Policies
JSW heavily emphasises corporate responsibility, respect for human rights, environmental protection and combating corruption and abuses both within the Group and in its business environment.
Every effort is made to operate and build our market position on respect for the rule of law, good commercial practices and the highest ethical standards. JSW's market position and reputation are the effect of consistency in doing business in the country and abroad in line with our values. Protecting and strengthening all JSW Group companies in these areas are one of the priority targets of the regulations we are implementing throughout the Group.
Taking the above into account, JSW Group has adopted the following policies and documents:
Code of ethics
JSW Group's Code of Ethics is a tool that contributes to shaping the desired conduct and sets out standards of conduct at JSW Group for employees, co-workers, superiors and customers as well as partners and local communities, in business relations and in related areas. The values and standards contained therein can also be invoked by third persons, with no working relation with the Group. This especially applies in situations where the actions of the Group or its representatives would cause objections on ethical or legal grounds. The Code of Ethics is intended to indicate the most important rules and standards of conduct that is acceptable and approved by JSW Group, and to provide information on how to act in circumstances under which a given decision or situation may raise ethical dilemmas.
The Code of Ethics contains the most vital elements of ethics, anti-corruption and anti-discrimination policy and rules for respecting diversity and tolerance for other people. It also shows how to report irregularities or failures to abide by obligations mandated by law, threats to occupational health and safety, the health of customers and third parties, unfair competition practices, environmental safety and other violations. The Code is also a manifest of JSW Group's commitment to act in a way that minimises negative impact on the environment and local surroundings, as well as promotes respect for all materials, commodities and energy.
Employees who are responsible for contacts with suppliers are required to select suppliers based on objective evaluation criteria for their offerings and the quality of their services, ensure that all offers are compared and contemplated fairly and impartially, prefer cooperation with suppliers who credibly perform their obligations, act in an ethical manner, respect rules regarding environmental protection, occupational health and safety and human rights, and avoid working with suppliers who do otherwise, as well as to disclose all information they have that can have an impact on cooperation between a Group company and a given supplier.
JSW Group's supply chain encompasses thousands of suppliers and counterparties. In January 2018, an ethics clause was introduced in contracts with counterparties, which extends the reach of JSW's ethics regulations onto its supply chain. The wording of these contracts was updated to reflect this. The new provisions state that a counterparty or its sub-contractors and any other persons involved in performing the contract have read JSW Group's Code of Ethics and will respect the standards contained therein. Since 2018, over 1450 counterparties have signed the clause.
The Group emphasises the following values: |
The Group operates on the basis of the following standards: |
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Policies in the field of Corporate Social Responsibility
Diversity policy
In February 2021, JSW adopted a Diversity management policy, in accordance with which JSW in its business applies clear hiring rules and strives to ensure diversity in terms of gender, education, age and professional experience for all of its employees, with particular emphasis on JSW's governing bodies and key managers. The existing selection processes in no way discriminate against candidates with respect to the elements of our diversity policy referred to in this rule. As regards members of JSW's governing bodies, i.e. Management Board and Supervisory Board, Management Board Members are selected by the Supervisory Board, and Supervisory Board Members are appointed and dismissed by the General Meeting, except for the situations referred to in the Articles of Association.
JSW's approach to managing diversity is also addressed in the Code of Ethics, which lays down rules for respecting diversity and tolerance. They are based on respect and the observance of international standards on human rights and international labour standards. JSW guarantees the freedom of expression, conscience and religion as well as the freedom of belief and speech.
JSW Group is a place free of any sort of practices that denigrate the dignity of people. JSW endorses respect for people, the workplace, surroundings, and fosters relations based on transparent rules. This is how it builds an effective business and contributes to the strengthening of the Company's position in the eyes of our employees and all other stakeholder groups.
In the diversity area, the Company focuses on ensuring:
- equal opportunities for all employees in terms of promotions and professional development
- alignment with values such as freedom of expression, conscience and religion as well as freedom of belief and speech
- diversity in terms of gender, education, age and experience
There is also a complete ban at the Company on discrimination in terms of race, social status, ethnic origin, religion, mental illness, disability, gender, sexual orientation, political association or membership, age or marital status.
Diversity at JSW and Group companies also applies to key managers and executives. Selection processes take into account elements such as: education, professional experience and competences, and in no way discriminate against candidates with respect to the elements of our diversity policy referred to in this rule.
