Modern Slavery Statement
This statement sets out the Company’s actions aimed at taking measures to prevent slavery or human trafficking in its business and supply chain. The Company is committed to improving its practices to combat slavery and human trafficking. This statement is made pursuant to section 54(1) of the Modern Slavery Act 2015 (the “Act”) and constitutes the Company’s slavery and human trafficking statement in relation to its actions and activities during the financial year 1 January 2016 to 31 December 2016.
Organisational structure and business
DigitasLBi is a modern, data-inspired agency. In fact, we are the only agency to bring together experts in brand, content, commerce, CRM and media on a global scale.
Our modern, global workforce of over 6,700 includes industry-leading creatives in each region, working with data, technology and media experts to demonstrate what can be achieved when hard data meets imagination.
Our global team includes over 500 data scientists analysing behavioural data to discover what counts the most. All our people, whether they are poets or scientists, are dedicated to using that to make a place for brands in the busy lives of the people they want to connect with.
In short, we make brands count.
Through our media, technology, creative and strategic offering, our UK team delivers against four core propositions to make brands count; housing their own approach, expertise and quality standards.
- Platforms and Applications
- Content and Campaigns
These are all powered by the data team, capable of helping our clients wrestle their own data as well as data available to buy or collect, into a clear understanding of what will count most, and how. The Company’s ultimate parent company is Publicis Groupe S.A a French incorporated listed entity (the “Groupe”).
Our Supply Chains
The Company’s supply chains include I.T and other office equipment, professional services, office cleaning and other office facilities services. We are based in the UK as are the majority of our suppliers and our supply chain is low risk and non-complex in structure.
Our policies on slavery and human trafficking
Our position on slavery and human trafficking is clear as we have current long established policies, processes and practices in place to prevent this within our business operations and supply chains. We continuously look at ways to enhance these processes and we currently undertake the following measures:
It is now our policy to require all of our suppliers to adhere with our suppliers code of conduct (the “Code”) which amongst other governance and compliance obligations made reference to in the Act, sets out the minimum behaviours, standards and practices we expect to see from our suppliers and amongst other obligations prohibits forced labour, discrimination and child labour, ensures supplier working conditions are safe and that workers are treated with respect and dignity with the aim of preventing slavery and human trafficking taking place anywhere in our supply chains or business operations. The Code is published on our external website and all new suppliers are required to read and acknowledge this as part of the on-boarding process
Our Purchase Order Terms and Conditions and Global Supplier Agreements contract terms require all our suppliers and vendors to comply with all applicable law and have recently been updated to include compliance with the Act.
We practice responsible procurement. Contracts signed with major suppliers central or regional are encouraged to mobilize in favour of human rights through our internal ‘CSR Procurement Charter’ and ‘CSR Procurement Questionnaire’ which are sent to all suppliers during the tendering process.
Suppliers are also sent CSR Procurement guidelines and their actions and commitment to CSR is tracked through our internal platform known as EcoVadis and only suppliers who have conducted the self-assessment may progress to the next step which is the selection process. Our major suppliers are encouraged to join the EcoVadis platform which amongst other things carries out an audit to assess suppliers corporate social responsibility standards including health and safety, environment, ethics etc. so that we can measure and monitor the suppliers progress and achievements with our compliance policies.
We fully comply with all UK employment laws and have internal HR policies in place to prevent slavery and human trafficking included in the employee handbook which is circulated to all employees and covers recruitment, health & safety, harassment, anti-bribery, equal opportunities and diversity.
Our employees have access to a confidential whistleblowing process for raising concerns and we continue to increase awareness amongst employees through training on issues relating to slavery and human trafficking so that they may report any concerns as they arise. Since the Act came in to force, we have drafted a Modern Slavery policy which has been circulated to all employees and is communicated to all new joiners during the induction process.
The Groupe has been a signatory of the Global Compact 10 Principles of the United Nations since 2003 which includes protecting universal human rights and the elimination of all forms of forced and compulsory labour and child labour. The Groupe is committed to ensuring these principles are observed and this is highlighted in the its code of conduct, a defined set of internal policies, procedures and processes framework (known as JANUS) which sets out the compliance and governance processes applicable to all its global subsidiaries including the Company that help to prevent slavery and human trafficking and promote human rights. Janus is distributed to all employees and is also available on the intranet.
Risk Assessment and Due Diligence
With the introduction of the Act, we assessed our supply chain for potential areas of increased risk of slavery and human trafficking. As part of our initiative to identify and mitigate the risk of slavery and human trafficking in our supply chains, we conducted a review of all our major suppliers and identified those in high risk areas.
We ask all our existing and new suppliers to complete a self-assessment questionnaire detailing any action, procedures, policies and practices carried out by their organisation to prevent slavery and human trafficking. All suppliers must agree to adhere to the Code, a copy which is attached to the questionnaire and they are also required to annually certify a declaration form confirming understanding and compliance with the Code and the Act.
High risk suppliers will get a more detailed review of their questionnaires to identify areas of concern that may conflict with our Code or the Act, better understand the risk, provide feedback and agree steps to put in place to improve their processes. High risk suppliers that will receive special attention include companies that operate using temporary low skilled workers, operate outside the UK or EEA and/or manufacture or trade in raw materials outside the UK or EEA.
We continually assess our compliance with the Act through the mechanisms of an annual internal audit carried out by our procurement, internal audit and HR teams.
We will periodically review the effectiveness of our processes and systems and any changes will be reflected in future annual statements.
This statement has been approved by the board of directors of the Company.
For and on behalf of
Digitas LBi Limited