This statement is made pursuant to section 54 of the Modern Slavery Act 2015 and sets out the steps that RNIB has taken and is continuing to take to ensure modern slavery or human trafficking is not taking place within our operations and supply chain during the financial year ending 31 March 2018.
The statement applies to RNIB and the following subsidiary organisations:
RNIB acknowledges its duty to notify the Secretary of State of any individual encountered in England and Wales who it believes is a suspected victim of slavery or human trafficking.
RNIB is committed to respect human rights as laid out in the International Bill of Human Rights and the UK Modern Slavery Act 2015. RNIB has a zero-tolerance approach to Modern Slavery of any kind within our operations and supply chain. We will not appoint or work with any supplier who cannot demonstrate the same high level of commitment to this Act that RNIB applies, and we fully support the investigation and reporting of any supplier found to be in breach of our policy and approach to anti-slavery and human trafficking.
As one of the UK’s leading sight loss charities and the largest community of blind and partially sighted people, employing c.1800 people, and supported by c.5000 volunteers we provide support and advice to blind and partially sighted people in the UK. With a turnover of around £120 million, we provide a wide range of diverse goods and services sourced through our global supply chain. RNIB fully supports the Modern Slavery Act and takes its role in ensuring that its supply chain is assessed and thoroughly checked to ensure compliance.
We procure under the Code of Ethics of the Chartered Institute of Purchasing & Supply. Suppliers of goods and services to RNIB must comply with legislation, regulation and standards relating to the relevant industry, including for example, child and forced labour, health and safety of workers, non-discrimination, employment law, human rights, fraud, bribery and corruption. We ensure that all our suppliers adhere to our Anti-Slavery and Human Trafficking policy and our Supplier Code of Conduct.
If we find evidence of a failure to comply with our policies, or a breach of this Code of Conduct, we will in the first instance try to work with them to improve standards and employee welfare. However, we reserve the right to terminate an arrangement with any supplier immediately for appropriate transgressions or where there is no willingness to make the necessary improvements.
As part of our risk-based approach to anti-slavery and human trafficking, RNIB undertakes due diligence when considering taking on new suppliers and regularly reviews its existing suppliers. The organisation’s due diligence includes:
RNIB has in place the following policies and procedures that describe its approach to the identification of modern slavery risks and steps to be taken to prevent slavery and human trafficking in its operations:
RNIB representatives are required to familiarise themselves with this statement, our supplier code of conduct and our Modern Slavery and Human Trafficking policy. Specific training on eradicating slave labour or human trafficking is available to relevant members of staff on Ethics & Anti-Slavery approach to our supply chain. Any queries or questions must be directed to the procurement team who will be happy to assist.
This statement was approved on 27 March 2019 by the RNIB Board who will review and update it annually.
Interim Chief Executive, RNIB
Date: 27 March 2019