Icici Group Code of Business Conduct and Ethics 2018

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ICICI GROUP

CODE OF BUSINESS CONDUCT AND


ETHICS

2018
ICICI Bank Limited

Topic Page No.

1. Preamble 02

2. Conflicts of Interest and Outside Activities 03

3. Privacy / Confidentiality 06

4. Anti Bribery and Anti Corruption/Gifts and Entertainment ____________ 08

5. Personal Investments 10

6. Know Your Customer / Anti Money Laundering 10

7. Accuracy of Company Records and Reporting 12

8. Protecting ICICI Group's Assets 13

9. Workplace Responsibilities 14

10. Raising Ethical Issues 17

11. Special Responsibilities of Superiors and Managers 18

12. Compliance with Laws, Rules and Regulations 19

13. Key Irregularities 20

14. Disciplinary Procedures 23

15. Compliance with the Code 27

16. Appendix: Duties of Directors 29

17. Employee Declaration 31

Group Code of Business Conduct and Ethics 1


ICICI Bank Limited

Preamble

• ICICI Group expects all its employees, officers and Directors to act in
accordance with high professional and ethical standards. You must be, and be
seen to be, committed to integrity in all aspects of your activities and comply
with all applicable laws, regulations and internal policies.

• In accepting a position with ICICI Group or any of its subsidiaries, each of you
become accountable for compliance with the law, with the ICICI Group Code
of Business Conduct and Ethics (‘the Code’), and with policies of your
respective business units.

• The standards of the Code are not necessarily prescribed by the regulators -
they are something, which a well respected institution must have in place and
adhere to on an ongoing basis. We therefore expect a high level of ethical
conduct.

• You must conduct your duties according to the language and spirit of this
Code and seek to avoid even the appearance of improper behaviour. Your
actions need to demonstrate and evidence the principle of acting in good faith
and without negligence. You should be aware that even well intentioned
actions that violate the law or this Code may result in negative consequences
for ICICI Group and for the individuals involved.

• While covering a wide range of business practices and procedures, these


standards cannot and do not cover every issue that may arise, or every
situation where ethical decisions must be made, but rather set forth key
guiding principles that represent ICICI Group’s policy.

Group Code of Business Conduct and Ethics 2


ICICI Bank Limited

Group Code of Business Conduct and Ethics

Conflict of Interest and Outside Activities

Conflicts Of Interest – General Principles

 Conflicts of interest can occur if our business practices sacrifice interests of one
set of customers in favour of another or place business interests ahead of
customers.

 To address such situations, the Bank has adopted a Framework for Managing
Conflict of Interest which articulates several measures taken by the Bank in
ensuring that conflicts of interest are handled in an appropriate manner, at the
individual employee level, at the level of Board of Directors and at the Group
level.

 If you are aware of any circumstances which you think may give rise to a
conflict of any kind, or if you become aware of information which places you in
difficulty in carrying out your function (for example, if you obtain confidential
information about a company), you must handle the same as per the conflict of
interest framework applicable to your Company.

 As part of its management of conflict of interest, the Bank has put in place a
process approved by its Product and Process Approval Committee viz., the
“Operational Framework for Chinese Wall” for ensuring that confidential
information is appropriately secured and decisions and service to clients are
independent of such confidential information. There are information barriers
between departments that routinely have access to confidential / non - public
Information ("Insider Areas") from those who do not have such access ("Public
Areas"). As a general principle, “Insider areas” should refrain from sharing any
information with anybody in the “Public Areas”. However, in case the need is
felt, the procedure for crossing the wall including obtaining prescribed
approvals needs to be followed.

 You would be expected to be sensitive to any activities, interests or


relationships that might interfere with or even appear to interfere with, your
ability to act in the best interests of ICICI Group and its customers.

 You must abide by specific “Dos and Don’ts” issued by business group you are
part of, or those issued by other groups such as Compliance Group, Financial
Crime Prevention Group or Human Resource Management Group.

 You must disclose to the HR of your company, annually, a statement that you
have no material interest or any other conflicting interests, in any person who is
a party to a material contract or proposed contract with ICICI Group. In case of
any doubt in regard to the extent of disclosure applicable, kindly contact the HR
department.

Group Code of Business Conduct and Ethics 3


ICICI Bank Limited

 Examples of situations that could involve conflicts of interest include:

o Selling a product that is profitable for the Group but not appropriate for the
customer;

o Ownership, by employees or their family members, of a significant interest in


any outside enterprise, which does or seeks to do business with or is a
competitor;

o Acting as a broker, finder, go-between or otherwise for the benefit of a third


party in transactions involving or potentially involving the Group or its
interests;

o Working, in any capacity, for a competitor, customer, supplier or other third


party while employed by ICICI Group;

o Competing with ICICI Group for the purchase or sale of property, products,
services or other interests;

o Having an interest in a transaction involving the Bank, a competitor, customer


or supplier (other than as an employee, officer or director of the Bank and not
including routine investments in publicly traded companies);

o Receiving a loan or guarantee of an obligation as a result of your position with


the Bank;

o Directing business to a supplier owned or managed by, or which employs, a


relative or friend.

Conflicts of interest arising out of personal Investments

While undertaking personal investments, it should be borne in mind that such


investments should not:

 Affect or appear to affect your ability to make unbiased business decisions for
ICICI Group;

 Be contrary to ICICI Group's interests (e.g. using proprietary knowledge


obtained through the course of employment to make investments that are not
in the best interest of the ICICI Group);

 Be in the businesses of ICICI Group’s customers, suppliers, or competitors that


could cause divided loyalty, or even the appearance of divided loyalty.

Please refer to the section on personal investments for further guidelines in relation
to adherence to the ICICI Bank code of conduct to regulate, monitor and report trades
in securities by directors, employees & connected persons (Insider Trading Code).

Conflicts of interest through outside business activities

Group Code of Business Conduct and Ethics 4


ICICI Bank Limited

 Due to potential conflicts with ICICI Group, you must obtain approval from
Committee of Directors (or an appropriate internal committee in case of other
entities in ICICI Group) before you accept a position as a director of an
unaffiliated for-profit company or organization or when you work with a
professional organisation/ association outside ICICI Group.

 Working with professional organisations/ associations does not typically create


a conflict of interest where :

 The work is related to the legitimate professional interest and development of


the employee and does not interfere with the employee’s regular duties;

 Does not use official resources inappropriately (either physical resources or


time);

 Does not compete with the work of ICICI Group and is not otherwise contrary
to the best interests of the Group;

 Does not violate national, international or local law.

