This document contains guidelines on how to present our products to clients, partners, and in public spaces, as well as how to interact with the Security Department.
Rules for Compliance with the Pricing Policy
Pricing policy rules RU.pdf
Pricing policy rules_EN.pdf
Pricing_policy_rules_CN_关于定价方案.pdf
Key Requirements
- Selling fuel to end customers with a discount greater than 30% is strictly prohibited.
- Any form of monetary incentives (cashback, material prizes, etc.) must be approved by the Sales Team and official product representatives.
Unapproved promotions will be treated as unauthorized discounts and penalized accordingly.
- Price rounding is not a valid excuse for undercutting. Always check the current exchange rate frequently to avoid such discrepancies.
In cases where your pricing does not align with the current exchange rate, standard penalties for dumping will apply
The Importance of Maintaining a Unified Pricing Policy
To ensure a stable and unified pricing structure in the market, strict precautions and penalties are essential. Any dealer selling coupons below the established price harms not only the market, but also their own team.
Example:
Agent N sells fuel to Client X at a discounted rate to lure them away from Agent K. As a result, Agent K is forced to lower their price as well, losing profit and driving down market value. Client X, now accustomed to a lower price, refuses to buy fuel at a higher rate and expects similar discounts from other agents.
This leads other agents to also drop their prices to retain or attract clients. Eventually, Agent N ends up losing clients too.
That’s why there is a strict limit on the allowed discount.
If Agent K detects a violation, they must immediately report it to official representatives with evidence to prevent market dumping.
Proper Collection of Dumping Evidence
To report a pricing violation, the following evidence must be provided:
- The coupon itself
- Correspondence confirming the sale
- Clarification of who purchased the coupon — whether it was a sub-agent or an end customer
- Direct or indirect evidence indicating that the coupon was sold
specifically to the end user associated with that coupon
Responsibility for Sub-Agents and Discount Management
Selling coupons with a discount greater than 30% is permitted only for the purpose of resale. Each participant offering such a discount is personally responsible for ensuring that the coupon is passed on to a reseller, not to an end customer.
All agents in the chain share responsibility — senior partners can also be penalized for violations committed by their sub-agents, as every agent is accountable for their own network.
Penalty Procedure
First violation:
The offender receives an official warning and must return the poached client to the original agent. Repeated or intentional violations of the maximum discount policy may result in more serious consequences:
- Reduction of discount level for coupon generation
- Financial penalty equivalent to several days of discount suspension
- In severe cases: termination of business relationship with the violator
Non-Disclosure Agreement
To ensure confidentiality and protect mutual interests, we require that the terms of cooperation are not disclosed to third parties. This includes information about discounts, sales volumes, and any other conditions.
In the event of an information leak, we reserve the right to revise or terminate the cooperation.
Security Department – Interaction Rules
Agents and their sub-agents are required to:
- Comply with the pricing policy
- Maintain confidentiality of all agreements between the company and the agent, as well as between the company and the client
- Immediately report any suspicious actions by clients or other agents to the Security Department, including:
• Price dumping
• Violations of Jinchouma rules
- If operating a personal poker farm, adhere to the Jinchouma rules (rules to be attached)
- Provide any information requested by the Security Department related to your activities or the activities of your clients
- Maintain confidentiality when handling client data and internal security processes
Agents and Sub-Agents Have the Right to:
- Contact the Security Department for assistance in cases of threats, extortion, or conflict situations.
- Receive consultations on security matters and on protecting the interests of both the company and the agent.
The Security Department Has the Right to:
- Request any information from agents and clients related to an ongoing investigation
- Suspend the activity of suspicious clients or agents until the review is completed
- Demand that violating agents cease contact with poached clients and return them to the original agent
- In extreme cases, terminate cooperation in response to multiple complaints
Agents and Sub-Agents Are Prohibited From:
Intentionally lowering prices to lure clients away from other agents
Spreading false information about the product, other agents, or their clients
Using unethical methods to attract clients
In case of detected dumping or unfair competition:
• The agent must report the violation to the Security Department. The reporting format is provided above in this document
• The company reserves the right to impose sanctions on the violator, including warnings, fines, or termination of cooperation
Responsibility and Sanctions
Violations may result in:
- A warning (with or without a fine)
- Temporary restriction of the agent’s activities
- Termination of the agreement in case of repeated violations
The company reserves the right to revise key terms of cooperation with agents whose actions harm the reputation or interests of the business.
Key Product Provisions and Agent Compliance
Equality of Jinchouma and NZT Products
Principle of Equality:
- The Jinchouma and NZT applications are powered by the same core AI engine with identical strength and capabilities.
- From both technical and gameplay perspectives, these two products are completely equal in performance. Neither has an advantage over the other in terms of core functionality.
Key Difference:
The only meaningful distinction lies in support — Jinchouma clients receive direct, priority support and participate in exclusive promotions from our company.
Strict Ban on False Positioning
- Any claim or implication by an agent or sub-agent that Jinchouma is the “ultimate,” “stronger,” “more advanced,” or in any way superior to NZT in terms of gameplay capabilities is strictly prohibited and considered deliberate misinformation.
- It is forbidden to use marketing tricks, comparisons, or verbal assurances that may give end users the false impression that Jinchouma outperforms NZT in game strength. Only the equality in capabilities may be emphasized, along with the fact that Jinchouma offers direct support from the company.
Severe Consequences for Violation
Violation of this policy is considered a serious offense by the company, as it undermines trust in the brand and distorts the true positioning of our products.
For spreading such false claims:
- The company will immediately initiate procedures to hold the responsible agents and sub-agents accountable.
- This includes, but is not limited to: fines, suspension of cooperation, and full termination of contracts and agency agreements.
What It's Allowed to Say About Jinchouma:
- "Jinchouma has powerful game intelligence identical to NZT."
- "By choosing Jinchouma, you get a product with the same gaming capabilities as NZT, plus direct support."
- "Both apps, Jinchouma and NZT, are built on the same technology platform and are equally strong."
What Not to Say About Jinchouma:
- "Jinchouma plays stronger than NZT."
- "Jinchouma is the new, improved/advanced version."
- "If you want to win more, get the Jinchouma, it's more powerful."
- "NZT is the basic version, Jinchouma is the premium/ultimate version."
Security Services and Responsibility for Violations
Monitoring and Violation Detection:
The Security Department (SD) continuously monitors and oversees the activities of the agent network.
This includes:
• Ensuring compliance with sales and promotion rules.
• Monitoring financial flows and reporting.
• Detecting fraud or deception of clients.
• Suppressing any other illegal or company-rule-violating activities.
The SD uses various monitoring methods, including data analysis, so do not try to outsmart or deceive the department — it will only make things worse.