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Introduction
This statement, made pursuant to section 54(1) of the Modern Slavery Act 2015, sets out
Clynxx's
actions to understand all potential modern slavery risks related to its business and to put in place
steps that are aimed at ensuring that there is no slavery or human trafficking in its own business
and its supply chains. This statement relates to actions and activities during the current financial
year.
As part of the healthcare sector, Clynxx recognises that it has a responsibility to take a robust
approach to slavery and human trafficking. Clynxx is absolutely committed to preventing slavery and
human trafficking in its corporate activities, and ensuring that those in its supply chains, and
contractors, are free from slavery and human trafficking and comply with our values.
Risk Assessment Process
On an annual basis, Clynxx evaluates the business risks, comprising country risks,
sector risks,
transaction risks and business partnerships, to determine whether or not particular activities
or countries are high risk in relation to slavery or human trafficking. Any risks identified
from the above process will be prioritised and dealt with in accordance with the due diligence
section below.
High-risk activities
Clynxx does not believe it has any particular activities or is involved with any
countries
which are high risk in relation to slavery or human trafficking.
Responsibility
Responsibility for Clynxx's anti-slavery initiatives is as follows:
Overall: Clynxx Executive Team
Policies: People Team
Risk assessment, Due diligence and Training: Chief Governance & Quality
Officer
Relevant policies
Clynxx operates the following policies 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:
Whistleblowing policy: Clynxx encourages all its staff, clients and
other
business partners to report any concerns related to the direct activities, or
the supply chains of, Clynxx. This includes any circumstances that may give rise
to an enhanced risk of slavery or human trafficking. Clynxx’s whistleblowing
procedure is designed to make it easy for staff to make disclosures, without
fear of retaliation. Employees, clients or others who have concerns can complete
our confidential disclosure form.
Employee code of conduct: Clynxx’s code makes clear to employees the
actions and
behaviour expected of them when representing Clynxx. Clynxx strives to maintain
the highest standards of employee conduct and ethical behaviour when operating
abroad and managing its supply chain.
Environmental Management System: It is part of Clynxx’s on-going
commitment to
reduce the impact the company has on the environment by checking and monitoring
suppliers and contractors standards through a third party questionnaire. This
process of checking supplier standards can be expanded to include Human
Trafficking and slavery checks to increase knowledge and confidence when dealing
with suppliers and contractors.
Quality Management System: The Quality Policy sets out Clynxx’s
commitment to
high quality practices, including a collaborative partnership approach to
working with our key suppliers. Our commitment to this approach allows us to
have confidence in our suppliers’ commitment to preventing slavery and human
trafficking in their operations, and those of their suppliers.
Sustainability and Environmental Management Policy: We strive to
incorporate
wider aspects of sustainability, beyond environmental aspects, and details
Clynxx’s approach to sustainability. Clynxx recognises that sustainable
practices are good for business, good for our commissioners and purchasers, and
good for the localities and communities within which we operate. Sustainability
must be an integral part of our operations, ensuring that we consider the wider
impact of our business operations and decisions. This contributes to a
sustainable future recognising that we need to meet the needs of the present
without compromising the future.
Due diligence
Clynxx has committed to undertaking due diligence when considering
taking on new
suppliers, and regularly reviews its existing suppliers. Clynxx's due diligence
and reviews will include:
Broadly considering suppliers to assess particular product or
geographical
risks of modern slavery and human trafficking;
When engaging a new frequent supplier as part of contract
negotiations/tender processes, enquire if they are a business that is
required to have a Modern Slavery and Human Trafficking Statement, and what
policies they have in place;
Evaluating the modern slavery and human trafficking risks of
each new
supplier;
Where we identify high risk areas, explore those suppliers in
greater
detail;
Taking steps to improve substandard suppliers’ practices,
including
providing advice to suppliers and requiring them to implement action plans;
Where a potential frequent supplier is unwilling to provide
statements, or
complete a questionnaire on the matter, we will consider if we commence that
business relationship;
Where a potential frequent supplier is unwilling to provide
statements, or
complete a questionnaire on the matter, we will consider if we commence that
business relationship;
Ensuring contractual controls are in place with suppliers in
relation to
complying with Modern Slavery legislation.
Performance indicators
In order to assess the effectiveness of our approach to
modern slavery
Clynxx will be reviewing on an annual basis the following areas:
Staff awareness
Reviewing existing supply chains; and
Developing a new suppliers’ evaluation process.
Awareness-raising programme
Clynxx will raise awareness of modern slavery issues via our intranet,
explaining:
The basic principles of the Modern Slavery Act 2015;
How employers can identify and prevent slavery and human
trafficking;
What employees can do to flag up potential slavery or
human
trafficking issues to the relevant parties within the Company;
and
What external help is available.