Form 20-F
|
¨
|
Form 40-F
|
þ
|
TRANSCANADA CORPORATION
|
||
By:
|
/s/ Donald J. DeGrandis
|
|
Donald J. DeGrandis | ||
Corporate Secretary
|
|
EXHIBIT INDEX
|
99.1
|
A copy of the registrant’s Code of Business Ethics Policy as amended.
|
TransCanada Policies and Procedures
|
||
Title: Code of Business Ethics Policy
|
||
Effective Date (Date of Last Revision): 2011/02/14
|
UNCONTROLLED IF PRINTED
|
|
Status: Approved
|
A.
|
Compliance with Laws
|
B.
|
Conflict of Interest
|
·
|
Financial Interest - Employees and their families (families including spouse, children or spouse equivalent residing together) shall not own, control or direct a material financial interest (greater than 5%) in a supplier, contractor, competitor, or in any business enterprise which does or seeks to do business with the Company.
|
·
|
Outside Business Activities - Employees shall not engage in any outside business or activity that is detrimental to the Company. Unless approved by the Company or your supervisor, employees are expected to spend their full time and attention performing their jobs during normal business hours or as contracted.
|
·
|
Outside Directorships - Employees shall not serve as a director, officer, partner, consultant or any other role in an unaffiliated organization including charitable organizations or non-profit foundations if that activity is detrimental to the Company. Directorships in unaffiliated entities require the consent of the employee’s immediate supervisor, and of the Governance Committee of the Board of Directors in the case of the Chief Executive Officer and any member of the Executive Leadership Team.
|
TransCanada Policies and Procedures
|
||
Title: Code of Business Ethics Policy
|
||
Effective Date (Date of Last Revision): 2011/02/14
|
UNCONTROLLED IF PRINTED
|
|
Status: Approved
|
·
|
Gifts and Entertainment - Employees must be prudent in offering or accepting gifts (including tickets to sporting, recreational or other events) to or from a person or entity with which the Company does or seeks to do business.
|
·
|
Customer and Supplier Relations - All customers, suppliers and independent contractors purchasing or furnishing goods and services must be dealt with fairly. Decisions to hire a subcontractor or source materials from a particular vendor must be made on the basis of objective criteria such as quality, reliability, technical excellence, price, delivery, service and maintenance of adequate sources of supply.
|
·
|
Government and Community Relations - The Company's financial support to political organizations requires the express approval of the Chief Executive Officer of the Company. Employees engaging in personal political activities must do so in their own right and not on behalf of the Company. Corporate donations to charities made on behalf of the Company shall be within budgets approved by the appropriate business unit head.
|
·
|
Personal Relationships - Employees shall avoid any arrangement or circumstance, including personal relationships that may compromise his or her ability to act in the best interest of the Company. Employees shall not supervise directly or be in a position to influence the career of someone with whom he or she is engaged in a personal relationship.
|
·
|
Special Interest Groups and Political Office - Employees shall notify their supervisor should they be elected or appointed to a political office or if they become actively involved with a special interest group. If an employee is unable to meet their job requirements as a result of serving in a political office or because of their active involvement with a special interest group, the Company may consider a leave of absence or a modified work schedule in accordance with the Company’s Leave of Absence and Hours of Work Policies.
|
C.
|
Fair Dealing
|
D.
|
Corporate Opportunities
|
·
|
Taking personal advantage of opportunities discovered through the use of corporate assets, property, information or their position;
|
·
|
Using or deploying corporate assets, property, information or their position for personal gain; and
|
·
|
Competing with the Company.
|
E.
|
Confidential Information
|
TransCanada Policies and Procedures
|
||
Title: Code of Business Ethics Policy
|
||
Effective Date (Date of Last Revision): 2011/02/14
|
UNCONTROLLED IF PRINTED
|
|
Status: Approved
|
·
|
Technical, Business and Commercial Data - Employees must ensure against improper disclosure of competitive business strategies and plans, special methods of operation, technical innovations, and other information that may be of value to competitors of the Company.
|
·
|
Insider Trading - Securities laws explicitly prohibit any person in a special relationship with the Company from trading with knowledge of “material non-public information” or “insider information” which has not been generally disclosed. In addition, securities laws prohibit any person in a special relationship with the Company from informing another person of any “material non-public” or “insider” information which has not been generally disclosed.
|
·
|
Trading Guidelines for All Employees - Those possessing confidential information are expected to show integrity and use proper judgement in timing their investments in accordance with Company policy and regulatory rules and guidelines. See the Company's Trading Policy for Employees and Insiders for further details.
|
·
|
Media/Public Discussion - If responding to questions by a representative of the news media or investment community is not part of the Employee’s regular duties, the media representative must be referred to the appropriate Company spokesperson. See the Company's Public Disclosure Policy for further details.
|
F.
|
Fiscal Integrity and Responsibility
|
·
|
Background Pre-employment Screening – All candidates being considered for employment for the roles of Chief Executive Officer, President, Chief Financial Officer, Controller, or the Head of Internal Audit, the Directors of the Company’s public entities and other significant positions of trust must undergo pre-employment screening. This may also apply to all those working in certain positions that, through a risk analysis process, are deemed to be a safety or security sensitive role, include work to be performed at some designated locations, or roles requiring physical or cyber access to specific facilities, proprietary or financial information, certain electronic data or critical infrastructure. The screening will consist of the verification of certain informatio
n and credentials and criminal background and other checks that are required to meet regulatory or legislated requirements. See the Company’s Background Screening Policy for further details.