 It may however be mentioned that, while undertaking outside activities, you


should not use ICICI Group name, facilities, or relationships for personal benefit.
Further any employee accepting an appointment, as director of an unaffiliated
for-profit company/ organisation must ensure proper treatment of confidential
information received from such entity in connection with being a director.

Dos and Don’ts

Do

 Act in the best interests of ICICI Group and its customers and handle activities,
interests or relationships in a sensible manner
 Handle conflicts of interest as per applicable Conflicts of Interest Framework
 Submit an annual statement of Conflicts of Interest to the HR of your Company

Don’t

 Undertake personal investments or outside activities or involve in any financial


transaction with colleagues, customers or suppliers that would create conflicts
of interest

Group Code of Business Conduct and Ethics 5


ICICI Bank Limited

Privacy/Confidentiality

Proprietary and Confidential Information

 You must always protect the confidentiality of proprietary and confidential


information (sensitive to ICICI Group) you obtain or create in connection with
your activities for ICICI Group, in accordance with the applicable law. Your
obligation to protect ICICI Group’s proprietary and confidential information
continues even after you leave the Group, and you must return all proprietary
information in your possession upon leaving ICICI Group.

 Proprietary and confidential information include any system, information or


process (sensitive in nature) that gives ICICI Group an opportunity to obtain an
advantage over competitors; nonpublic information about ICICI Group
businesses, its customers and its employees, any other nonpublic information
received.

 Proprietary and confidential information about ICICI Group, a customer, supplier


or distributor, should not be disclosed (even with best of intentions) to anyone
(including other employees) not authorized to receive it or has no need to know
the information, unless such disclosure is authorized by the customer or is
required by law, appropriate legal process or appropriate internal authorities.

 Intellectual property of ICICI Group such as trade secrets, patents, trademarks


and copyrights, as well as business, research and new product plans, objectives
and strategies, records, databases, salary and benefits data, employee medical
information, customer, employee and suppliers lists and any unpublished
financial or pricing information are some examples of proprietary and
confidential information that need to be protected.

 Unauthorized use or distribution of proprietary information violates the internal


policies and could be illegal. Such use or distribution could result in negative
consequences for both ICICI Group and the individuals involved, including
potential legal and disciplinary actions.

 Acts of ignorance that could lead to leakage of such proprietary information,


especially through electronic means – like e-mails, web uploads, removable
media (e.g. CD/DVD/pen drive) etc., may lead to investigation and probe against
the employees.

 It is your responsibility to protect proprietary and confidential information


(sensitive in nature) pertaining to the Bank or its customers in a manner
commensurate with its classification as per the principles enunciated in the
Information Security Policy, Standards & Procedures of ICICI Group.

 You shall not in terms of your Employment Contract, during the course of your
employment/service with the ICICI Group and thereafter also post your
employment, without prior authorization from ICICI Group, engage in, publish,

Group Code of Business Conduct and Ethics 6


ICICI Bank Limited

disclose, divulge or disseminate any confidential and/or sensitive information in


relation to ICICI Group and/or comment on or publish in media or contact the
media on any aspect/issue/matter pertaining to the ICICI Group that has come
to your knowledge during the period of your service with ICICI Group, nor
would you make any representations which will have the effect of tarnishing or
diluting the reputation or brand equity of any entity in the ICICI Group. For the
avoidance of doubt, confidential or sensitive information shall, in addition to
any information defined as such under the Employment Contract, include any
confidential and/or proprietary information belonging or relating to ICICI Group,
its customers, or potential customers, or any member of the ICICI Group,
howsoever received or any of its officers, directors, employees, shareholders,
any person or entity associated with them (both past and present),or any
business practices, plans or procedures, partners, products or business of the
ICICI Group. The aforesaid restrictions on publication of information and non-
disparagement will operate during and post your employment with ICICI Group,
since they are essential for protecting the business and commercial interests of
ICICI Group and are fair and reasonable in light of the benefits accrued to you
by your employment.

 ICICI Group reserves the rights to monitor its employees’ activities on ICICI
owned assets.

 We, at ICICI Group, respect the proprietary rights of other companies and their
proprietary information and require you also to observe such rights.

Privacy of Employee Information

At ICICI Group, we recognise and protect the privacy and confidentiality of employee
medical and personal records. Such records would be shared strictly on need to
know basis or as required by any law, rule and regulation or when authorized by the
employee or as per subpoena or court order and requires approval by internal
counsel.
Privacy / Confidentiality
Dos and Don’ts

Do

 Properly control access to your work areas and computers and keep sensitive
information safe and secured in all forms, physical or electronic
 Ensure appropriate destruction of information (both physical or electronic)
when the same is not required for work anymore
 Obtain any relevant information directly from the person concerned
 Access to information or data by outsourced will also be subjected to the
relevant employee’s accountability, in case such data is misused
 Keep customer information secured at all times and uphold ICICI Group Privacy
promise for customers
 Limit access to non-public information strictly to authorised personnel on a
‘need to know’ basis

Group Code of Business Conduct and Ethics 7


ICICI Bank Limited

 Comply with local data protection and privacy laws that affect the collection,
use and transfer of personal customer information
 While accessing Intranet and Internet, ensure compliance with internal policies
and procedures
 Ensure that worldwide electronic information exchange and dialogue, electronic
business dealings are all as per internal policies and procedures
 Report information security incidents such as suspicious emails, individual
password sharing, data leakage or data theft, phishing or malware attacks,
hacking attempts etc. through the reporting mechanisms of ICICI Group.
 Abide by the ICICI Bank Privacy Protection Standard.

Don’t

 Discuss sensitive matters or confidential information in public places


 Violate the Information Security Policy applicable to your Company
 Transfer official information into personal databases or carry hard copies of
official information (otherwise than for official purposes) outside the office,
without prior permission from your superior
 Pass information, in any manner, directly or indirectly to any recruitment/search
agencies or to competitor or any other organisations
 Share sensitive information in the subject line or body of e-mails or through
unprotected attachments without proper authorisation and approved controls

Anti Bribery and Anti Corruption / Gifts & Entertainment

Accepting Gifts and Entertainment- General Principles

In general, employees should not accept gifts - anything of value (including


entertainment and incentives) from current or prospective customers or suppliers,
unless it is in accordance with the Operational Guidelines for Acceptance of Gifts
Entertainment and Sponsored Travel. These guidelines broadly covers following
areas:

 Gifts
 Entertainment and Sponsored Travel
 Incentives offers received at the Bank's Level

Offering of Gifts and Entertainment - General Principles

 Gifts and/or entertainment should be offered only post appropriate approvals


from relevant senior management and in compliance with the Operational
Guidelines for Gifts Entertainment and Sponsored Travel. These guidelines
broadly covers following areas:

 Gifts
 Entertainment, Hospitality and other expenses
 Donations

Group Code of Business Conduct and Ethics 8


ICICI Bank Limited

Bribery and Corruption

 Bribery/Corruption is defined as receiving or offering of an undue reward


from/to any third party.

