552) 55-19-82 (Mon–Fr: 8 am–5 pm MSK) agd-pk@kamaz.ru

COMPLIANCE POLICY

OF KAMAZ GROUP OF COMPANIES

1. Main concepts and definitions

Compliance – conformity of the activity of the Company and KAMAZ Group of Companies (hereinafter as Company) as well as Company employees with the requirements of international, Russian and, in case of activity outside the Russian Federation, applicable foreign law as well as internal policies and proce-dures, and with the decisions of the Company's managerial bodies.

Company's compliance system – the totality of elements of the corporate culture, organizational structure, rules and procedures regulated by the Company's internal guidelines and ensuring adherence to the principles of compliance by Company employees regardless of their position.

In the development of a compliance system the Company's priorities lie in countermeasures against corruption and the laundering of illegally obtained proceeds.

Corruption – abuse of employment status; giving bribes; taking bribes; serving as an intermediary in bribery; abuse of power; commercial bribery; unlawful transfer, offer or promise of compensation on behalf and in the interest of the Company, or other unlawful use by the Company Employee of his or her position in violation of the Company's lawful interests for the purpose of obtaining gain in the form of money, valuables, services, paid entertainment, vacation, transportation expenses, other property or pecuniary services, other proprietary interests for oneself or third parties, or unlawful provision of such a gain to the said individual by other natural persons as well as committing these deeds in the name and interest of the Company.

2. Principles of a compliance system:

2.1. Zero tolerance towards corruption in any of its manifestations

The Company deems inadmissible any and all occurrences of corruption during its productive, investment and any other activity.

Zero tolerance towards corruption means strictly forbidding any and all per-sons acting on behalf of the Company and in its interests, directly or indirectly, personally or through any type of mediation, to participate in corruption, regardless of the business practices in any given country.

2.2. Unconditional adherence

All Company employees must unconditionally and unfailingly meet the requirements of the applicable law and internal policies and procedures, regardless of their position, length of service, status and other relationships with the Company. 

2.3. Inevitable punishment 

The Company will make all possible, reasonable and lawful effort to achieve quick and inevitable prosecution of corrupt acts and other breaches of international, Russian and, in case of activity outside the Russian Federation, applicable foreign law as well as internal policies and procedures in the area of compliance, regardless of the size and form of such breaches. 

The Company reserves the right to disclose information about persons held liable for corrupt acts in accordance with established procedure.

3. Fundamental elements of the compliance system

3.1. Relationships with employees

The Company expects all of its employees to share Company principles as mentioned in this Policy and in the Code of Ethics of KAMAZ PTC, and to meet without reserve all requirements of current law and internal policies and procedures of the Company. 

The Company guarantees that no punitive measures will be taken against employees who refuse to carry out an action that by law can be deemed as corrupt even if in the result of such a refusal the Company does not receive additional tangible or intangible benefits and/or suffers losses which could be avoided only with violation of legislation or this Policy. 

The Company is opposed to unlawful retaliatory measures taken within the Company against employees who voluntarily report an alleged act of corruption carried out by another employee or vis-a-vis a Company employee, and will strive to identify and preclude such measures in a prompt manner. 

3.2. Relationships with counterparts

The Company prefers working relationships with business partners who have the same values as KAMAZ Group of Companies.

To realize such a declaration, the Company exercises due diligence when seeking counterparts and gives notification about the requirements of this policy. 

3.3. Relationships with public officials and state-related persons

The Company is opposed to paying or compensating for any expenses of public officials and/or state-related persons or public authorities, giving them or for their benefit any material or other gains, for the direct or indirect purpose of obtaining any type of unlawful advantage in the performance of its business. 

3.4. Entertainment costs and gifts

The Company is opposed to covering entertainment costs, gifting and receiving gifts if these costs or gifts directly or indirectly influence public officials and/or state-related persons to make decisions that give unlawful advantages to KAMAZ Group of Companies. 

Covering entertainment costs and giving business gifts are only allowed if they do not contradict the norms of international, Russian and, in case of activity outside the Russian Federation, applicable foreign law as well as internal policies and procedures of KAMAZ PTC, and especially the Compliance Policy and the Code of Ethics of KAMAZ PTC. 

3.5. Participation in charity and sponsorship activity

The Company does not participate in philanthropic and sponsorship projects, and political activity with the direct or indirect goal of influencing public officials, state-related persons and public authorities to make decisions that give unlawful advantages to KAMAZ Group of Companies. 

Information about all Company expenses on the provision of charity and sponsorship aid as well as expenses on political activity is publicly available. 

3.6. Bookkeeping and management accounting

All financial and business transactions and deals are entered accurately, correctly and with sufficiently level of detail in the books, are documented and accessible for audit purposes in accordance with the legally established procedure. 

The Company does not allow the performance of business transactions that are not entered in the books, or the distortion and falsification of data from accounting, managerial accounting or other types of record-keeping or supporting documentation. 

3.7. Evaluation of compliance system risks

The Company regularly evaluates compliance system risks for the prompt monitoring of business processes that are potentially subject to risk of corruption. 
The Company acknowledges the need to manage the risk of being entangled in corrupt activities, regardless of the magnitude of the potential breaches. 

Employees and third parties can report possible breaches confidentially and, if desired, anonymously by calling its hotline at +7 (8552) 371-837 or by directly contacting the head of the Internal Audit and Compliance Service.