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About Premier Technology (PT)

About Premier Technology (PT)

About Premier Technology Public Company Limited.  (PT)

PT was established on July 9, 1973 and operated Electronics and Information Technology product businesses. In 1991 the Company was listed on the Stock Exchange of Thailand and then became a Public Company Limited in 1992. The Company’s core business is now to invest in the Information Technology Business, which is Datapro Computer Systems Company Limited – a Total Enterprise IT Solution and Service Provider.

Visit Premier Technology website at http://www.premier-technology.co.th

Supplier Code of Conduct

Premier Technology Public Co., Ltd. (“the Company”) has principles for conducting business with integrity by adhering to social responsibility and stakeholders in accordance with the good corporate governance principles. Therefore, it has established policies and guidelines for the company procurement process and for suppliers to use as the practice standard for conducting business with regard for morality, ethics, transparency, non-fraudulent and not causing negative impacts on related stakeholders in compliance with legal requirements and the Group’s Code of Conduct, as well as international standards. It also emphasizes and encourages suppliers to conduct business with transparency, consideration for human rights, fair treatment of workers and compliance with safety, occupational health and environmental standards, as well as strictly monitor the implementation of these policies and guidelines for sustainable mutual success. The guidelines are as follows: 

 

DEFINITION

Supplier means product sellers, contractors, sub-contractors, lessors, hire vendors and service providers of Premier Technology Public Co., Ltd. 

 

BUSINESS ETHICS (MORAL AND INTEGRITY)

Morality and Ethics 

Conduct business on the basis of morality and ethics means not causing any negative impact to related stakeholders on the basis of correctness, integrity, honesty and transparency, having principles to fight corruption in all forms, strictly complying with relevant laws and regulations, and operating according to professional standards 

Conflicts of Interest 

Employees of suppliers should avoid any clash of self-interest with the interests of Premier Technology Public Co., Ltd. in any actions related to the Company, including with other persons or juristic persons, for the benefit of oneself and/or close relatives 

Fair Competition 

Operate within the framework of fair competition and do not use dishonest methods to destroy competitors or create unfair competitive advantages. 

Information Disclosure 

Disclose information accurately, transparently and completely as required by law. 

Confidentiality 

Do not disclose or use any confidential or insider information of Premier Technology Public Co., Ltd. or related parties without consent. Do not use such information to seek benefits for oneself or others wrongfully. 

Information System Security 

Information and information technology systems are protected and maintained so that they are ready for use at all times, as well as determine control measures that are appropriate to the risks of information, work systems and information technology systems. 

Intellectual Property Rights 

Respect the intellectual property rights of Premier Technology Public Co., Ltd. and others and be careful not to infringe on such rights. 

Social and Environmental Responsibility 

Behave as a good citizen to society and take responsibility to use resources appropriately and efficiently. 

 

HUMAN RIGHTS AND LABOUR

  • Support and respect the protection of human rights by ensuring that the businesses and employees are not involved in human rights violations, such as not use forced labour, not harass or intimidate workers in any form and not employ illegal migrant workers, as well as ensuring strict compliance with labour protection laws. 

  • Respect and adhere to the international principles of employment in treating all stakeholders with fairness based on human dignity by providing equal opportunities for all without discrimination and without violating fundamental rights in regards to gender, age, religion, race, region, status, physical condition and political opinion. 

  • Set measures to provide protection for employees who report on human rights violations or unequal treatment of employees under which they will be protected from punishment or harassment or any other acts that will make it unbearable for the informant to continue working. 

  • All processes of employment termination must comply with labour laws and unfair termination of employment is prohibited. 

  • Employees shall not be allowed to work for longer than the legal limit and in case there is overtime work, it must be voluntary by the employees. Holidays and leave days of not less than those prescribed by law must also be provided. 

  • Wages, overtime pay, holiday pay and any benefits that employees are entitled to receive shall be paid accurately, fairly, not less than those required by law and in a timely manner.

 

SAFETY AND OCCUPATIONAL HEALTH

  • Provide a working environment that is safe, hygienic and conducive to productive work that is in compliance with related laws or regulations, as well as establish control for operating procedures that is safe and the prevention of accidents and potential adverse health impacts from work.

 

ENVIRONMENT

  • Operate a business that is environmentally friendly, not take any action that causes damage to natural resources and the environment, and maintain and prevent events that impacts on the environment. 
  • Implement or supervise to ensure compliance with applicable environmental laws and regulations. 
  • Encourage efficient use of resources, establish a policy on the conservation of energy and other resources or introduce the use of technology that helps to conserve energy within the company. 
  • Ensure there is effective management of pollution from operations.