 You must note that ICICI Group follows zero tolerance approach towards
Bribery and Corruption.

 You must not make any payment to or for anyone for the purpose of obtaining
or retaining business or for obtaining any favourable action. If you are found to
be involved in making such payments, you would be subject to disciplinary
action as well as potential civil or criminal liability for violation of the Code.

 You should not offer or give any funds or property as donation to any
government agency or its representatives, in order to obtain any favourable
performance of official duties.

 While you are expected to put in best of your efforts in every transaction, you
will not be penalised by ICICI Group for delayed performance of a transaction
solely on the grounds of refusal to pay bribes.

 You should familiarise yourself and comply with the Bank's Anti Bribery and
Anti Corruption Policy which is available on the Intranet. You should contact the
Compliance Group with any questions on the matter.

Dos and Don’ts

Do

 Accept or offer any gift and/or entertainment only in line with the Code and the
Operational Guidelines for Gifts Entertainment & Sponsored Travel
 Adhere to Bank’s Anti-Bribery & Anti- Corruption Policy

Don’t

 Make any payment to or for anyone that could tantamount to bribe/corruption


 Receive/accept a gift, entertainment, etc. from a prospective customer of the
Bank
 Offer gifts and/or entertainment to any person for the purpose of obtaining or
retaining business or for influencing any decision or action of the recipient in an
improper manner

Group Code of Business Conduct and Ethics 9


ICICI Bank Limited

Personal Investments

 To protect the integrity of ICICI Group and its subsidiaries and affiliates, it is
essential that you conduct your personal trading as per the framework
prescribed for prohibition of insider trading under SEBI (Prohibition of Insider
Trading) Regulations, 2015, in an appropriate manner that withstands public
scrutiny and does not create even the appearance of impropriety.

 ICICI Group policy and the laws of many countries prohibit trading in securities
of any company while in possession of material, non-public information (also
known as inside information) of any company. Employees of certain ICICI Group
businesses are subject to additional personal trading policy restrictions.

 You should note that using non-public information to trade in securities, or


providing a family member, friend or any other person with a “tip”, is illegal. All
on public information should be considered inside information and should
never be used for personal gain.

 You are required to familiarise yourself and comply with the Code of Conduct
laid by the Bank in line with SEBI (Prohibition of Insider Trading) Regulations,
2015 (or such other Code applicable to your Company), copies of which are
available on the Intranet or from the Company Secretary.

 Investments in securities should be made as per the Insider Trading Code, of


the respective company.

Dos and Don’ts

Do

 Ensure adherence to the Code for Prevention of Insider Trading applicable to


your Company

Don’t

 Handle personal investments while in possession of “Insider information”

Know Your Customer / Anti Money Laundering

 Anti Money Laundering & Combating Financing of Terrorism legislations


criminalize flow of money of/from the specified crimes including trafficking of
any kind (e.g.: drug, human, animal, organs, body parts, etc.), terrorism, theft,
fraud, handling of stolen goods, counterfeiting, etc. It is also an offence to
undertake and/or facilitate transactions with individuals and entities whom you

Group Code of Business Conduct and Ethics 10


ICICI Bank Limited

suspect of being involved in money laundering or terrorist financing (ML/TF). In


such cases, escalate your concerns to the Compliance team responsible for
your units.

 ICICI Group does not do business with persons suspected to be involved in


ML/TF. We are fully aware that no customer relationship is worth compromising
our commitment to combating ML/TF.

 ICICI Group has adopted the Group Anti Money Laundering (AML) and
Combating Financing of Terrorism (CFT) Policy accompanied by detailed
procedures with the principal objectives as under:

o Preventing ICICI Group from being used by money launderers to further their
illicit business;
o Enabling ICICI Group to assist law enforcement agencies in identifying and
tracking down money launderers;
o Ensuring that ICICI Group remains compliant with all relevant anti-money
laundering legislation and regulations.

 You must exercise requisite care in selecting those with whom we conduct
business. While conducting business, you must adhere to processes which are
in place for checking the identity and complete profile of the customers and
counter parties as per guidelines. In case of unusual transactions which are not
of regular nature, care should be exercised and reasons for undertaking that
transaction should be analysed/documented with appropriate internal
approvals. These processes ensure adequate customer due diligence and
ongoing monitoring of their transactions. This is done to detect suspicious
transactions during the entire period of relationship.

Dos and Don’ts

Do

 Ensure adherence to the Group Anti Money Laundering Policy


 Undergo relevant training to update yourself on applicable internal KYC/AML
guidelines
 Exercise requisite due diligence while accepting a customer and undertaking a
transaction and make reasonable enquiries in case of doubt
 Escalate all suspicious activities/ transactions (including attempted/aborted
transactions) where ML/TF is suspected regardless of the amount involved or
the nature of the offence as per the applicable internal procedures. Failure to
report suspicious transactions despite having knowledge is an offence under
law.

Don’t

 Provide assistance to any person to launder proceeds of any criminal conduct

Group Code of Business Conduct and Ethics 11


ICICI Bank Limited

 Prejudice an investigation by informing (i.e. tipping off) the person who is the
subject of a suspicious transaction
 Attempt to undertake investigations on your own without the guidance of the
relevant officials when any incident is reported.

Accuracy of Company Records and Reporting

 You must ensure that records, data and information owned, collected, used and
managed by you for ICICI Group are accurate and complete. Records must be
maintained as per the applicable record retention policy of your Company in
sufficient detail so as to reflect accurately the company's transactions.

 You must assist in maintenance of appropriate records so as to ensure that


financial transactions are prepared in accordance with generally accepted
accounting principles and that they fairly present the financial conditions and
results of the company.

 You must observe high standards of decency regarding content and language
when creating business records and other documents (such as email) that may
be retained by ICICI Group or a third party.

 Non-maintenance of these records that comes into your notice and any
misappropriation or tampering of records needs to be reported to a relevant
authority.

Reporting to Government/external agencies

 ICICI Group has a responsibility to communicate effectively with shareholders


so that they are provided with full, accurate and timely information, in all
material respects, about the ICICI Group’s financial results and condition of
operations. Our reports and documents are required to be filed with or
submitted to regulatory authorities in various countries. Hence, such reports
and any other public communications should be full, fair, accurate, timely and
understandable.

 You must, therefore, never make inaccurate or misleading reports, certificates,


claims or statements to government / regulatory authorities.

