Enterprise Rent-A-Car UK Limited United Kingdom Modern Slavery Act Disclosure Statement Fiscal Year 2017

Similar documents
Panasonic UK a branch of Panasonic Marketing Europe GmbH. Slavery and Human Trafficking Statement. Fiscal Year ended 31 March, 2017

ANTI-SLAVERY POLICY Version 2 January 2018

OUR BUSINESS Safran UK Indirect Purchasing role is to source and purchase specific non-production requirements on behalf of its UK affiliates.

THE MODERN SLAVERY ACT 2015 TRANSPARENCY STATEMENT FOR THE FISCAL YEAR ENDING 31 MARCH 2017

LEXIS PSL MODERN SLAVERY ACT 2015 SAMPLE CHECKLIST

DS SMITH PLC MODERN SLAVERY AND HUMAN TRAFFICKING STATEMENT 2016/17. Page 1 of 10

Siemens Postal, Parcel & Airport Logistics Limited (SPPALL) Modern Slavery Act Statement for the financial year ended 30 th September 2017

Slavery and Human Trafficking Statement. Year ended 31 March 2018

FIAT CHRYSLER AUTOMOBILES N.V.

MODERN SLAVERY ACT 2015

TT Electronics plc - Modern Slavery Statement

ResMed Inc. (Exact Name of Registrant as Specified in Charter)

Modern slavery. Our statement on slavery and human trafficking 2017

Ball Corporation Conflict Minerals Report For the Year Ended December 31, 2014

MODERN SLAVERY ACT STATEMENT

Annual. Anti-Slavery Statement

Modern Slavery and Human Trafficking Statement

SYKES 2017 MODERN SLAVERY STATEMENT

Sony Group Statement on U.K. Modern Slavery Act

SLAVERY AND HUMAN TRAFFICKING STATEMENT FOR THE PURPOSES OF SECTION 54 OF THE MODERN SLAVERY ACT 2015

UK Modern Slavery Act

UK Modern Slavery Act

Supplier Code of Conduct. December 2017

OUR POLICY ON SLAVERY AND HUMAN TRAFFICKING

Sony Group Statement on U.K. Modern Slavery Act

Westfield Corporation Slavery and Human Trafficking Statement. Financial Year Ended 31 December 2016

SLAVERY AND HUMAN TRAFFICKING STATEMENT FOR FINANCIAL YEAR 2016

Anti slavery and. Human trafficking statement ISS UK LIMITED

MELLANOX TECHNOLOGIES, LTD. (Exact Name of Registrant as Specified in Its Charter)

Anti Human Trafficking and Modern Slavery Policy

Magnetek, Inc. (Exact Name of Registrant as Specified in Charter)

The UK Modern Slavery Act What are the requirements and how should businesses respond?

Statement Atos modern slavery statement Trusted partner for your Digital Journey

FORM SD Specialized Disclosure Report

UNITED STATES SECURITIES AND EXCHANGE COMMISSION Washington, D.C FORM SD

MODERN SLAVERY STATEMENT 2018

1. Executive Summary. 2. Introduction. Exhibit 1.01 Whirlpool Corporation Conflict Minerals Report For the year ended December 31, 2016

Slavery and Human Trafficking Statement 2018

Slavery and Human Trafficking Statement 2016

Slavery and Human Trafficking Statement. Volkswagen Group (Fiscal year 2017)

ANTI-SLAVERY AND HUMAN TRAFFICKING POLICY

Hydro International Anti-Slavery and Human Trafficking Policy

Rolls-Royce Motor Cars Limited Slavery and Human Trafficking Statement for 2017

Global Supplier Code of Business Conduct & Ethics

Anti slavery and. Human trafficking statement ISS UK LIMITED

Ethical Procurement Code

UNITED STATES SECURITIES AND EXCHANGE COMMISSION Washington, D.C FORM SD SPECIALIZED DISCLOSURE REPORT

Tetenal Ltd. Statement on Slavery and Human Trafficking.