|
·
|
Reporting Integrity - No false, artificial or misleading entries in the books, records and documents of the Company shall be made for any reason and no employee shall engage in any arrangement that results in such prohibited acts. All periodic reports filed by TransCanada shall be in accordance with TransCanada’s Public Disclosure Policy and will include full, fair, accurate, timely and understandable disclosure.
|
·
|
Use of Company Resources - Company resources include Company time, materials, supplies, equipment, information, electronic mail and computer systems. These resources are generally only to be used for Company-specific purposes.
|
·
|
Use of Internet and Email - TransCanada’s computer networks and information resources include our electronic mail and messaging systems, internal Intranet and the public Internet. TransCanada’s computer resources and networks are provided for company-related business purposes. Excessive personal use is inappropriate. Use of TransCanada’s computer resources to view, retrieve or send sexually-related or pornographic messages or material; violent or hate-related messages or material; bigoted, racist or other offensive messages or other messages or material related to illegal activities is strictly prohibited. See the Company’s Information Management and Security Policy
for further guidance.
|
TransCanada Policies and Procedures
|
||
Title: Code of Business Ethics Policy
|
||
Effective Date (Date of Last Revision): 2011/02/14
|
UNCONTROLLED IF PRINTED
|
|
Status: Approved
|
·
|
Use of Company Name - Employees must not use their employment status to obtain personal gain from those doing or seeking to do business with the Company. Employees may not use the Company's name or purchasing power to obtain personal discounts or rebates unless the discounts are made available to all employees.
|
·
|
Patents and Inventions - Inventions, discoveries, and copyright material, made or developed by employees in the course of, and relating to, their employment with the Company, are the property of the Company unless a written release is obtained or covered by contract.
|
·
|
Records Retention - Business documents and records (voice, paper and electronic) are to be retained in accordance with the law and the Company’s record retention policies.
|
G.
|
Health, Safety and Environment
|
H.
|
Employment Practices
|
·
|
Discrimination - Neither TransCanada nor any person acting on behalf of the Company shall refuse to employ or continue to employ, nor shall they discriminate against any person with regard to employment, term or condition of employment, based on race, national or ethnic origin, colour, religion, age, sex (including pregnancy or child-birth) sexual orientation, marital status, family status, disability and conviction for which a pardon has been granted, all as defined by the Canadian Human Rights Act or other similar applicable law.
|
·
|
Harassment - Any form of illegal harassment or any other conduct that interferes with an individual’s work performance or creates an intimidating, hostile, or offensive work environment will not be tolerated. See the Company's Harassment-Free Workplace Policy for further details.
|
·
|
Alcohol and Drug Policy – The Company is committed to providing a safe and healthy work environment. The use of illicit drugs, the inappropriate use of alcohol and the misuse of medications and other substances is prohibited. See the Company’s Alcohol and Drug Policy for further guidance.
|
I.
|
Inter-Affiliate Codes of Conduct
|
TransCanada Policies and Procedures
|
||
Title: Code of Business Ethics Policy
|
||
Effective Date (Date of Last Revision): 2011/02/14
|
UNCONTROLLED IF PRINTED
|
|
Status: Approved
|
J.
|
Fraud or Criminal Conduct
|
·
|
Falsification of expenses and invoices.
|
·
|
Misappropriation of funds, securities, supplies or other assets.
|
·
|
Alteration or falsification of records or reports.
|
·
|
Impropriety in the handling or reporting of money or financial transactions.
|
·
|
Profiteering as a result of insider knowledge of company activities.
|
·
|
Any similar or related inappropriate conduct.
|
TransCanada Policies and Procedures
|
||
Title: Code of Business Ethics Policy
|
||
Effective Date (Date of Last Revision): 2011/02/14
|
UNCONTROLLED IF PRINTED
|
|
Status: Approved
|
·
|
Guidance Notes for Code of Business Ethics
|
·
|
Background Screening Policy
|
·
|
COBE homepage on Infocus
|
·
|
Alcohol and Drug Policy
|
·
|
Harassment-Free Workplace Policy
|
·
|
COBE for Contract Workers & Independent Consultants
|
·
|
Public Disclosure Policy
|
·
|
Trading Policy for Employees and Insiders
|
·
|
Health, Safety and Environment Policies and Procedures
|
·
|
Information Management and Security Policy
|
·
|
Acceptable Usage of Electronic Information Resources
|
·
|
NGTL (Code of Conduct, Compliance Plan and Compliance Report)
|
·
|
Canadian Mainline (Code of Conduct, Compliance Plan and Compliance Report)
|
·
|
Corruption of Foreign Public Officials Act
|
·
|
Foreign Corrupt Practices Act
|
Document Originator(s)
Roland Henderson, Director
Internal Audit Department
Wendy Hanrahan, Vice-President
Human Resources Department
Don DeGrandis, Corporate Secretary,
Corporate Secretarial
|
Signature
|
Approval(s) for Issuance
Board of Directors
|
Signature
|