 

WHISTLEBLOWING AND COMPLAINT CHANNEL

In the event that the suppliers or stakeholder has questions or sees suspicious acts of violation or non-compliance with the law or policies for suppliers of goods and services, they may raise questions, report clues or lodge complaints at: 

https://www.premier-technology.co.th/index.php/en/whistle-blowing

Personal Data Protection Policy

Premier Technology Public Company Limited and its subsidiaries place importance on personal data and the protection of personal data of customers, business partners and employees as data subjects. The Company shall treat personal data correctly and in accordance with the Personal Data Protection Act B.E. 2562. The Company shall collect, use and/or disclose personal data (collectively referred to as “processing”) as necessary for the purposes for which it has stated. In the collection of personal data, the Company shall request for consent prior to or during the collection of the personal data unless there are exceptions where it does not require consent, in which case it will act as prescribed by the law. Personal data that the Company will process includes, for example, personal data related to the sale and purchase of various goods/products and services with the Company, the entry into sale and purchase contracts, service contracts and/or procurement contracts, human resources matters, management of rights and duties of shareholders, participation in activities with the Company, communication with the Company through various channels (such as visiting the website and correspondence through social media), etc. Therefore, the Company has issued this policy with the following details:
   
1.  Purpose for Processing Personal Data
  1.1  For sales of various goods/products and services and the carrying out of other activities related to goods/products, such as the performance of duties under the sale and purchase contract, service contract and/or any other contract, etc.
    Personal data processed by the Company, such as
   
  • Personal data such as name-surname, national identification number, etc.
  • Contact information such as telephone number, email address, shipping address, invoice address, etc.
  • Financial information such as bank account information, credit card information, etc.
  1.2 To publicize the Company's marketing activities, such as notification of news and privileges, sending messages for various marketing activities, etc.
    Personal data processed by the Company, such as  
   
  • Personal data such as name-surname, national identification number, etc.
  • Contact information such as telephone number, email address, current address, social media contact information, etc.
  1.3 For use in procurement-related processes, such as the entry into procurement contract, service contract or any other contract related to the Company's procurement process, etc.
    Personal data processed by the Company, such as
   
  • Personal data such as name-surname, national identification number, etc.
  • Contact information such as telephone number, email address, shipping address, invoice address, etc.
  • Financial information such as bank account information, financial record, etc.
  1.4 For use in processes related to human resources matters, such as recruitment and retention of employees, human resources development, talent development, disciplinary action and penalties, payroll and welfare, employee information system and performance appraisal system, etc.
    Personal data processed by the Company, such as
   
  • Personal data such as name-surname, nickname, age, gender, nationality, date of birth, face photograph, marital status, military status, educational background, national identification number, house registration, information in passport, driver's license and professional license, etc.
  • Sensitive data such as religion, fingerprint, health data, criminal record, etc.
  • Contact information such as telephone number, email address, information of emergency contact person, etc.
  • Financial information such as bank account information, etc.
  1.5  For the management of shareholders registration and other operations related to shareholders and other actions under the law on public limited companies or the law on securities and exchange.
    Personal data processed by the Company, such as  
   
  • Personal data such as name-surname, national identification number, etc.
  • Contact information such as telephone number, email address, address for sending documents, etc.
  1.6 For inspection and maintenance of peace and order and to prevent or suppress any incidents that may endanger the life, body or health and property of a person or the Company, including the access control system of its buildings and factories.
    Personal data processed by the Company, such as
   
  • Personal data such as name-surname, national identification number, vehicle registration number, information in driver’s license, etc.
  • Contact information such as telephone number, etc.
  • Recording of still images, sounds and motion pictures, etc.
  1.7  Any other purposes for which the Company will notify and obtain consent for data processing unless there is a legal exception where such consent is not required.
    
2. Disclosure of Personal Data to Other Parties
  The Company may disclose personal data to companies under Premier Group of Companies, its business allies, various service providers who provide services to the Company or related companies (both in Thailand and overseas), including government agencies, regulatory agencies or other agencies as required by law. In the disclosure of personal data to other parties, the Company shall proceed only for the purposes specified or other purposes permitted by law. The Company shall supervise that the data so disclosed is kept confidential and used for the stated purposes only. In the event that consent is required by law, the Company shall ask for consent first.
   
3. Processing of Personal Data by Personal Processors
  The Company may assign a person or entity (personal data processor) to process personal data on its behalf of or in the name of the Company. In entrusting the processing of personal data as a personal data processor or so acting as a processor of personal data under various contracts, the Company shall have in place an agreement specifying its duties as a personal data controller and those of the personal data processor. The personal data processor is obliged to process personal data only in accordance with the instructions of the Company and must also comply with the Personal Data Protection Act B.E. 2562 in respect to the duties of the personal data processor.
   
