I. Introduction and Application
A. Core Ethical Foundation
Mandviwalla Mauser Plastic Industries Limited (MWMP) is founded on a strong ethical framework.
This Code of Conduct (CoC) serves as a comprehensive guide for the ethical and professional behavior
required of all personnel. The Code ensures that all business activities are carried out with the
highest standards of integrity, transparency, and accountability.
B. Scope and Applicability
This Code applies universally to all:
- Directors (Executive, Non-Executive, and Independent).
- Senior Management Officers.
- All employees of MWMP, regardless of contract status or location.
- Consultants, agents, and representatives acting on behalf of the Company.
Any breach of this Code constitutes a serious violation and may lead to disciplinary action,
including termination of employment or appointment.
II. Integrity in Business and Financial Dealings
A. Compliance with Laws and Regulations
All personnel must comply with all applicable national, local, and international trade laws, rules,
regulations, and requirements, including the Companies Act, 2017, and the Listed Companies (Code of
Corporate Governance) Regulation, 2019 (CCGR 2019).
B. Financial Integrity and Reporting
MWMP mandates accurate and truthful financial reporting in accordance with recognized accounting
standards. Falsification of financial records, banking information, or any other corporate document
is strictly prohibited. The Company maintains reliable records and reports for full transparency.
C. Anti-Corruption and Anti-Bribery
MWMP maintains a zero-tolerance policy against corruption in any form, including the
offering or acceptance of gifts, entertainment, or personal favors that could improperly influence
or be perceived to influence business decisions. Personnel must not offer or accept bribes or
unlawful incentives in dealings with business partners or government officials.
D. Fair Competition
The Company must conduct all business activities in rigorous accordance with all applicable
anti-trust and unfair competition laws.
III. Conflicts of Interest and Securities Trading
A. Conflicts of Interest (COI)
All employees and Directors must actively avoid actual or perceived conflicts of interest and are
expected to act solely in the best interest of MWMP, maintaining transparency in all professional
dealings.
Every Director of the Company who is in any way interested in any contract or arrangement to be
entered into by the Company is required to disclose the nature of his concern or interest to
the Board and shall not take part in the discussion or decision-making process related
to that matter.
B. Insider Trading and Confidentiality
- Prohibition on Dealing: No person associated with the Company may deal in
securities of MWMP on the basis of any unpublished price-sensitive information (insider knowledge),
either on their own behalf or on behalf of any other person. - Prohibition on Tipping: No person shall communicate or counsel any other person to
deal in securities based on such information, except when required in the ordinary course of
business or under any law.
C. Protection of Confidential Information
Employees are required to maintain strict confidentiality over proprietary, technical, financial,
customer, and employee data unless disclosure is duly authorized or legally required. This obligation
continues even after the Director’s term or employee’s service is terminated.
IV. Social, Labor, and Environmental Responsibility
A. Workplace Environment and Human Rights
- Non-Discrimination and Harassment: The Company selects and treats employees
equally and does not discriminate based on race, color, national origin, ethnic origin, gender,
religion, political beliefs, sexual orientation, disability, age, or any other personal
characteristic unrelated to job performance. Sexual harassment or any harsh and inhumane treatment,
mental or physical coercion, or abuse are strictly prohibited. - Labor Standards: MWMP complies with all applicable laws on working hours, wages,
and benefits. There is an absolute prohibition on the use of child labor, forced labor, slave
labor, or any other type of involuntary labor. The rights of employees to freedom of association
shall be respected. - Health, Safety, and Environment (HSE): The Company is committed to conducting
business in a manner that protects public and occupational health, the environment, and ensures
employee safety. MWMP strives to minimize accidents, reduce emissions, cut waste, and conserve
energy.
B. Responsible Supply Chain and Manufacturing
- Conflict Minerals: The Company prohibits the sourcing or purchase of “conflict
minerals” (including tin, tantalum, tungsten, or gold) that directly or indirectly benefit armed
groups in the Democratic Republic of the Congo and adjoining countries. - Sanctioned Entities: MWMP commits not to use suppliers or service providers
located in countries subject to international economic sanctions (e.g., those imposed by the
United Nations, United States, or European Union).
V. Reporting Violations and Compliance
A. Duty to Report
All personnel have a responsibility to seek guidance and report any suggestion(s) and observation(s)
or concerns about potential misconduct, ethical issues, or violations of this Code.
B. Whistleblowing Mechanism
MWMP established a formal, confidential, and anonymous Whistleblowing Policy to
enable employees, suppliers, and third parties to report grievances, concerns, or potentially
unlawful activities, including violations of this Code or fraud against shareholders.
C. Policy Prohibiting Retaliation
The Whistleblowing Policy has a mandatory, unequivocal anti-retaliation clause.
No employee shall be discharged, demoted, suspended, harassed, or otherwise discriminated against for
filing a complaint or exercising their rights under the CoC or the Whistleblowing Policy.