Dos and Don’ts

Do

 Maintain accurate data in sufficient detail to reflect accuracy of company


transactions
 Assist in preparation of true and fair financial statements of the company

Group Code of Business Conduct and Ethics 12


ICICI Bank Limited

 Crosscheck the reports being submitted to regulatory authorities; in case there


are any errors found, report to the relevant authority and take corrective action
immediately.

Don’t

 Make inaccurate reports to the applicable government / regulatory authorities

Protecting ICICI Group’s Assets

Protecting ICICI Group’s assets against loss, theft or other misuse is the responsibility
of every employee, officer and Director. Loss, theft and misuse of ICICI Group’s
assets directly impact our profitability. Any suspected loss, misuse or theft should be
reported to your supervisor or the Chief Financial Officer.

Dos and Don’ts

Do

 Use ICICI Group assets (physical and intellectual) primarily for official purposes
 Report any misuse or theft of assets, including instances of data leakage or data
theft, by any employee or outsourced agents of ICICI Group that comes to your
notice

Don’t

 Copy, sell, use or distribute information, software and other forms of intellectual
property in violation of licenses
 Misappropriate ICICI Group assets as it is a breach of your duty and may
constitute an act of fraud against ICICI Group
 Use official resources in another business in which you, a friend or family
member is involved
 Use official stationery, supplies, and equipment for personal or political matters
 Introduce, access or download material considered indecent, offensive, or is
related to the production, use, storage , or transmission of sexually explicit or
offensive items using ICICI Group assets
 Conduct any illegal or objectionable activities, including gambling, gaming, etc.
using ICICI Group assets
 Make any changes to the settings or configurations of ICICI Group assets
without authorisation as per extant process
 Open attachments or click on links in websites or unexpected emails that come
from unknown or untrusted sources or seem suspicious
 Attempt to hack or gain illegal access to any ICICI Group assets
 Download or install freeware or shareware (including screensavers), without
authorisation as per the extant process

Group Code of Business Conduct and Ethics 13


ICICI Bank Limited

Workplace Responsibilities

Fair Employment Practices and Diversity

 ICICI Group is committed to adoption of fair employment practices. It ensures


diversity of workplace through efforts to recruit, develop and retain the most
talented people from a diverse candidate pool. It upholds the principle that
advancement is based on talent and performance and there is a commitment to
equal opportunity.

 As a fair employment practice, you shall not (during the course of your service
or for a period of one year from the date of cessation), directly or indirectly on
your own accord or on behalf of or in conjunction with any other person, solicit
or employ any director, officer or employee of ICICI Group as well as any
employee of any client or service provider/vendor (with which client or service
provider/vendor you have been associated in the one year prior to your
cessation of service), of the ICICI Group in any activity, vocation, profession,
employment, consultancy, service, occupation or business that you undertake
or in any manner, cause such person to be solicited or employed by any person
or enterprise with whom you may be associated in any capacity.

Fair Competition

 Although it is common to gather information about the general marketplace,


including competitors' products and services, the Company wants to compete
fairly.

Drug Free Workplace

 You should ensure that your workplace is healthy and productive and free from
drugs.

Discrimination and Harassment and Intimidation

 ICICI Group is committed to prohibition of harassment and intimidation of


employees in the workplace. ICICI Group discourages conduct that implies
granting or withholding favours or opportunities as a basis for decisions
affecting an individual, in return for that individual’s compliance. Such action is
an easier form of harassment to identify because it takes the form of either a
threat or a promise, whether explicit or implied.

 ICICI Group has a Sexual Harassment Policy that prohibits unwelcome


advances, requests for sexual favours, or other verbal or physical conduct
where such conduct has the purpose or effect of unreasonably interfering with
an individual’s work performance or creating an intimidating, hostile or
offensive working environment.

Group Code of Business Conduct and Ethics 14


ICICI Bank Limited

Safety in the Workplace

 ICICI Group considers safety of employees as the primary concern. ICICI Group
is committed to safety of employees and expects its businesses and employees
to comply fully with appropriate laws and internal regulations.

 ICICI Group encourages responsible behaviour of its employees and colleagues


that result in the best possible accident prevention measures. This applies both
to the technical planning of workplaces, equipment, and processes and to
safety management and personal behaviour in everyday workplace.

 Your work environment, therefore, must conform to the requirements of health


oriented safety design and you must constantly be attentive to safety principles.

Fair Treatment of counter-parties

 The quality of our relationships with our suppliers and other external
counterparties often has a direct bearing on the quality of our products,
services and ultimately our customer relationships. We therefore expect our
suppliers to operate to the same standards as we expect of ourselves.

 All such relationships with external counter-parties should be conducted in


professional and impartial manner. Vendor selection and hiring decisions must
be made objectively and in best interest of ICICI Group, based on evaluation of
integrity, suitability, price, delivery of goods/ service, quality and other pertinent
factors. You should commit to fair contract and payment terms with them in
return of good service at a good price supplied in a responsible manner.

 Your personal relationship with contractors, suppliers and vendors should be


disclosed to your superior at the time of entering into the transaction and
should not influence decisions made on behalf of ICICI Group. Negotiations with
customers and potential customers should be conducted in a professional
manner.

 Vendors or suppliers should not be used for any personal purposes, so as to


have any conflict of interest while dealing with them.

Corporate Opportunities

 Employees, officers and Directors are prohibited from taking for themselves
business opportunities that arise through the use of corporate property,
information or position. No employee, officer or Director may use corporate
property, information or position for personal gain, and no employee, officer or
Director may compete with ICICI Group.

 Competing with ICICI Group may involve engaging in the same line of business
as the Group, or any situation where the employee, officer or Director takes

Group Code of Business Conduct and Ethics 15


ICICI Bank Limited

away from the Group opportunities for sales or purchases of property,


products, services or interests.

Contact with Media

 In order to pro-actively manage our reputation with the media and to ensure
consistency of messages, interaction with media must only occur with the prior
approval of Corporate Brand and communications Group.

Social Media

 Social media allows users to interact with each other by sharing information,
opinions, knowledge and interests. Some examples of social media are sites
such as Facebook, YouTube, LinkedIn, Orkut, Twitter etc.

 There are various risks associated with communicating on the Social Media
platform. Thus, there is a need to address such concerns in an appropriate
manner keeping in mind employee’s freedom and the interest of the Bank and
its wider stakeholders.

 Bank’s Social Media Policy lays down standards employees should adhere to
while communicating internally, externally as well as online.