4. Request for Consent to Process Personal Data
  4.1 Where the law requires that consent must first be obtained before processing personal data, the Company shall expressly request for consent before processing personal data.
  4.2 In the case of personal data of a minor, an incompetent person or a quasi-incompetent person, the Company shall proceed as required by law in relation to the processing of personal data of a minor, an incompetent person or a quasi-incompetent person, which includes seeking consent from those who have the authority to act on their behalf as prescribed by law.
  4.3 In the event that consent is not required, the Company shall proceed according to the legal bases prescribed by law, which are as follows:
    4.3.1 Legal bases in the case that the personal data is not sensitive data.
     
  • It is necessary for the performance of a contract to which you are a party or in order to take steps at your request prior to entering into such contract.
  • It is necessary for the legitimate interests of the Company or any other persons or juristic persons.
  • To prevent or suppress danger to a person's life, body or health.
  • To be in compliance with prescribed laws.
  • To achieve purposes associated with the public interest or for purposes relating to research or statistics.
    4.3.2 In the case that the personal data is sensitive data.
     
  • To prevent or suppress danger to the life, body or health where consent cannot be given for any reason whatsoever.
  • It is information that is disclosed to the public with explicit consent.
  • It is necessary for the purpose of establishment, compliance or exercise of legal claims or defense of legal claims.
  • It is necessary for compliance with a law to achieve the purposes with respect to matters stipulated by law
  4.4 In the event that the Company processes personal data for legal compliance or for the performance of a contract or to use in the processing of your request to enter into a contract, in which the Company requires to process personal data in order to achieve such purposes, failure to provide personal data to the Company for such purposes may have legal consequences or the Company may not be able to perform transactions or provide services according to the contract or may not be able to enter into the contract (as the case may be). In such event, it may be necessary for the Company to cancel the transaction or the provision of related services, whether in whole or in part, or refuse to enter into a contract.
   
5. Personal Data Retention Period
  The Company shall retain the personal data for as long as is necessary for the Company's operations for which such personal data was received or for as long as required by law.
   
6. Storage and Use of Cookie Data (Browser’s Cookies)
  The Company shall collect and use the Company's website browsing data from all visitors through cookies or similar technologies in order to learn how the data subjects interact with the contents of its website and to assist in continuous improvement of the user experience. The website will ask the browser to store the cookies in order to collect information about the use of the website in the computers or mobile devices. Cookies allow websites to "remember" your actions or preferred settings over time. Most internet browsers support the use of cookies.
   
7. Rights of the Data Subject
  As the owner of personal data, the data subject has various rights related to personal data under the Personal Data Protection Act B.E. 2562, the details are as follows:
  7.1 Right to withdraw consent
  7.2 Right to access personal data
  7.3 Right of rectification of personal data
  7.4 Right to erasure of personal data
  7.5 Right to data portability
  7.6 Right to object to personal data processing
  7.7 Right to restrict the use of personal data
  7.8 Right to file a complaint in the event that the Company does not comply with the Personal Data Protection Act B.E. 2562. The data subjects have the right to file a complaint with the Office of the Personal Data Protection Committee as prescribed by law.
   
  In this regard, should the data subject wish to exercise his/her right he/she can contact the Company through the channels detailed in Clause 10. When the Company has received and examined the request to exercise such rights, it will expeditiously fulfill the request within 30 days from the date it receives such request to exercise the rights. The request to exercise the rights under sections 7.1-7.7 may be limited under the personal data protection law and/or other applicable laws and there may be some cases where there is a necessity that the Company may reject or cannot comply with the request to exercise the above rights. The Company shall inform the data subject of the reason for the rejection, for example compliance with laws or pursuant to a court order, is in the public interest or such exercise of rights may infringe the rights or freedoms of others, etc.
   
8. Maintaining Security in the Retention of Personal Data
 

The Company places importance to the security of the personal data. Therefore, it has established and selected a personal data storage system with appropriate mechanisms and techniques and has measures to maintain the security of the personal data in accordance with the rules of the law.

In case of a personal data breach or information leak to the public, the Company shall notify of such incident to the Office of the Personal Data Protection Commission within 72 hours after having become aware of the incident to the extent possible unless such breach is unlikely to result in a risk to the rights and freedom of the data subject. In the event that the breach has a high risk of affecting the rights and freedom of the data subject, the Company shall notify the breach and the remedial measures.

The Company shall not take any responsibilities to third parties for any damage resulting from the use or disclosure of the personal data of the data subject by the data subject's own actions or any other persons who have obtained the consent of the data subject.