Tabele. Diversity at group companies' management boards and supervisory boards
2020 | 2019 | 2018 | ||||||
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Women | Man | Woman | Man | Total | Woman | Man | Total | |
Management Boards | 8 | 39 | 10 | 39 | 49 | 10 | 33 | 43 |
age 30-50 | 3 | 21 | 6 | 21 | 27 | 4 | 21 | 25 |
age over 50 | 5 | 18 | 4 | 18 | 22 | 6 | 12 | 18 |
including foreigners | - | - | - | - | - | - | - | - |
Supervisory Boards | 24 | 61 | 23 | 66 | 89 | 17 | 60 | 77 |
age under 30 | - | - | - | 1 | 1 | - | 2 | 2 |
age 30-50 | 12 | 30 | 12 | 31 | 43 | 10 | 27 | 37 |
age over 50 | 12 | 31 | 11 | 34 | 45 | 7 | 31 | 38 |
including foreigners | - | - | - | - | - | - | - | - |
Remuneration policy for the JSW Capital Group
In August 2019, JSW Group adopted a remuneration policy. The policy is aimed not only at furthering business strategy, long-term interests or the stability of the Group's subsidiaries but also at addressing issues such as remuneration for members of the management boards and supervisory boards of subsidiaries as well as Office Directors at JSW's Management Board Office and their Deputies, JSW Management Board Representatives, Directors of JSW's Facilities and their Deputies. The document takes into account legal requirements concerning remuneration for persons discharging managerial and supervisory functions at companies with a State Treasury shareholder, including the Act of 9 June 2016 on rules for remunerating persons managing certain companies.
The Remuneration Policy of the JSW Management Board and Supervisory Board
The remuneration policy for Members of Management Board and Supervisory Board at Jastrzębska Spółka Węglowa S.A. was introduced on the basis of the existing provisions of the Act on public offerings and the terms for introducing financial instruments to an organised trading system and on public companies. It sets the basic rules for setting, calculating and paying remuneration to Management Board Members and Supervisory Board Members. The Company pays remuneration to Management Board Members and Supervisory Board Members in accordance with this Policy, General Meeting resolutions and Supervisory Board resolutions. The Policy aims to support the achievement of the Company's expected business results. The existing KPIs (including statutory ones) and tasks for Management Board Members are intended to advance the business strategy, long-term interests (including long-term investments) and ensure the Company's stability. Objective and tangible criteria for implementing and settling the KPIs serve as motivation for Management Board Members.
Anti-mobbing and anti-discrimination policy
Support for activities intended to build an appropriate work culture, positive relations between employees and the notion of responsibility among the management for effective communication and good cooperation is a priority for JSW's management. Taking into account the Management Board's efforts to ensure that the Company's workplace is free of any sort of psychological violence on the part of superiors and other employees, JSW's Management Board adopted JSW's Anti-harassment policy in September 2019, which was updated and expanded in 2020.
Actively combating harassment at the Company consists of preventive actions in the form of training for the management, promoting desired conduct, disseminating knowledge on harassment and providing employees with access to training in this area, as well as interventions intended to immediately stop harassment.
The policy defines harassment, contains guidelines for employees to counter harassment as well as instructions and a procedure for reporting undesirable conduct by harassment victims or persons who are aware of such incidents. The policy also contains proposed support activities if harassment occurs and information on liability and consequences for the perpetrators.
Not all of the companies have a separate document addressing harassment, but this issue is addressed in work regulations. Group companies implement their anti-harassment and anti-discrimination policy by continuously increasing their employees' awareness in this area. Training for management and employees is conducted at JSW Group companies. In 2019, JSW Group companies worked together on developing consistent operating standards to implement a compliance system, which also included elements related to the prevention of discrimination and harassment.