Dos and Don’ts

Do

 Ensure that external, internal & online communications are in line with the
Bank’s Social Media Policy
 Respect personal dignity, privacy, and personal rights of every individual
 Work together with women and men of various nationalities, cultures, religions,
and races in a professional manner
 Be open and honest and stand by your responsibility
 Treat our customers, suppliers, competitors and employees fairly
 Maintain the safe and healthy working environment provided by the company
 Be committed to prevent wasteful use of natural resources

Don’t

 Discriminate, harass or offend anybody by whatever means, be it sexual or


otherwise
 Use ICICI Group systems to transmit or receive electronic images or text of a
sexual nature or containing ethical slurs, racial epithets or other harassing,
offensive or lewd materials
 Obtain competitive information by unethical or illegal means, such as corporate
espionage or improper access to confidential information

Group Code of Business Conduct and Ethics 16


ICICI Bank Limited

 Engage in contacts with competitors that could create even an appearance of


improper agreements, whether the contact is in person, in writing, by telephone
or through e-mail
 Take unfair advantage of anyone through manipulation, concealment, abuse of
privileged information, misrepresentation of material facts or any other unfair
dealing practice
 Do not issue directives to violate the terms of vendor’s contracts

Raising Ethical Issues

 ICICI Group encourages employees to report to their supervisor/ HR/


compliance, concerns and suspected violations of the Code, internal policies,
external legal and regulatory requirements etc. You may choose to remain
anonymous if you wish. All significant breaches should be escalated
immediately.

 ICICI Group will conduct prompt and thorough investigations of alleged


violation and take appropriate corrective action.

 Retaliatory action against an employee for making a good faith report is


prohibited.

 HR takes appropriate actions against individuals who have broken laws, rules
and regulations.

 An employee who knowingly violates the internal policies and guidelines shall
be subject to disciplinary action, including demotion or dismissal.

 In case of any doubts in undertaking any new role, assignment or


responsibilities, please ensure all dos and don’ts are well understood, so as to
avoid pleading ignorance by overstepping on some protocols.

Investigations

You are required to cooperate fully with authorised internal and external
investigations. Making false (or misleading) statements to regulators/ auditors/ ICICI
Group representatives during investigations can be a criminal act that can result in
heavy penalties.

Dos and Don’ts

Do
 Report to your supervisor/HR/compliance, concerns and suspected violations of
the Code, internal policies, external legal and regulatory requirements etc

Group Code of Business Conduct and Ethics 17


ICICI Bank Limited

Don’t

 Knowingly withhold information that raises ethical questions and bring such
issues to the attention of senior management or ensure reporting as per the
applicable Whistle Blower Policy
 Destroy records that are potentially relevant to a violation of law or any
litigation or any pending, threatened or foreseeable government investigation
or proceeding

Special Responsibilities of Superiors and Managers

In addition to responsibilities as employees, supervisors and managers must abide


by the:

 Duty of selection - Carefully select the employees for a job in light of their
personal and professional qualifications. The duty of care increases with the
importance of the obligation to be entrusted to the employee.

 Duty of instruction – Formulate obligations in a precise, complete, and binding


manner, especially with a view to ensure compliance with provisions of
instructions.

 Duty of monitoring - Ensure that compliance with provisions of applicable laws /


regulations is monitored on a constant basis.

 Duty of communication – Communicate to the employees that any violations of


the applicable laws/regulations are disapproved of and would have disciplinary
implications.

Dos and Don’ts

Do

 Strive to create and sustain an environment that promotes ethical behaviour


 Assist your staff to understand and apply the internal policies and procedures
 Encourage and practice whistle blowing, so as to avoid any doubts later that an
offence was being committed with your knowledge, which could be construed
as connivance by the employee

Don’t

 Issue directives to violate the terms of internal policies/procedures

Group Code of Business Conduct and Ethics 18


ICICI Bank Limited

Compliance with Laws, Rules and Regulations

 ICICI Group's Policy is to maintain an open and co-operative relationship with


our regulators and to comply with all applicable laws, rules and regulations. The
Group also disseminates information regarding compliance with laws, rules and
regulations that affect business.

 Accordingly the Bank has put in place the Group Compliance Policy as
approved by the Board of Directors.

 Violation of the law must be avoided under any circumstances, especially


violations that attract punishment of imprisonment, monetary penalties, or
fines. Notwithstanding the legal consequences of such violation, any employee
found guilty will be additionally liable to disciplinary actions, initiated by the
company for violating the Code.

 Particular care should be taken to act legally in those areas where the law is
evolving rapidly or is being extended to cover activities that have not been
covered by legal requirements in the past. When in doubt, the Compliance
Group should be consulted.

 All employees will have an obligation to abide by the country specific


laws/regulations/ requirements as stipulated in the “Country Specific
Standards”, wherever applicable as per the roles and responsibilities in addition
to the provisions of the Code. For example, any employee of the Bank, located
in India, having access to personal data/customer information of the Singapore
branch shall be obliged to abide by the “Country Specific Standards” relevant to
Singapore in addition to the provisions of the Code. The employees are also
obliged to abide by the updates in the Country Specific Standards as may be
amended from time to time.

 Independent Directors of the Bank shall adhere to the duties as provided in


Code for Independent Directors under Schedule IV of the Companies Act, 2013
as well as duties as prescribed in the Companies Act, 2013 as amended from
time to time which shall also form an integral part of the Code (attached as
Appendix) and all Directors and other employees shall ensure compliance with
applicable laws, rules and regulations applicable to them from time to time.

Dos and Don’ts

Do

 Familiarise yourself with the ICICI Group Compliance Policy


 Comply with all applicable laws, rules and regulations
 Contact with regulators through designated officials as per internal guidelines
 Notify Compliance Group immediately of any significant contacts made directly
by a regulator

Group Code of Business Conduct and Ethics 19


ICICI Bank Limited

Don’t

 Commit an illegal or unethical act, or instruct others to do so, for any reason
 Commit such acts simply because you see someone else doing it, or your
supervisor not warning you

Key Irregularities Key Irregularities

 While the Group believes that the employees would realise and appreciate the
need to follow this Code in letter and spirit, in an unfortunate incident or act of
breach, a corrective and/or deterrent action becomes unavoidable. Therefore
any breach of the stipulations mentioned in the Code should be treated as
misconduct for which appropriate penalty would be imposed.

 Based on the intent, seriousness and mitigating/extenuating circumstances of


such non-compliance the breaches can be broadly classified into four
categories as detailed hereunder.

