[{"data":1,"prerenderedAt":-1},["ShallowReactive",2],{"detail-sidebar-cat-0-en-105":3,"doc-seo-203909-105":59,"doc-detail-203909-en":130},{"code":4,"msg":5,"data":6},0,"success",[7,13,18,23,28,33,38,43,48,51,55],{"id":8,"doc_module":4,"doc_module_name":9,"category_name":10,"show_sort_weight":11,"slug":12},1,"Document","Story & Novel",90,"story-novel",{"id":14,"doc_module":4,"doc_module_name":9,"category_name":15,"show_sort_weight":16,"slug":17},2,"Literature",80,"literature",{"id":19,"doc_module":4,"doc_module_name":9,"category_name":20,"show_sort_weight":21,"slug":22},4,"Exam",70,"exam",{"id":24,"doc_module":4,"doc_module_name":9,"category_name":25,"show_sort_weight":26,"slug":27},5,"Comic",60,"comic",{"id":29,"doc_module":4,"doc_module_name":9,"category_name":30,"show_sort_weight":31,"slug":32},6,"Technology",50,"technology",{"id":34,"doc_module":4,"doc_module_name":9,"category_name":35,"show_sort_weight":36,"slug":37},7,"Healthcare",40,"healthcare",{"id":39,"doc_module":4,"doc_module_name":9,"category_name":40,"show_sort_weight":41,"slug":42},8,"Research & Report",30,"research-report",{"id":44,"doc_module":4,"doc_module_name":9,"category_name":45,"show_sort_weight":46,"slug":47},9,"Religion & Spirituality",20,"religion-spirituality",{"id":46,"doc_module":4,"doc_module_name":9,"category_name":49,"show_sort_weight":46,"slug":50},"World Cup","world-cup",{"id":52,"doc_module":4,"doc_module_name":9,"category_name":53,"show_sort_weight":52,"slug":54},10,"Lifestyle","lifestyle",{"id":56,"doc_module":4,"doc_module_name":9,"category_name":57,"show_sort_weight":24,"slug":58},19,"General","general",{"code":4,"msg":60,"data":61},"ok",{"site_id":62,"language":63,"slug":64,"title":65,"keywords":66,"description":67,"schema_data":68,"social_meta":123,"head_meta":125,"extra_data":127,"updated_unix":129},105,"en","ck-asset-holdings-limited-sanctions-compliance-policy","CK Asset Holdings Limited - Sanctions Compliance Policy","","CK Asset Holdings Limited establishes a Sanctions Compliance Policy to address key financial sanctions risks and set compliance principles for employees acting for or on behalf of the Group. The policy applies to the Company and its subsidiaries in Hong Kong and Mainland China, defines relevant transactions and authorities, and requires employees and the Group to assess sanctions risks before entering relevant transactions. 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It applies to CK Asset Holdings Limited and its subsidiaries in Hong Kong and Mainland China, subject to applicable legal and regulatory requirements.","Answer",{"name":115,"@type":110,"acceptedAnswer":116},"Which types of transactions are covered under the policy?",{"text":117,"@type":113},"The policy covers relevant transactions such as merger and acquisitions/divestment, property transactions, acquisition of assets, supplier transactions, intra-group transactions, and financing transactions.",{"name":119,"@type":110,"acceptedAnswer":120},"What compliance commitments must the Group and employees follow?",{"text":121,"@type":113},"The Group and employees must comply with applicable economic and financial sanctions regulations, and must identify and assess sanctions risks before entering relevant transactions. For intra-group payments like dividends or interest, subsidiaries must take steps to ensure the funds are not proceeds from breaches of sanctions laws.","https://schema.org",{"og:url":83,"og:type":124,"og:title":65,"og:site_name":95,"og:description":67},"article",{"robots":126,"canonical":83},"index,follow",{"doc_id":128,"site_id":62},203909,1788564864,{"code":4,"msg":5,"data":131},{"doc_id":128,"user_id":132,"nickname":92,"user_avatar":133,"doc_module":4,"category_id":39,"category_name":40,"doc_title":65,"doc_description":67,"doc_content":134,"file_id":135,"file_url":136,"file_type":137,"file_size":138,"view_count":34,"is_deleted":4,"is_public":8,"is_downloadable":8,"audit_status":8,"page_count":139,"language":140,"language_code":63,"site_id":62,"html_lang":63,"table_of_contents":141,"faqs":142,"seo_title":143,"seo_description":67,"update_tm":129,"read_time":144},549768064622,"https://ap-avatar.wpscdn.com/davatar_6f874abed73319feea01a86fa6f0fab8","CK Asset Holdings Limited Sanctions compliance policy  \nSANCTIONS COMPLIANCE POLICY  \nI. OBJECTIVE AND SCOPE  \n(a) CK Asset Holdings Limited (“CKA” or the “Company”) has always been committedto conducting its business in compliance with all applicable laws and regulations, including sanctions laws.  \n(b) In light of increasing complexity and diversity of such laws and regulations, the Company establishes this Sanctions Compliance Policy (“Policy”) to set out the main areas of sanctions risks facing the Company and the principles that the Company applies to comply with applicable financial sanctions laws.  \n(c) This Policy aims to inform all Employees acting for or on behalf of the Group (as defined in paragraph (g) below) of their obligations to comply with all applicable sanctions laws and regulations and to remain vigilant about potential financial sanctions consequences of their actions.  \n(d) All Employees must adhere to this Policy and failure to comply with the Policy by an Employee may result in disciplinary action up to and including termination of employment or referral to law enforcement.  \n(e) This Policy should be read alongside with the CKA Code of Conducts which sets out the standards of conduct and professionalism applicable to all Employees acting for or on behalf of the Group.  \n(f) This Policy is applicable only to the Company and its subsidiaries in Hong Kong and the Mainland China (for the purpose of the application of this Policy only, the “Group”), subject to and in compliance with any applicable legal and regulatory requirements of thejurisdictions in which they each operate. CKA’s overseas operating subsidiaries, joint venture companies, affiliates and associates, shall as applicable adopt and maintain theirown independent sanctions compliance policy in alignment with the principles adoptedunder this Policy, but subject to and in compliance with the legal and regulatory requirements of the jurisdictions in which they each operate.  \n(g) Capitalized terms used in this Policy which are not otherwise defined are set out and defined in Annex A.  \n(h) A high-level summary of relevant sanctions laws applicable across the principal jurisdictions within which the Group operates or has investments or business activities is set out in Annex B.  \nII. RELEVANT BUSINESS FALLING WITHIN THE SCOPE OF THIS POLICY  \nThere following categories of transactions that the Group undertakes fall within the scope of this Policy (each a “Relevant Transaction”) .  \n(i) Merger & Acquisitions & Divestment: this refers to any merger, acquisition, investment or divestment, in any portfolio company, subsidiary or joint venture.  \n\n|  | March 2023 | Page 2 of 25 |\n| --- | --- | --- |\n\n(ii) Property transactions: this refers to any sale, acquisition, lease or licence of any real properties (including but not limited to residential properties, industrial and commercial properties, office properties, hotels and land) by the Group.  \n(iii) Acquisition of Assets: this refers to any acquisition of assets whether tangible (including but not limited to aircraft and other mobile assets) or intangible (including but not limited to goodwill, patents, copyrights, trademarks, other intellectual properties and chose in action) by the Group  \n(iv) Supplier transactions: this refers to any transaction with a material supplier of any goods, facilities or services acquired by the Group during the conduct of its business, including, for example, large suppliers of office stationery and printing services.  \n(v) Intra-group transactions: this refers to the Group dealing with subsidiaries, joint venture companies, associates and affiliates, including, for example, providing intra-group loans, receiving interest on loans or receiving dividend payments.  \n(vi) Financing transactions: this refers to the Group’s borrowings and lendings, whether in the ordinary course of business.  \nIII. RELEVANT SANCTIONS AUTHORITIES  \nApplicable economic sanctions laws and regu","cbCaif9XQhHrUVX2","https://ap.wps.com/l/cbCaif9XQhHrUVX2","pdf",308770,25,"English","# Objective and Scope\n## Relevant Business Falling Within the Scope of This Policy\n## Relevant Sanctions Authorities\n## Compliance Commitments\n## Scope of Applicable Sanctions Laws","[{\"question\":\"What is the objective and scope of the Sanctions Compliance Policy?\",\"answer\":\"The policy sets out the main areas of sanctions risk and compliance principles for employees acting for the Group. It applies to CK Asset Holdings Limited and its subsidiaries in Hong Kong and Mainland China, subject to applicable legal and regulatory requirements.\"},{\"question\":\"Which types of transactions are covered under the policy?\",\"answer\":\"The policy covers relevant transactions such as merger and acquisitions/divestment, property transactions, acquisition of assets, supplier transactions, intra-group transactions, and financing transactions.\"},{\"question\":\"What compliance commitments must the Group and employees follow?\",\"answer\":\"The Group and employees must comply with applicable economic and financial sanctions regulations, and must identify and assess sanctions risks before entering relevant transactions. For intra-group payments like dividends or interest, subsidiaries must take steps to ensure the funds are not proceeds from breaches of sanctions laws.\"}]","CK Asset Holdings Limited - Sanctions Compliance Policy | PDF",63]