Business ethics
Code of ethics and conduct
Our code of ethics and conduct reflects best practices and represents our organisational culture. It is a core tool that guides our team to make the right decisions in all circumstances.
We develop annual communication and training plans to reinforce the core principles of the code of ethics and conduct, the Anti-Corruption Policy, and related internal policies.
Our ethical pillars:

Safety First

Social and Environmental Sustainability

Service Excellence

Corporate Integrity

Passion for the Team
I CARE, our ethical channel
We have implemented I CARE, our ethical channel (which stands for ME IMPORTA in Spanish), managed by the Compliance Department and designed to ensure confidentiality and protect whistleblowers from any form of retaliation. Reports can also be submitted anonymously. The channel is open to all employees and stakeholders.
Through I CARE, we reaffirm our collective commitment to integrity and transparency. We value the perspectives and concerns of every team member and stakeholder—whether to report unethical or illegal conduct or to raise questions or concerns. As members of Aleatica Mexico, we are all responsible for maintaining an ethical environment and reporting any actions that are improper, unlawful, or potentially harmful to our organisation.
Contact methods for reporting misconduct or breaches of Aleatica's ethics policies include:
Intranet
Corporate Integrity > Ethical Channel I CARE
Internet
http://icare.aleatica.com/
Phone
Mexico: 800 681 6945
Compliance investigation process
When the Compliance Department decides to open an investigation, an investigator is appointed based on the nature of the allegation. This person coordinates with relevant departments to carry out the investigation and evaluates whether precautionary measures should be taken while the process is underway.
All reports with sufficient basis are investigated. The designated governance body for Compliance matters is notified at least quarterly.
Key compliance indicators

In 2024, a total of
184 reports and enquiries
were received, 20.26% more than in 2023.

In 2024, no confirmed corruption cases
resulted in disciplinary action.
Request additional information
No
I CARE
Report or enquiry
Compilance Department responds to the informant confirming receipt
Is there enough information?
Appoint an investigator. Initiate investigation.
Interviews. Evidence collection.
Analysiis and evaluation of results.
Decision-making, disciplinary, and corrective measures.
Closure and follow-up on recomendations.
Anti-money laundering and counter-terrorist financing
We strictly comply with applicable laws and regulations on anti–money laundering (AML) and counter–terrorist financing (CTF), and we only conduct business with third parties that operate legally and whose funds originate from lawful sources.
In Mexico, the company responsible for managing the electronic toll collection system is classified as a “reporting entity” under the Federal Law for the Prevention and Identification of Transactions Involving Illicit Funds. In compliance with this law, we submit monthly reports to the Financial Intelligence Unit (UIF) of the Secretariat of Finance and Public Credit, detailing the issuance of prepaid cards and any instances where customer deposits on those cards exceed the thresholds established by law
Zero tolerance for corruption
In line with our Anti-Corruption Policy, we maintain a firm stance of zero tolerance towards any form of corruption, both within and outside our organisation, in all operations and interactions with third parties—whether public or private.
During 2024, the Compliance Department delivered in-person courses on ethics and anti-corruption, strengthened the anti-harassment campaign, and placed particular emphasis on training for people in leadership positions and team members with direct reports on ethical conduct. In November, we held a Compliance Week, during which we launched an ethical culture survey.
The overall survey score was 90%, with the highest-rated pillar
Conflicts of interests
In compliance with the Conflict of Interest Standard, all directors and board members at Aleatica Mexico are required to complete an annual Declaration of Interests. This document includes information on their professional activities with other organisations, affiliations, and family interests, among others, with the aim of identifying any potential conflicts of interest. The results are submitted to the Audit Committee.
If an employee or board member is involved in a conflict of interest, they must:
1.Report any conflict of interest to the Compliance Department
as soon as a potential or actual conflict of interest becomes known in commercial relations with customers, suppliers, or any other third party with whom Aleatica has any kind of relationship or whose activities are related or may generate reputational or regulatory risks. Employees or individuals in management positions must report any situation that appears to be a conflict of interest or seek clarification if they are unsure whether what they perceive involves a risk.
2. Such communication must be made in writing
by the employee or director involved in the potential conflict of interest to the Compliance Department, using the Conflict of Interest form available on the corporate intranet, or through I CARE, Aleatica's ethics channel, if they wish to remain anonymous.
3. Act diligently
Regarding the conflict of interest until it is resolved. Thus, once the employee has been notified of the existence of a conflict of interest, they must take the following measures:
- Refrain from making decisions that could undermine Aleatica’s decision-making processes.
- Do not use Aleatica’s data for personal gain.