A. Habitual Irregularities

Repeated negligence in performing duties, depending on the gravity and


consequences to the Company may fall under this category. Illustrative behaviour
includes:

 Unpunctual or irregular attendance, leaving workplace without permission,


habitual or prolonged absence without leave
 Negligence or failure to take due care while obtaining and preserving
documents/records
 Negligence or failure to ensure accuracy and timely completion of work
 Indecent/discourteous behaviour with customers, employees, superiors etc
 Not following the prescribed dress code
 Showing an intransigent or unreasonably negative attitude to management
and/or fellow employees
 Minor breach of health and safety requirements
 Smoking in a non-designated area
 Careless use of the Company’s equipment or furniture
 Refusing to attend nominated training programs unless agreed upon with
superior
 Use of foul or abusive language (whether verbal or in writing)
 Refusing a reasonable request to moderate changes in responsibilities if such a
change is a business necessity
 Being under the influence of alcohol and/or drugs not medically prescribed
when at work (whether on ICICI Group premises or otherwise)
 Consumption or being under the influence of drugs not medically prescribed
and/or excessive alcohol at a management sponsored event
 Indulging in habitual errors, negligence while performing duties

Group Code of Business Conduct and Ethics 20


ICICI Bank Limited

B. Gross/serious violations

Any act which is in breach of the Code, internal policies/procedures and which may
cause financial loss or reputation risk to the Company falls under this category.
Illustrative behaviour under this category includes:
 Failing to comply with ICICI Group policies, procedures, rules and working
practices
 Obstructing the customers from dealing with ICICI Group or obstructing other
employees from discharging their responsibilities
 Engaging in any other trade/ business/ employment while in the employment of
the Company without confirming with your supervisor
 Participation in any demonstration against the Company or its officials
 Accepting gifts and favours from clients and vendors in violation of relevant
guidelines
 Disrupting/slowing down of continuous customer service or work, in the branch
or office –either solely or by way of participation in strike, bandh etc
 Violation of any of the provisions of the security policy including Information
Security Policy of the company
 Taking a decision, which has financial implications favouring you, any of your
teams or relatives
 Involvement in harassment including sexual harassment or racial harassment
 Failure to take all possible steps to protect the interest of ICICI Group and to
perform duties with utmost integrity, honesty, devotion & diligence
 Indulging in any act which is likely to cause damage/loss to the property and
which are prejudicial to the reputation and interest of ICICI Group
 Failure to act in the best judgment while performing duties as well as while
exercising delegated power entrusted by ICICI Group
 Failure to avoid indebtedness in any manner while in service
 Engaging in and/or facilitating any financial dealing/s including money lending
whatsoever with colleagues
 Any act which brings or have the potential to bring dis-repute to the image of
ICICI Group at all times
 Failure to comply with existing regulatory rules and regulations such as Reserve
Bank of India Act, 1934 and Banking Regulations Act, 1949, etc
 Any other act which is against the ethos/culture of the company

C. Fraudulent Irregularities

Any act with a fraudulent or malafide intention irrespective of whether there was any
financial loss or loss of reputation to ICICI Group falls in this category. Some
illustrative behaviour under this category would include:

 Suppressing or misrepresentation of facts


 Any act of creation/acceptance of fake/ incorrect/ fraudulent records or
manipulation of records with fraudulent intention i.e. fudging of records, MIS
records, etc
 Failure of due diligence in any deal/transaction to avoid any possibilities of a
fraud or money laundering

Group Code of Business Conduct and Ethics 21


ICICI Bank Limited

 Data theft or pilferage or any dishonest act


 Involvement in any act in the area of corruption, misuse of office, criminal
offences, suspected or actual fraud etc
 Helping customers in ways which could lead to a loss to ICICI Group
 Engaging in and/or facilitating any financial dealings through your personal
banking account. The Bank has issued Guidelines for “Operating Salary
Account" by staff for reference in this regard

The Bank is governed by the Companies Act which as recently revised in August
2013 has defined the act of “fraud” under Section 447 and has prescribed the penal
provisions for the same. The same is given below:

Definition of Fraud:

“Fraud” in relation to affairs of a company or anybody corporate, includes any act,


omission, concealment of any fact or abuse of position committed by any person or
any other person with the connivance in any manner, with intent to deceive, to gain
undue advantage from, or to injure the interests of, the company or its shareholders
or its creditors or any other person, whether or not there is any wrongful gain or
wrongful loss;

 “Wrongful gain” means the gain by unlawful means of property to which
the person gaining is not legally entitled;
 “Wrongful loss” means the loss by unlawful means of property to which
the person losing is legally entitled.

Punishment for fraud:

Without prejudice to any liability including repayment of any debt under this Act or
any other law for the time being in force, any person who is found to be guilty of
fraud, shall be punishable with imprisonment for a term which shall not be less than
six months but which may extend to ten years and shall also be liable to fine which
shall not be less than the amount involved in the fraud, but which may extend to
three times the amount involved in the fraud.

Provided that where the fraud in question involves public interest, the term of
imprisonment shall not be less than three years.

Employees are requested to be mindful of the above provisions and exercise


necessary diligence.

D. Irregularities in High Risk Areas

Any act which may not be apparently with fraudulent intention but are considered as
High Risk area irrespective of any financial loss or loss to the reputation to ICICI
Group falls in this category. This includes:

 Failure to act in spite of having knowledge of wrong things being practiced,

Group Code of Business Conduct and Ethics 22


ICICI Bank Limited

 Failure to take corrective steps to stop such wrong practices,


 Failure to escalate such matters to higher authorities

The areas considered, as High Risk will be assessed by the Senior Management of
the Group. The Senior Management will also have the power and authority to notify
the list of High Risk areas from time to time.

It must be noted that irregularities cited in the above categories are indicative in
nature and are not exhaustive.

Disciplinary Procedures

The following paragraphs deal with the disciplinary procedures, which could be used
as indicative guidance for the ICICI Group constituents while formulating their
respective disciplinary procedures.

 The primary objective of the disciplinary procedure is to make employees


aware of the instance/s of apparent and reported breach of the Code on their
part and to afford such employees with an opportunity of making submission
against such reported instance/s including improving their attendance, work
performance or amending/ rectifying their conduct as the case may be, should
they fall below the standards expected by ICICI Group.

 When deciding upon the appropriate way to deal with any potential issues an
employee has in meeting ICICI Group standards, the reasons behind this
difficulty will be considered. There may be occasions when problems are due to
an employee’s incapability to do his/her job, personal circumstances or health
rather than there being any measure of personal blame. In such cases, the
employee will be informed by the immediate manager that he/she is not
meeting the required standards.

 The immediate manager will discuss his or her concerns with the employee and
where appropriate, will agree objectives with the employee to be achieved over
a reasonable period of time. The immediate manager will also discuss any
assistance the employee may require, including where practicable - training. If
after a reasonable time, an employee is still unable to reach the required
standards, the matter may be dealt with within the context of the disciplinary
procedure.