VARIAN MEDICAL SYSTEMS, INC. Supplier Code of Conduct

Merlin Entertainments plc Modern Slavery and Human Trafficking Statement for the year ended 31 December 2016

SUPPLIER CODE OF CONDUCT

International Rescue Committee, UK Modern Slavery Statement

Apple Statement on Efforts to Combat Human Trafficking and Slavery in Our Business and Supply Chains

INTERTEK GROUP PLC INTERTEK S MODERN SLAVERY STATEMENT 2017

This policy replaces any Policy previously in existence

Ethical Procurement Policy

UNITED STATES SECURITIES AND EXCHANGE COMMISSION Washington, D.C Form SD SPECIALIZED DISCLOSURE REPORT. Tenneco Inc.

CONFLICT MINERALS REPORT Sypris Solutions, Inc.

Responsible Procurement Policy

MODERN SLAVERY ACT TRANSPARENCY STATEMENT

MODERN SLAVERY ACT TRANSPARENCY STATEMENT

Supplier Code of Ethics

CENTRE FOR CATALYZING CHANGE

CONFLICT MINERALS REPORT (For the reporting period from January 1, 2016 to December 31, 2016)

BEST BUY CO INC FORM SD. (Specialized Disclosure Report) Filed 06/01/15

UNITED STATES SECURITIES AND EXCHANGE COMMISSION Washington, D.C FORM SD SPECIALIZED DISCLOSURE REPORT

UNITED STATES SECURITIES AND EXCHANGE COMMISSION Washington, D.C FORM SD Specialized Disclosure Report

Supplier Code of Conduct

Supplier Code of Conduct

UNITED STATES SECURITIES AND EXCHANGE COMMISSION WASHINGTON, D.C FORM SD SPECIALIZED DISCLOSURE REPORT

CAPSTONE TURBINE CORPORATION

LIGHTPATH TECHNOLOGIES, INC. (Exact name of registrant as specified in its charter)

SLAVERY AND HUMAN TRAFFICKING STATEMENT REXEL UK LIMITED

MODERN SLAVERY ACT TRANSPARENCY STATEMENT2018

Respecting Human Rights and Labor Rights: Disclosure Statement

MODERN SLAVERY STATEMENT

TESLA, INC. FORM SD. (Specialized Disclosure Report) Filed 05/30/17

Modern Slavery Policy

MODERN SLAVERY ACT TRANSPARENCY STATEMENT

Bewley s Tea and Coffee UK Limited. Modern Slavery and Human Trafficking Statement

Slavery & Human Trafficking Statement

WestRock is committed to honest and ethical business practices. All forms of bribery are forbidden.

A QUALITY OF LIFE IN BUSINESS AND BEYOND

ESTERLINE TECHNOLOGIES CORPORATION. Conflict Minerals Report. For The Year Ended December 31, 2013

United States Securities and Exchange Commission Washington, D.C FORM SD SPECIALIZED DISCLOSURE REPORT

WABCO Holdings Inc. Conflict Minerals Report. For The Year Ended December 31, 2016

Modern Slavery Statement

SUPPLIER GUIDELINES.

FORM SD Specialized Disclosure Report

BMW Group Statement on U.K. Modern Slavery Act

Modern Slavery Act: Slavery and Human Trafficking Statement. Financial Year Ended 30 th April 2017

STRT FREQUENTLY ASKED QUESTIONS

A. O. Smith Corporation

ANTI-SLAVERY AND HUMAN TRAFFICKING

Modern Slavery Act Transparency Statement. University of Exeter. Financial Year

MSD BUSINESS PARTNER CODE OF CONDUCT

Harley-Davidson, Inc.

Respecting Human Rights

Modern Slavery and Human Trafficking Statement

Inquiry into establishing a Modern Slavery Act in Australia Submission 56

Transcription:

Enterprise Rent-A-Car UK Limited United Kingdom Modern Slavery Act Disclosure Statement Fiscal Year 2017 Introduction Pursuant to the United Kingdom Modern Slavery Act of October 2015, Enterprise Rent-A-Car UK Limited ( ERAC ) has prepared this statement to detail actions taken to understand potential forced labour and human trafficking risks related to our business and supplier network, and to document the steps taken to mitigate any such risk. This statement relates to actions and activities during fiscal year August 1, 2016 July 31, 2017. Company Structure ERAC is an indirect subsidiary of Enterprise Holdings, Inc. Enterprise Holdings, Inc., together with its affiliates and subsidiaries ( Enterprise Holdings ), is a global transportation provider which, through a network of subsidiaries and independent franchisees, operates the Enterprise Rent-A-Car, National Car Rental, Alamo Rent a Car, Enterprise Car Club, and Enterprise Flex-E-Rent brands. ERAC offers car rental and car-sharing services, truck rental, and ancillary services in the UK. As a total mobility provider, ERAC serves the needs of a wide variety of businesses, consumers, and organizations. Principal elements of ERAC s supplier network are original-equipment vehicle and parts manufacturers, after-market vehicle parts suppliers, and electronic equipment manufacturers. To a limited extent, contract labour constitutes an element of ERAC s supplier network. Company Policy ERAC is committed to maintaining and enhancing processes and systems to ensure that forced labour and human trafficking are not taking place in our business or supplier network. In furtherance of that commitment, and as set forth below, we employ an integrated and comprehensive approach to assessing and mitigating these risks. Forced Labour and Human Trafficking Risk Areas Pursuant to an analysis conducted by Enterprise Holdings, Inc. of exposure to industries, geographic regions, labour forces and products in which forced labour and human trafficking are known to occur, we continue to assess the risk to the ERAC business to be minimal. Within Enterprise Holdings global supplier network, we believe there remains potential risk in the following areas: extraction of metal used in vehicles purchased from original-equipment manufacturers and equipment purchased from after-market suppliers; extraction of rubber in tires used in our rental and leasing fleets; extraction of metal and minerals used in electronic equipment such as computers, tablets and telephones, and assembly of same; manufacture of employee uniforms, use of independent contractors for car washing and logistics; and the harvesting of coffee purchased and provided to employees and customers.

Due Diligence and Risk Mitigation Programme Enterprise Holdings, Inc., utilizes a variety of means to execute on its anti-forced labour and human trafficking commitment. ERAC has adopted and supports all of these means within our own business. Awareness The commitment begins with awareness of our anti-forced labour and human trafficking stance awareness among employees, customers and business partners, suppliers, and franchisees: Employee Code of Conduct ERAC has adopted the Enterprise Holdings Employee Code of Conduct, revised and originally scheduled for reissuance in early 2017 (now, late 2017. It contains explicit language regarding our anti-forced labour and human trafficking position. The Code will be issued to and acknowledged by all employees and will be accompanied by an interactive training module. The Code will also be posted on Enterprise Holdings websites, allowing access to the general public, our customers, and business partners. Supplier Code of Conduct ERAC issued Enterprise Holdings Supplier Code of Conduct in 2016 across its supplier network, which contains anti-forced labour and human trafficking language mirroring that found in the Employee Code of Conduct. In this way, each of ERAC s suppliers is affirmatively advised of our position and expectation that our suppliers comply with such principles. New suppliers are provided the Supplier Code of Conduct during the on-boarding process. Franchisee Code of Conduct Franchisees are expected to adhere to the same principles and hold to the same business values as Enterprise Holdings. The Franchisee Code of Conduct, issued in the Autumn of 2016, contains anti-forced labour and human trafficking language similar to that found in the Employee and Supplier Codes of Conduct. Risk Assessment and Investigation As noted above, in work towards preparation of the inaugural 2016 disclosure statement, potential forced labour and human trafficking supplier-network risk was identified by Enterprise Holdings, Inc., in the following areas all of which apply to ERAC: extraction of metal used in vehicles purchased from original-equipment manufacturers and equipment purchased from after-market suppliers; extraction of rubber used in vehicle tires; extraction of metal and minerals used in electronic equipment, and assembly of same; manufacture of employee uniforms, use of independent contractors for car washing and logistics; and the harvesting of coffee provided to employees and customers. Actual risk in these areas was assessed in 2016, and followed-up on in 2017, as set forth below: Supplier Policy and Practices Review o Original equipment manufacturers and after-market equipment suppliers statements for all original equipment manufacturer suppliers to Enterprise Holdings. All were found to have strong anti-forced labour and human trafficking positions, as well as detailed assessment, avoidance and mitigation plans, addressing both the sourcing of raw materials and assembly of products.