   
9. Review of the Policy
  The Company shall review the policy at least once a year or in case of any changes in the law.
   
10. Contact Information
  If you have queries or require additional information regarding the Personal Data Protection Policy, including request to exercise the rights according to this policy, please contact the Data Protection Officer at:
    Premier Technology Public Company Limited
No. 1 Premier Corporate Park, Soi Premier 2, Srinakarin Road, Nongbon, Prawet, Bangkok 10250
Telephone: 02-301-1550 E-mail: This email address is being protected from spambots. You need JavaScript enabled to view it.
   
 

This policy shall be regarded as the Company's personal data protection principle for compliance in accordance with the Personal Data Protection Act B.E. 2562.

This Personal Data Protection Policy is
Announced on 1 June 2022

   
  Personal Data Protection Policy

 

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Premier Group Philosophy

  Premier Group Philosophy

   

About Premier Technology PCL

a subsidiary of Premier Group of companies was established on July 9, 1973. The Company’s core business is to provide office rental and invest in the information technology business. The Company’s subsidiary, Datapro Computer Systems Co., Ltd. (DCS), has been operating business as a leading enterprise IT solution and service provider in Thailand since 1986.

  
 

 

The Premier Group Philosophy

At the Premier Group, our philosophy is best defined as “working to achieve the harmonious alignment of success.” It is our belief that everything is inter-connected, so that if our business is to achieve the goals we’ve set, we need the support and cooperation of everyone involved. At Premier we work hard to maintain the perfect balance between the interests of our business, and those of society and our employees because this is the key to long-term success for everyone.

At the Premier Group, we apply this philosophy to our six major units: consumer product business; real estate and hotel group business; information technology business; financial service car rental and transportation service business; environmental business and social sustainability development. In all of these areas, our concern is not just for what is good for our business, but what’s good for society, the local communities and the people who work for us. This is the balance that will lead to sustainable, long-term success.

There are five core values that underlie everything we do.

1. Quality : To assure quality improvement in all aspects

2. Creativity : To Adopt New Ideas that Promote Sustainable Development

3. Mutual Benefit : To work for the mutual benefit of our staffs, organization and society

4. Collaboration : To promote collaboration between teams to maximize efficiency

5. Moral & Ethics :  To uphold moral and ethical standards and the beauty of the Thai identity

A commitment to these core values will steer the Premier Group to the fulfillment of our vision: To be leading Thai corporation that enhances society, promotes organization and motivates staff to achieve sustainable success and harmony.



Premier Group Policy

Corporate Governance Policy

The Premier Group of Companies places great emphasis on good corporate governance as it is important and essential for the sustainable growth of the business.

The Premier Group is committed and determined to adhere to the principles of good corporate governance.  It has established a policy to support corporate governance, emphasized on the risk management system, internal control and internal audit, operated the business within the framework of legal requirements and business ethics and adhered to the principles of good corporate governance, which are integrity, fairness, transparency and accountability.

Conflict of Interest Policy

The Premier Group requires all employees to perform their duties with integrity under the framework of good ethics, avoid conflict of personal interests with those of the Group in any act related to the Group, including with suppliers, customers and other third parties in order to obtain personal benefit of the employees and/or close relatives, as well as the use of inside information of the Group in trading securities of the group companies.

Examples of behaviours that are considered conflicts of interest: 

  1. Employees or close relatives of employees selling or buying goods/services, renting or leasing assets to the Group and lending or borrowing money from the Group on conditions that cause the Group to lose benefits or receive less benefit than ought to be. 
  1. Employees investing in or are officers or advisors or directors in the business of customers, suppliers or service providers of companies outside the Group or competitors of the Group. 
  1. Employees or close relatives of employees receiving any benefits whether gratuities or gifts or any other benefits from customers, agents/representatives of contractors/service providers or any person or organization having business related to the Group. 
  1. Employees or close relatives of employees operating businesses in competition with the Group’s businesses. 

 “Close relative” means a person who is related by blood or by legal registration, namely, spouse, father, mother, siblings and children, including spouses of children.

Customer Relations and Product Quality Policy 

The Premier Group is committed to building good and lasting relationships with customers and creating customer satisfaction is paramount to the Group's business success. The Group will effectively respond to the needs of customers by maintaining the quality of products and services through: 

  1. Delivery of products/services of quality according to specified standards to customers fully and timeously. 
  1. Establishment of quality control systems for products/services to achieve industry standards and up to international standards and are safe. 
  1. Provision of accurate and factual information about the Group's products/services in all types of advertisements and news releases. 
  1. Encouragement and motivation of all employees to participate in quality maintenance at every stage of the work process. 
  1. Establishment of mechanisms and customer service systems in order for customers to contact the Group conveniently and quickly. 

In addition, the Group has a policy to encourage suppliers and distributors of goods/services to achieve standards comparable to those of the Group's, earn fair profits and can grow together.