JSW Group | 2018 | 2019 | 2020 |
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harassment | 2 | 3* | 7** |
discrimination | 0 | 0 | 0 |
including JSW | 0 | 0 | 0 |
harassment | 1 | 1* | 0 |
discrimination | 0 | 0 | 0 |
* the committee's work ultimately did not confirm any of the three harassment cases in 2019. ** as a result of the committee's work: 1 case was considered as harassment, no harassment was found in 5 cases, and 1 case is still being examined. |
Compliance Policy of the JSW Capital Group
In November 2019, JSW's Management Board passed a resolution to adopt JSW Group's Compliance Policy. The policy is a key document addressing the compliance function at the Group. It contains a division of responsibilities and competences by unit as well as methods and ways of examining submissions and conducting explanatory proceedings. The policy's main aim is to counteract and limit the effects of irregularities at the Group by streamlining management structures in this area of operations because a lack of compliance with the law and other regulations may have far-reaching negative consequences for the Company.
The Management Boards as well as employees and co-workers, within their scope of responsibilities and authorisations, are responsible for implementing the Policy and other regulations that are part of the Compliance System. At the level of specific Companies or Facilities, these responsibilities are performed by Compliance Coordinators, together with the Compliance Unit at JSW, if so required. A Compliance Unit coordinates and supervises the Compliance System at JSW and Group level.
Introducing this policy makes it possible to ensure compliance, including observing commonly applicable customs and ethics rules as well as identifying and addressing the risk of no compliance and irregularities, ensuring transparency and openness in economic activities and effective cooperation between the Companies.
The Group is involved in one court case concerning anti-competitive behaviour and breaches of anti-monopoly laws. The case, brought by JSW, concerns compensation from Minova Ekochem S.A., A.Weber Sp. z o.o. and DSI Schaum Chemie Sp. z o.o. for JSW over price collusion on the mining chemicals market in 2005-2011. The subject of the dispute is valued at PLN 118.7 million. The lawsuit was filed with the District Court in Katowice on 13 December 2019. JSW is being represented by the General Counsel to the Republic of Poland.
At the same time, JSW is unaware of any non-compliance on its part with laws or regulations concerning the issues described in disclosure 419-1 (Lack of compliance with law or regulations in social and economic area).
Procedure for reporting irregularities in the JSW Capital Group
JSW Group heavily emphasises corporate responsibility and the occurrence of abuses both within the Group and in its business environment. Adopted in November 2019, the Procedure for reporting irregularities is an element of the Compliance System, which is aimed at preventing irregularities - breaches of laws or operating standards and internal regulations adopted by the Company.
The objective of this Procedure is to introduce consistent rules for reporting irregularities regardless of their nature. This Procedure is not intended to report general work-related problems that do not constitute irregularities. These issues are resolved within the existing employment relations or other dedicated internal regulations.
Anticorruption Policy of the JSW Capital Group
In order to prevent inappropriate conduct, in December 2019 JSW's Management Board passed a resolution adopting JSW Group's Anti-Corruption Policy, which was then updated in May 2020. The Policy's aim is to ensure that JSW Group's operations are in compliance with the law, in particular with provisions pertaining to preventing corruption, and that the environment in which the companies operate is free of any sort of abuse.
The Policy sets out rules and obligations for employees related to counteracting corruption, contains an unequivocal condemnation of corruption and defines corruption.
Mechanisms have also been put in place intended to reduce the risk of any such abuses occurring, which is achieved by identifying operating areas at a higher risk of corruption or by defining alerts that can signal a higher risk of inappropriate conduct.
Rules described in the Anti-Corruption Policy are applicable to all JSW Group companies. All Group companies have an obligation to implement the Policy in reference to members of the management boards, employees, co-workers, counterparties, proxies, representatives and subsidiaries with which they are in a direct relation (obligated entities). To prevent corruption, the companies apply internal procedures of an organisational and financial nature. They are intended to monitor and control the practices being applied in selecting counterparties, executing contracts, accounting and document storage. Each obligated entity is required to report irregularities and circumstances that may raise concerns, including suspicions of corruption.
At the same time, a dedicated educational and promotional campaign was developed to build trust, especially among employees and co-workers, and to support an ethical culture, promote appropriate norms of conduct and promote the channel for reporting abuses. To this end, a series of training sessions has been developed, which will be addressed to selected groups of people at certain JSW Group companies. The training sessions are narrowly profiled, with their content corresponding to specific organisational levels. In accordance with a schedule developed in December 2019, 337 people are expected to participate in the basic training program, including the management boards and top executives from JSW Group companies.
In 2020 and in the previous year no corruption was identified at JSW Group.