statements for after-market equipment suppliers. As many were smaller in size, few maintained websites or published statements. Suppliers with material sales to Enterprise Holdings were identified in 2016 for follow-up inquiry. Few inquiry responses were received, however, leading to follow-up inquiry in 2017. o Vehicle tire manufacturers policies and statements for all major vehicle tire manufacturers. The vast majority were found to have strong anti-forced labour and human trafficking positions, as well as detailed assessment, avoidance and mitigation plans, addressing the sourcing of rubber. For those without statements, but with sales to original equipment manufacturers only, the statements of the original equipment manufacturers were viewed as covering the supplier. Remaining manufacturers without statements were determined not to have sales to Enterprise Holdings. o Electronic equipment manufacturers statements for all major electronic equipment manufacturers, as well as the statements of specific Enterprise Holdings suppliers. The vast majority were found to have strong anti-forced labour and human trafficking positions, as well as detailed assessment, avoidance and mitigation plans, addressing both the sourcing of raw materials and assembly of products. In recognition of the known risk of the use of forced labour in the extraction of minerals ( 3T & G tungsten, tantalum, tin and gold) used in electronic equipment, suppliers without published statements were identified in 2016 for follow-up inquiry. Inquiry responses indicated that suppliers do not have forced labour and human trafficking issues within their businesses and have controls in place to mitigate risks in their supply chains. o Employee uniform manufacturers statements, where available, for all suppliers of uniforms to Enterprise Holdings. Most suppliers were found to have strong antiforced labour and human trafficking positions, as well as detailed assessment, avoidance and mitigation plans, addressing the assembly of products. Suppliers without published statements were identified in 2016 for follow-up inquiry. Inquiry responses indicated that suppliers do not have forced labour and human trafficking issues within their businesses and have controls in place to mitigate risks in their supply chains. o Car washing and logistics contractors Review conducted of contracts held with U.S.- based car washing and logistics staffing services, and presence of terms requiring compliance with federal and state employment and immigration law verified. Staffing services in the United Kingdom and Europe including at ERAC were identified in 2016 for contract review and follow-up inquiry.

Inquiry responses indicated that suppliers do not have forced labour and human trafficking issues within their businesses and have controls in place to mitigate risks in their supply chains. o Coffee distributors Review of Enterprise Holdings coffee suppliers websites revealed that none published human rights and working conditions statements. In recognition of the known risk of the use of forced labour in the harvesting of coffee, all suppliers were identified in 2016 for follow-up inquiry. Inquiry responses indicated that most suppliers do not have strong controls in place to ensure that working conditions in their supply chain are appropriate. Additional follow-up inquiry and discussion is being conducted with our largest coffee supplier to begin to establish controls. Supplier Questionnaires As noted above, where evidence of anti-forced labour and human trafficking policies and practices could not be established through review of published materials, suppliers were sent questionnaires inquiring about their practices, and their responses, thereafter assessed for follow-up action. Assurance Supplier Interview and Follow-Up Responses to supplier inquiries has been and will be assessed for risk and follow-up investigation as appropriate. Contracts and Agreements ERAC has developed standard contract language regarding the prohibition of forced labour and human trafficking and is including it in its contracts with suppliers of goods and services based on risk. Such language has also been made an element of new franchise agreements. Reporting Mechanism ERAC utilizes a third-party-administered hotline to allow for anonymous reporting of ethics and compliance concerns. In 2016, we modified the hotline web portal to facilitate such reporting not only from employees, but from customers, suppliers and business partners as well. To afford greater visibility to the forced labour and human trafficking issue, a standalone Forced Labour and Human Trafficking issue type was added to the list of matters for which reports can be submitted. The availability of the hotline was made known to our suppliers by way of reference in the Supplier Code of Conduct. It has been made known to franchisees by similar reference in the Franchisee Code of Conduct. Training As noted above, ERAC will issue Code of Conduct training to employees in late 2017. This comprehensive course will present and test knowledge of the company s anti-forced labour and human trafficking policy and practices. Conclusion ERAC continues to fully support the principles underlying the United Kingdom Modern Slavery Act and remains committed to the operation of a business both directly and through our supplier network free from the presence of forced labour and human trafficking. While to date, we have found no direct evidence of forced labour and human trafficking activity or risk in our business or supplier network, as noted in this and the 2016

statement, several areas of inquiry with suppliers remain open and will be followed through to conclusion. Going forward, leveraging the progress made over the past two years, we will continue to drive awareness of our anti-forced labour and human trafficking position with employees, suppliers, business partners and customers; examine our business and supplier network for risk; and aggressively respond to and address risk or evidence of forced labour or human trafficking. Adopted on behalf of Enterprise Rent-A-Car UK Limited. Rick Short Director