Alcohol and Drug Use Policy 

The Premier Group will provide employees with a workplace that is free from alcohol, drugs or other addictive substances, which will have a detrimental effect on employee performance and will have a serious impact on the safety, efficiency and productivity of the employees. Use, possession, distribution or sale of alcoholic beverages and drugs in the Group's premises is strictly prohibited and is grounds for termination of employment, especially drugs which are punishable by law. The Group will fully cooperate with the government authorities in the prevention and suppression of all types of drugs. 

  1. If any employee violates this policy on alcohol and drug use, such employee will be disciplined in accordance with the regulations of the company in which they are employed (“the Company”) and may be subject to legal action. 
  1. Employees with alcohol or drug dependency who seek help from the Company in overcoming such dependency or participate in a rehabilitation program will not be terminated due to such request for help. In the event that an employee suffering from alcohol or drug dependency refuses rehabilitation or refuses treatment or on receiving treatment fails to meet satisfactory standards of effective work performance, such employee will be subjected to disciplinary action in accordance with the Company’s regulations as appropriate. The request for medical treatment or to enter a rehabilitation program will not be considered an exception in the implementation of the Company's regulations. 
  1. Employees with alcohol or drug dependency or is found to be using addictive substances will not be allowed to work in a position designated by the Company's management, which is important for the safety and well-being of other employees or the general public or the Company. 
  1. The Company may conduct unannounced searches for drugs and alcohol on company owned or controlled property. 
  1. The Company may also require employees to submit to medical evaluation or have a doctor conduct an examination for alcoholic beverages or drugs in the employee's body in the workplace where there is a reasonable cause to suspect alcohol dependency or drug use by such employee. 
  1. The Company may also require that all applicants accepting offers of regular employment and contractors of the Company must pass a drug test before commencing work. 

Political Activities Policy 

The Premier Group will not support the activities of any political party by being neutral and not be affiliated with any political party or group and will not provide assistance to any particular political candidate. 

The Premier Group considers employees to have a democratic right and duty to freely and personally participate in or support various political activities that does not affect the Group. 

Equality Policy 

The Premier Group wants equal employment opportunity both domestically and overseas where it operates its businesses for individuals who have the qualifications as required by the Group regardless of race, skin color, gender or religious belief. The Group will ensure equal employment opportunity in all aspects, including job announcements, hiring, work assignment, promotion, transfer, termination, wage management, salary and selection of employee for development training. 

In addition, the Group also provides equality to its suppliers, customers and visitors by providing equality regarding religion and it is the Group's policy that its employees must study and act in accordance with the traditions and culture of each society in which the Group operates. 

Respect for Human Rights Policy 

The Company recognizes and places importance on the value of human dignity. Therefore, it has established as a policy that all executives and employees must respect the human rights and human dignity of all employees and stakeholders, which is a principle according to international standards that is an important foundation for business operations. The Company has a clear policy to share responsibility for society under its core values “The Premier Business, The Premier People, The Premier Society”

  • The Company supports and respects the protection of human rights by ensuring that the Company's businesses and employees are not involved in human rights violations, such as not use forced labour, not use child labour and not molest or violate both physically and mentally, as well as ensuring strict adherence to the standards prescribed by the labour protection laws. 

  • The Company will respect and adhere to the international principles of employment in treating all stakeholders with fairness based on human dignity by providing equal opportunities for all without discrimination and without violating fundamental rights in regards to gender, age, religion, race, region, status, physical condition and political opinion. 

  • The Company monitors and follows up on the strict adherence of its subsidiaries, suppliers and stakeholders to the international principles on human rights, as well as protects the rights of stakeholders who received damages due to the violation of rights arising from the Company's business operations as required by law. 

  • The Company has arranged the workplace with regard to a good working environment and places importance on the safety and occupational health of employees. 
  • The Company has provided employees with the opportunity to participate in the management of and to express their opinions on its business operations and work processes through the “suggestion system activity” channel to the various working groups, such as the welfare working group, the anti-corruption working group, etc. 
  • The Company has set measures to provide protection for employees who report on human rights violations or unequal treatment of employees under which they will be protected from punishment or harassment or any other acts that will make it unbearable for the informant to continue working. 

Safety Policy 

The Premier Group is aware and concerned about the life, property and health of all employees and related parties. Therefore, it considered it appropriate to carry out safety, occupational health and work environment operations to instill awareness and cooperation among employees and all concerned and has established the safety, occupational health and work environment policy as a guideline for implementation as follows:

  1. Allocate sufficient and appropriate resources for the implementation of the said system, including compliance with laws and international standards or appropriate standards of each business. 
  1. Provide knowledge on safety, occupational health and work environment management to the employees and related parties, as well as promote and support the creation of awareness for all employees on safety and to seriously adhere to. 
  1. Set up a committee to supervise safety, occupational health and work environment in order to operate strictly in accordance with the guidelines prescribed by the law and closely monitor the performance. 
  1. Safety performance at work is one of the criteria for annual performance evaluation. 