 If the problem relates to the employee’s health, the immediate manager may
arrange for the employee to see ICICI Group nominated Medical Advisor.

 If the problem stems from the employee’s failure to demonstrate satisfactory


conduct, or there are problems with the employee’s performance e.g. due to
the employee’s inattention or lack of motivation, the disciplinary procedure will
be implemented.

Group Code of Business Conduct and Ethics 23


ICICI Bank Limited

 Usually disciplinary procedure would start after detailed fact finding


exercise/internal investigation including one-to-one discussion with the
concerned employee, where-ever possible-by the respective business group, is
carried out and a detailed report to that effect is submitted to HRMG. In
deserving cases such investigation may be carried out independent of the
respective business group.

Disciplinary action

Depending upon the nature and seriousness of non-compliant behaviour, the


Company may take corrective action against the erring employees. The Company
may prefer civil or criminal action against errant employees. Such actions may
include penalties as deemed appropriate considering the nature of violation and its
implications on the Company. The extenuating / mitigating circumstances, if any,
may also be considered while taking action.

These actions could be – Cautionary Action, Deterrent Action and Capital Action

Cautionary action

The cautionary or exemplary action(s) may be in the form of:


 Condoning, advising, warning, censuring, etc
 Imposition of fine
 Suspension from employment for a certain period of time
 Adversely impacting annual performance rating
 Withholding of increment
 Withholding of performance linked bonus / incentive (partly)

Deterrent action

The deterrent action(s) may be in the form of:


 Recovery of full / partial monetary loss caused or likely to be caused to the
Company
 Suspension from employment for a certain period of time
 Withholding of increments
 Withholding of Performance linked bonus / incentive
 Withholding of promotion
 Demoting to the lower grade or level
 Reduction in basic salary

Capital action

The capital action may be in the form of:


 Termination of services
 Dismissal from services
 Exit Through Resignation at the instance of the Bank
 Compulsory Retirement

Group Code of Business Conduct and Ethics 24


ICICI Bank Limited

Process for taking disciplinary action

 It must be clearly understood that the Company will be the sole judge to decide
on the categorization of breaches as also the form of corrective actions.

 All disciplinary action would start on the basis of the report received by the
HRMG from the respective business group after following the process as
described in the foregoing.

 Depending upon the nature of such report employee/s would be informed in


writing of the gist of the instance/s of breach of the Code reported against them
and would be afforded with an opportunity to make their submission/s in
writing within specific time frame to the designated official in HRMG. On receipt
of such communication from HRMG employees would be required to make
their submission/s in writing which would be taken into consideration while
arriving at a decision. However, in case employee/s choose not to avail of such
an opportunity within the specific time frame or within extended time frame, if
allowed by HRMG in deserving cases, it would be construed that the employee
concerned has no submission to make and accordingly the matter would be
decided upon ex-parte and any decision taken in that circumstances would be
binding on the concerned employee.

 HRMG of the Company would put in place a matrix of Disciplinary Authority and
the Appellate Authority to carry out all administrative/disciplinary actions
envisaged under the Code.

For ICICI Bank, India, a designated Disciplinary Authority will on the basis of
reports submitted to it by an Investigating authority and/or suo-moto after
ensuring adherence to due process initiate appropriate investigation and
disciplinary proceedings/actions against an erring employee and impose
penalty/ies including but not limited to, placing an employee under suspension.

An employee against whom an order has been passed by a Disciplinary


Authority, may, within seven working days from the date of receipt of the order,
prefer an appeal in writing to the Appellate Authority. Such written appeals, if
received within the stipulated time, shall be disposed of by the Appellate
Authority by way of a detailed speaking order.

The Disciplinary Authority and the Appellate Authority shall be as under –

Grade Disciplinary Authority Appellate Authority

Employee in the grades upto Assistant General Deputy General


and inclusive of Chief Manager (AGM) and Manager (DGM) and
Manager (Band I) above above

Group Code of Business Conduct and Ethics 25


ICICI Bank Limited

Deputy General
Chief Manager (Band II) and General Manager (GM)
Manager (DGM) and
Assistant General Manager and above
above

General
Senior General
Deputy General Manager Manager(GM) /Senior
Manager II (SGM II)
and Joint General Manager General Manager I
and above
(SGM I)

General Manager, Senior


General Manager (Band – I) Managing Director and
Executive Director
and Senior General Manager Chief Executive Officer
– (Band II)

 The range of possible actions outlined above should not be regarded as


necessarily either sequential or cumulative. ICICI Group reserves the right to
omit any or all of the levels of action where it considers it appropriate. It is for
the relevant manager to decide which of the possible responses is appropriate
in any given case. For example, if a single breach of discipline is serious (albeit
it may be the employee’s first breach of discipline) the employee may be given
a final warning notwithstanding the fact that no previous warnings have been
given.

 ICICI Group reserves the right to suspend an employee on payment of


Subsistence Allowance as per rules pending the outcome of disciplinary action.

An employee of ICICI Group entity incorporated in India, on suspension, shall


be eligible to receive subsistence allowance at the rate of one third of basic pay
the employee was drawing on the day preceding to the date of suspension plus
other allowances (except conveyance/ transport allowances) proportionately on
such reduced basic pay for the first three months and at the rate of one half of
the basic pay the employee was drawing on the day preceding to the date of
suspension plus other allowances (except conveyance/ transport allowances)
proportionately on such reduced basic pay from the fourth month till
completion of disciplinary action or the revocation of the suspension, as the
case may be. This will however be subject to the applicable law, if any.

Such subsistence allowance would be payable to such an employee on his/her


furnishing a declaration every month acceptable to the Company that he/she is
not engaged in any other employment, business, profession, or vocation or in
any gainful activities, self-employment whether or not having earned any
income. An employee under suspension shall have to report to the company
for the purpose of investigation/enquiry as and when required by the company

Group Code of Business Conduct and Ethics 26


ICICI Bank Limited

and shall not leave the station of his posting from where he was suspended
without permission of the competent authority.

Compliance with the Code

 ICICI Group recognises the need for this Code to be applied equally to everyone
it covers. All employees, Directors and officers are expected to comply with all
of the provisions of this Code. The Code will be strictly enforced and violations
will be dealt with immediately, including subjecting persons to corrective and/or
disciplinary action such as dismissal or removal from office.

