GN Store Nord
ESRS disclosure: ESRS S2 \ DR S2-1 \ Paragraph 18
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- Does the undertaking's policy concerning value chain workers explicitly address issues of trafficking in human beings, forced or compulsory labour, and child labour? Additionally, does the undertaking maintain a supplier code of conduct?
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Question Id: S2-1_05
The policy states our human rights policy commitments on value chain workers specifically addressing respect for human rights, including labor rights, of workers and the abolition of child labor, as well as other forms of forced labor. It also covers GN’s commitment to prevent child or forced labor in any of our own or our business partners’ operations. GN’s Supplier Code of Conduct, also covers all 9 IROs identified under this topic. It was updated in 2023 to align with industry best practices set out by the Responsible Business Alliance (RBA) and covers our engagements with all suppliers and business relationships for activities in our upstream, own operations, and downstream.
Report Date: 4Q2024Relevance: 95%
- Does the undertaking's policy concerning value chain workers explicitly address issues such as trafficking in human beings, forced or compulsory labor, and child labor? Additionally, does the undertaking have a supplier code of conduct?
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Question Id: S2-1_06
The policy states our human rights policy commitments on value chain workers specifically addressing respect for human rights, including labor rights, of workers and the abolition of child labor, as well as other forms of forced labor. It also covers GN’s commitment to prevent child or forced labor in any of our own or our business partners’ operations. GN’s Supplier Code of Conduct, also covers all 9 IROs identified under this topic. It was updated in 2023 to align with industry best practices set out by the Responsible Business Alliance (RBA) and covers our engagements with all suppliers and business relationships for activities in our upstream, own operations, and downstream.
Report Date: 4Q2024Relevance: 95%
- Does the undertaking disclose the process for setting targets related to managing material negative impacts, advancing positive impacts, and managing material risks and opportunities, specifically detailing whether and how it engaged directly with workers in the value chain, their legitimate representatives, or credible proxies with insight into their situation? Additionally, does the undertaking provide information on the accessibility of third-party mechanisms, such as those operated by the government, NGOs, industry associations, and other collaborative initiatives, to all workers who may be potentially or actually materially impacted, or to individuals or organizations acting on their behalf or who are otherwise in a position to be aware of negative impacts?
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Question Id: S2-3_10
We have defined a process for setting targets relating to human rights due diligence, but we have not engaged directly with value chain workers, their legitimate representatives, or credible proxies, in setting them, nor in tracking the performance, or in identifying lessons or improvement as a result of our performance.
Report Date: 4Q2024Relevance: 50%