Gifts and Entertainment Policy 

The Premier Group does not have a policy to give or accept gifts of any kind or cash to anyone doing business with the Group except for the giving or accepting of gifts and entertainment in accordance with traditions that are of reasonable value to maintain good relationship with those doing business with the Group without expecting to receive a specific service or reward that is not in accordance with the Code of Business Ethics. The Group strictly prohibits the giving or accepting of gifts in excess of reasonable value in the form of commissions, loans, share of profits in stocks, or anything of a similar nature. 

The giving or receiving of gifts and entertainment should meet the following criteria: 

  1. Must be in accordance with the traditions that are practiced. 
  1. Must be modest, infrequent and appropriate for the occasion. 
  1. Must not be contrary to laws and regulations and in accordance with the Group's Code of Conduct and policies on conflicts of interest. 

Directorships Policy 

The Premier Group does not have a policy for the Company's employees to serve as directors of non-affiliated companies except in the case where an employee has been assigned by the Group to be a director as part of that employee's duty. 

In the event that an employee is a director of a non-affiliated company without being assigned by the Group, employees are obliged to notify the company in which they are employed. 

Trade Secrets and Intellectual Property Policy 

The Premier Group has a policy that prohibits its employees from disclosing or using for personal gain any news and inventions that are confidential information of the Group, including formulas, processes, production methods and material business information, which are regarded as a matter that must be concealed from other persons by any means. 

Any inventions that employees invent or jointly invent while working for the Group is considered the right and property of the Group, which the employees may not disclose or use for personal gains. 

In addition, it is the policy of the Group, which is strictly adhered to, that employees are prohibited from infringing on the intellectual property of others whether it is domestic or foreign intellectual property. 

Information System Security Policy 

The Premier Group is committed to maintaining the standards of its operating systems, computer systems and information communication systems, which is an important foundation for building an effective control system. The Group will take action on various matters to ensure that the data of the work system and computer system are protected and ready for use at all times in the Group's business, as well as laying out the form and cost of various control measures to be appropriate for the risks to the data, work system and computer system. 

  • Data includes electronic data, documented information, publications, video/audio data, etc. 
  • Work system includes information system and use of the computer system. 
  • Computer includes computer systems, communication systems and related computing devices. 

To achieve that commitment, the Group will operate according to the following standards and practices: 

  1. Determine the responsibilities of data users and administrators for all work systems and computer systems. 
  1. Assess risks and establish a risk control system to suit the changing environment. 
  1. Create a data protection system, work system, computer system and related personnel. 
  1. Create a data security system to prevent unauthorized access, modification and destruction of data whether accidental or intentional. 

Supplier Code of Conduct 

Premier Technology Public Co., Ltd. (“the Company”) has principles for conducting business with integrity by adhering to social responsibility and stakeholders in accordance with the good corporate governance principles. Therefore, it has established policies and guidelines for suppliers to use as the practice standard for conducting business with regard for morality, ethics, transparency, non-fraudulent and not causing negative impacts on related stakeholders in compliance with legal requirements and the Group’s Code of Conduct, as well as international standards. It also emphasizes and encourages suppliers to conduct business with transparency, consideration for human rights, fair treatment of workers and compliance with safety, occupational health and environmental standards, as well as strictly monitor the implementation of these policies and guidelines for sustainable mutual success. The guidelines are as follows: 

Definition 

Supplier means product sellers, contractors, sub-contractors, lessors, hire vendors and service providers of Premier Technology Public Co., Ltd. 

Business Ethics (Moral and Integrity) 

Morality and Ethics 

Conduct business on the basis of morality and ethics means not causing any negative impact to related stakeholders on the basis of correctness, integrity, honesty and transparency, having principles to fight corruption in all forms, strictly complying with relevant laws and regulations, and operating according to professional standards 

Conflicts of Interest 

Employees of suppliers should avoid any clash of self-interest with the interests of Premier Technology Public Co., Ltd. in any actions related to the Company, including with other persons or juristic persons, for the benefit of oneself and/or close relatives 

Fair Competition 

Operate within the framework of fair competition and do not use dishonest methods to destroy competitors or create unfair competitive advantages. 

Information Disclosure 

Disclose information accurately, transparently and completely as required by law. 

Confidentiality 

Do not disclose or use any confidential or insider information of Premier Technology Public Co., Ltd. or related parties without consent. Do not use such information to seek benefits for oneself or others wrongfully. 

Information System Security 

Information and information technology systems are protected and maintained so that they are ready for use at all times, as well as determine control measures that are appropriate to the risks of information, work systems and information technology systems. 