 The Group Compliance Officer will have primary authority and responsibility for
ensuring the implementation of this Code across the ICICI Group, subject to the
supervision of the Board Governance & Remuneration Committee or, in the
case of accounting, internal accounting controls or auditing matters, the Audit
Committee of the Board of Directors. ICICI Group will devote the necessary
resources to enable the Group Compliance Officer to establish such procedures
as may be reasonably necessary to create a culture of accountability and
facilitate compliance with this Code. Queries concerning this Code should be
directed to the Group Compliance Officer. A facility to raise such queries has
been hosted on the Universe.

 Employees, officers and Directors should promptly report any concerns about
violations of ethics, laws, rules, regulations or this Code, including by any
senior executive officer or director, to their supervisors/managers or the Group
Compliance Officer or in the case of accounting, internal accounting controls or
auditing matters, the Audit Committee of the Board of Directors. Any concerns
involving the Group Compliance Officer should be reported to the Board
Governance & Remuneration Committee.

 The Group Compliance Officer shall notify the Board Governance &
Remuneration Committee of any concerns about violations of ethics, laws,
rules, regulations of this Code by any senior executive officer or Director
reported to him.

 You should report actions that may involve conflict of interest to the Group
Compliance Officer. In order to avoid conflicts of interest, executive officers and
Directors must disclose to the Group Compliance Officer any material
transaction or relationship that reasonably could be expected to give rise to
such a conflict, and the Group Compliance Officer shall notify the Board
Governance & Remuneration Committee of any such disclosure. Conflicts of
interest involving the Group Compliance Officer shall be disclosed to the Board
Governance & Remuneration Committee.

 ICICI Group encourages all employees, officers and Directors to report any
suspected violations promptly and intends to thoroughly investigate any good
faith reports of violations. ICICI Group will not tolerate any kind of retaliation for

Group Code of Business Conduct and Ethics 27


ICICI Bank Limited

reports or complaints regarding misconduct that were made in good faith.


Open communication of issues and concerns by all employees, officers and
Directors without fear of retribution or retaliation is vital to the successful
implementation of this Code. You are required to cooperate in internal
investigations of misconduct and unethical behaviour.

 Interested parties may also communicate directly with the Company’s non-
management Directors through contact information mentioned in the
Company’s Annual Report or on the website.

Waivers and Amendments

Any waivers (including any implicit waivers) of the provisions in this Code for
executive officers or Directors may only be granted by the Board of Directors and will
be promptly disclosed to the shareholders. Any such waivers will also be disclosed
in the Group’s Annual Report under Indian law and its Annual Report on Form 20-F.
Any waivers of this Code for other employees may only be granted by the Group
Compliance Officer. Amendments to this Code must be approved by the Board of
Directors and will also be disclosed in the Company’s Annual Reports.

Group Code of Business Conduct and Ethics 28


ICICI Bank Limited

Appendix

Duties of Directors as per Section 166 of the Companies Act, 2013:

1. Subject to the provisions of this Act, a director of a company shall act in


accordance with the articles of the company.
2. A director of a company shall act in good faith in order to promote the objects of
the company for the benefit of its members as a whole, and in the best interests
of the company, its employees, the shareholders, the community and for the
protection of environment.
3. A director of a company shall exercise his duties with due and reasonable care,
skill and diligence and shall exercise independent judgment.
4. A director of a company shall not involve in a situation in which he may have a
direct or indirect interest that conflicts, or possibly may conflict, with the interest
of the company.
5. A director of a company shall not achieve or attempt to achieve any undue gain
or advantage either to himself or to his relatives, partners, or associates and if
such director is found guilty of making any undue gain, he shall be liable to pay
an amount equal to that gain to the company.
6. A director of a company shall not assign his office and any assignment so made
shall be void.
7. If a director of the company contravenes the provisions of this section such
director shall be punishable with fine which shall not be less than one lakh
rupees but which may extend to five lakh rupees.

Duties of Independent Directors as per Schedule IV of the Companies Act,


2013:

The independent directors shall—

1. undertake appropriate induction and regularly update and refresh their skills,
knowledge and familiarity with the company;
2. seek appropriate clarification or amplification of information and, where
necessary, take and follow appropriate professional advice and opinion of
outside experts at the expense of the company;
3. strive to attend all meetings of the Board of Directors and of the Board
committees of which he is a member;
4. participate constructively and actively in the committees of the Board in which
they are chairpersons or members;
5. strive to attend the general meetings of the company;

Group Code of Business Conduct and Ethics 29


ICICI Bank Limited

6. where they have concerns about the running of the company or a proposed
action, ensure that these are addressed by the Board and, to the extent that they
are not resolved, insist that their concerns are recorded in the minutes of the
Board meeting;
7. keep themselves well informed about the company and the external
environment in which it operates;
8. not to unfairly obstruct the functioning of an otherwise proper Board or
committee of the Board;
9. pay sufficient attention and ensure that adequate deliberations are held before
approving related party transactions and assure themselves that the same are in
the interest of the company;
10. ascertain and ensure that the company has an adequate and functional vigil
mechanism and to ensure that the interests of a person who uses such
mechanism are not prejudicially affected on account of such use;
11. report concerns about unethical behaviour, actual or suspected fraud or
violation of the company’s code of conduct or ethics policy;
12. acting within his authority, assist in protecting the legitimate interests of the
company, shareholders and its employees;
13. not disclose confidential information, including commercial secrets,
technologies, advertising and sales promotion plans, unpublished price sensitive
information, unless such disclosure is expressly approved by the Board or
required by law.

Group Code of Business Conduct and Ethics 30


ICICI Bank Limited

Employee Declaration
(To be submitted to the HR at the time of joining)

I Mr. /Ms. __________________________________________________ confirm and declare


that:

 I have read and understood the terms of employment applicable to me and the
provisions of the Group Code of Business Conduct and Ethics

 I shall, during the course of my service with the Bank/Group companies or in the
event of cessation of my service in the future, due to any reason whatsoever, for
a period of six months from the date of such cessation, directly or indirectly,
either on my own accord or on behalf or in conjunction with any other person/s,
firm or company refrain/desist from canvassing or soliciting attempting to or
inducing any employee(s) business associate(s) to leave their current
employment with the Bank/Group companies/ business partners to join the
services of any new employer/firm/company or any other competitor of the
Group companies/ Business Partners.

 I am aware that any act in contravention of the above provision on my part shall
attract initiation of appropriate action as deemed fit by ICICI Group.

 I shall disclose the following details, whenever required by the Company:

 All bank accounts being held by me - either singly or jointly with other
family members

 Investment made in immovable property including sale of such property

 A statement that I have no material interest or any other conflicting


interests, in any person who is a party to a material contract or proposed
contract with ICICI Group.

_______________________________________
Employee Signature
Date:

Group Code of Business Conduct and Ethics 31

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