The policy of managing the conflict of interest of the JSW Capital Group
The main operational rule at JSW Group is an absolute compliance with the law, fair competition rules and good customs. Properly managing conflicts of interest is a part of our corporate culture, which is the responsibility of managers, employees and co-workers. In December 2019, JSW's Management Board passed a resolution to adopt JSW Group's Policy for managing conflicts of interest. The policy contains guidelines for resolving conflicts between the Company's interests and the personal interests of its employees and other obligated entities.
The introduction of this policy builds trust among employees and co-workers by defining conflicts of interest and situations that may lead to a conflict of interest. The policy also sets out methods for preventing and managing conflicts of interest and introduces rules intended to minimise the chances of a conflict materialising.
Every JSW Group company is required to implement this policy in respect of its management board members, employees, co-workers, proxies / representatives and subsidiaries with which they have a direct relation. The policy does not outline rules for resolving conflicts of interest between the Companies. JSW Group's relevant internal regulations and the provisions of law apply in such cases.
Policy of employing relatives and close persons of the JSW Capital Group
The Company prioritises equality in hiring and strives to eliminate conflicts and prevent discrimination and abuse related to the hiring of relatives and persons related to employees. This especially applies to those people who serve in executive and managerial capacities or have a material influence over the Company's operations.
The provisions of this policy, adopted in 2019, apply to all employees and management board members and concern mutual relations between persons employed at a given Company. The policy supplements the Company's existing rules concerning hiring, bonuses, promotions, penalties, employee sanctions as well as commencing and ending cooperation.
The policy defines related persons and relatives, sets out rules for hiring and cooperating with related persons and relatives, relations between employees, the obligation to report irregularities and the consequences of failing to abide by the policy.
Every JSW Group company is required to implement this policy in respect of its employees with whom it has a direct relation.
The policy of verification of contractors of the JSW Capital Group
JSW Group does not cooperate with entities whose business is even partially criminal or raises justified concerns. This especially applies to all forms of corruption, tax avoidance or the failure to pay public law liabilities as well as any other manifestations of criminal activity. This is why in December 2019 JSW's Management Board adopted a Policy for verifying JSW Group's counterparties, which was then updated in June 2020.
In the event that information or a justified suspicion regarding the legality of an activity or the avoidance of tax or the failure to pay public law liabilities is disclosed in the course of cooperation, the Company intends to end such cooperation with this Counterparty as soon as possible.
Prior to the decision on commencing cooperation with a Counterparty, taking into account its organisational and legal nature, the Company is required to undertake activities in order to verify the basic information with regard to it, including especially the fact that it exists and operates, and the validity o data provided by the counterparty or the verification of the entity's status as an active payer of VAT.
The policy of giving and accepting gifts from the JSW Capital Group
The aim of the Policy introduced in August 2020 is to establish rules and conditions for receiving and giving gifts only in situations where this is related to work. The rules include limits on the value of gifts given or received and related reporting requirements. Moreover, the policy introduces a ban on any gifts or invitations for public servants whenever they could be construed as a form of influence on their work.
The Corporate Risk Management Policy and Procedure of the JSW Capital Group
The aim of enterprise risk management is to identify potential events and risks that may have an impact on the organisation, to maintain risk within set boundaries and to reasonably ensure that business objectives are achieved. This is a continuous process, subject to modifications in response to the changing economic environment, the Group's operations and the impact of specific risk on the Group's business objectives. Enterprise risk management is one of the tools used to support the achievement of strategic and operating objectives and to provide information on risks and risk management performance.
In accordance with the existing internal regulations, for identified risks a risk owner is designated, who is responsible for that risk, risk sheets are prepared, risk parameters are determined and mitigation activities and risk response plans are put in place. By taking responsibility for a risk, every risk owner manages the key risk factors within an ERM system. Identifying risks and implementing tools for limiting them make it possible to take effective preventive action in the face of a threat. Risk management is a process that methodically resolves issues related to threats to the organisation's operations, such as occurred in the past, are currently present and are the most likely to appear in the future.
Corporate Governance Regulations
The objective of the Corporate Governance Regulations adopted in 2019 is to set consistent and transparent operational standards and procedures at JSW Group. The Corporate Governance Regulations address the exercise of shareholder oversight as part of management of JSW Group and are intended to increase the effectiveness of managing the Group and the functioning of its companies and to implement shareholder oversight forms and procedures that go beyond the existing laws.