Intellectual Property Rights 

Respect the intellectual property rights of Premier Technology Public Co., Ltd. and others and be careful not to infringe on such rights. 

Social and Environmental Responsibility 

Behave as a good citizen to society and take responsibility to use resources appropriately and efficiently. 

Human Rights and Labour 

  • Support and respect the protection of human rights by ensuring that the businesses and employees are not involved in human rights violations, such as not use forced labour, not harass or intimidate workers in any form and not employ illegal migrant workers, as well as ensuring strict compliance with labour protection laws. 

  • Respect and adhere to the international principles of employment in treating all stakeholders with fairness based on human dignity by providing equal opportunities for all without discrimination and without violating fundamental rights in regards to gender, age, religion, race, region, status, physical condition and political opinion. 

  • Set measures to provide protection for employees who report on human rights violations or unequal treatment of employees under which they will be protected from punishment or harassment or any other acts that will make it unbearable for the informant to continue working. 

  • All processes of employment termination must comply with labour laws and unfair termination of employment is prohibited. 

  • Employees shall not be allowed to work for longer than the legal limit and in case there is overtime work, it must be voluntary by the employees. Holidays and leave days of not less than those prescribed by law must also be provided. 

  • Wages, overtime pay, holiday pay and any benefits that employees are entitled to receive shall be paid accurately, fairly, not less than those required by law and in a timely manner.

Safety and Occupational Health

  • Provide a working environment that is safe, hygienic and conducive to productive work that is in compliance with related laws or regulations, as well as establish control for operating procedures that is safe and the prevention of accidents and potential adverse health impacts from work.

Environment

  • Operate a business that is environmentally friendly, not take any action that causes damage to natural resources and the environment, and maintain and prevent events that impacts on the environment. 
  • Implement or supervise to ensure compliance with applicable environmental laws and regulations. 
  • Encourage efficient use of resources, establish a policy on the conservation of energy and other resources or introduce the use of technology that helps to conserve energy within the company. 
  • Ensure there is effective management of pollution from operations.

Whistleblowing and Complaint Channel 

In the event that the suppliers or stakeholder has questions or sees suspicious acts of violation or non-compliance with the law or policies for suppliers of goods and services, they may raise questions, report clues or lodge complaints at: 

https://www.premier-technology.co.th/index.php/en/whistle-blowing

Corporate Document

Articles of Association  

Memorandum of Association 

Annual Registration Statement/Annual Report 2023
(Form 56-1 One Report)

 

Annual Reports

   
  annual report 2024 eng
     
  Annual-report-2023.png Annual-report-2022.png
     
  Annual Report 2021 (56-1 OneReport) Annual Report 2020 (56-1 OneReport)
     
  Annual Report 2019  Annual Report 2018
     
  Annual Report 2017  
     
 
     
 
     
 
     
 
     
   
     

 

 

Anti-Corruption Policy

Premier Technology Public Company Limited and its Subsidiaries operate businesses under Premier Group’s business philosophy of “Harmonious Alignment for Success,” which is our “Core Value” to which the Company adheres to focus on operating businesses. The Company emphasizes the importance of corporate good governance under the management framework of business integrity, transparency, and accountability. The Company, therefore, issues the policy to prevent the risk of corruption in all forms within the Company and for directors, management, employees, as well as any persons undertaking for the Company’s benefits to comply with the as practical norm.
 
Definitions
“Fraud” means unlawful acts in any form in order to seek unjust or illegal gains, including performing or failure to perform in the position or duty or performing or failure to perform in any manner that may lead others to believe that he or she has a position or duty even though he or she does not have such position or duty or abuse of entrusted power in a position or duty to secure illegal gains for oneself or others, for the sake of family, relatives or friends, public funds misappropriation and the use of patronage system and other injustices that undermine fairness and legitimacy both legally and socially.
 
“Corruption” means any performing or refraining from performing the duties or abusing power in performing duties in order to obtain benefits in any form of giving, offering to give, promising to give, demanding or accepting anything whether in the form of cash, cash equivalent or any other benefit without any right and against morality, ethics, laws, rules, regulations and policy, to government agencies or any persons undertaking businesses with the Company or Group of Companies, either within or outside the country, in order to obtain unlawful benefits to companies, individuals or connected persons.
 
“Hiring government officials/government employees” means employment of any person who is current or former government official/politician/counselor of government agencies to work for the Company and may rely on relationships or inside information for the benefit of the Company or cause a conflict of interest in the performance of duties of government agencies or business regulatory bodies with companies under their supervision with the aim of gaining unfair business advantages or setting policies to benefit the private company with whom the former government officials works.
 
“Facilitation Payment” means an unofficial payment made to government officials, organizations, or any agencies for the purpose of undertaking or expediting their performance, for example, application for licenses, certificates, receipts of public services, orders of goods and services, etc.
 
“Political Contribution” means any support of the activities of political parties, politicians, or other similar activities, whether it is financial or benefit in any form, either directly or indirectly.
 
“Bribery” means the offering of any item of value, gifts or benefits to any person for performing or refraining from their duties, whether such performance is under the duties or not, as a means of influencing the bribable actions, against the laws, ethics, or code of conduct, either directly or indirectly.
 
“Employee” means employees as follows:
1) Employees who work for the Company on an indefinite contract, including permanent employees and employees on probation.
2) Employees who work for the Company according to the fixed-term employment contract.
 
Policy
1.   Directors, management, and employees of the Company are prohibited from performing, accepting, or supporting corruption in any form, whether directly and indirectly as well as reviews of guidelines to conform and ensure compliance with the policy, practices, regulations, rules, notifications, laws, and business changes.
2   The Company encourages and supports stakeholders such as related customers, business partners, contractors or sub-contractors in having guidelines against corruption similar to Company. Regular reviews on compliance with the anti-corruption policy shall be made.
3.   The anti-corruption standard is part of business operation and it is the duty and responsibility of the Company’s board of directors, management, supervisors, employees at all levels, and suppliers or sub-contractors to express their opinion regarding the practice on the implementation of the anti-corruption actions to ensure achievement of compliance with the policy set.
4.   The Company formulates its anti-corruption measures in accordance with related laws, including the principles of morals. Risk assessment will be conducted on activities that are related or at risk for corruption and the results were used in preparing the operating guidelines for all related parties.
5.   The Company does not have any policies of offering or charitable contributions to politicians or political contributions.
6.   The Company does not have any policy of offering gifts to customers or business partners, hiring government officials/government employees, or undertaking any actions to encourage bribery in any form, activity as well as not have any policy of giving or accepting gifts, facilitation payment, entertaining or accepting entertainment and/or offering money for purpose of influencing the government officials or private sectors to facilitate or undertake inappropriate actions.
7.   The Company provides appropriate internal control with regular reviews in order to prevent improper actions of employees in every business units.
8.   The Company provides anti-corruption knowledge to directors, management, and employees to promote integrity, honesty, and awareness of responsibility in fulfilling their duties and to communicate the Company’s commitment to anti-corruption.
9.   The Company provides mechanisms for transparent and accurate financial reporting.
10.   10. The Company provides various communication channels for employees and stakeholders to notify and report suspicious circumstances with the confidence of being protected from punishment, unfair transfer, or harassment in any way, as well as appoint person(s) to investigate and monitor the complaints.
 

The Company will review the Anti-corruption Policy every 2 years. This Policy will be in effect until it is amended.

The Company wishes all personnel of the Company and subsidiaries including stakeholders adhere to anti-corruption for social sustainable permanently.

 

Announced on November 8, 2023.

Corporate Governance

Corporate Governance

The Company's Board of Directors emphasizes good corporate governance. It believes that good corporate governance and management under the framework of good ethics, transparency, accountability and fairness to all relevant parties will help to promote the Company's stable and sustained growth and help to increase the confidence of the shareholders, investors and all related parties. Therefore, the Board of Directors has established in writing the principles of good corporate governance as guidance for the management and employees.
 
<Corporate Governance Policy in detail>

 

Management Structure

The Company has three sets of directors, the Company's Board of Directors and Audit Committee.

Board of Directors

   
  Mr.Vichien Phongsathorn   Chairman 
  Ms.Wanna Kolsrichai   Director and Chairman of the Executive Committee
  Mr.Suradej Boonyawatana   Director
  Mrs.Duangthip Eamrungroj   Director   
  Mrs.Walairat Pongjitt   Director 
  Mr.Pirom Chamsai   Independent Director
  Mrs.Suphasri  Sutanadhan   Independent Director
  Mr.Surapol  Srangsomwong   Independent Director
     

Audit Committee

   
  Mr.Pirom Chamsai   Chairman of the Audit Committee
  Mrs.Suphasri  Sutanadhan   Audit Committee
  Mr.Surapol  Srangsomwong   Audit Committee
     

Good Governance and Risk Control Committee

  Mr.Suradej Boonyawatana   Chairman of the Corporate Governance and Risk Oversight Committee
  Mr.Somchai Choonharas   Director
  Mrs. Pensri Dettingeng   Director

Secretary

   
  Ms. Kulthida Verathaworn    
             
Internal Audit
  Mr. Teeraded Srithongphim    
         

Organization Chart of Premier Technology Public Company Limited

 
Organization Chart
 
The shareholding structure of Premier Technology Public Company Limited
 
The Company and its subsidiaries structure
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