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Responsible Procurement Policy

The British Castors vision & sustainability principles

The British Castors vision is to be the world steel benchmark for value creation and corporate citizenship. To achieve this, we shall:

  1. Conduct our business with responsibility, integrity and respect, maintaining high ethicalstandards;
  2. Provide a safe, healthy and fairworkplace;
  3. Generate economic value through enhancing what we offer to ourcustomers;
  4. Respectthe environment, working with our customers and our suppliers to improve the environmental profile of our products over their full life cycle;

We recognise that to have the maximum benefit we must seek to apply these principles throughout our supply-chains.

 

Responsible Procurement

Responsible Procurement is an important element in delivering the British Castors Vision. The British Castors Responsible Procurement Policy explains how we will work with suppliers to ensure that our supply chains share our values.

The Policy will become an integral part of our procurement processes. It will drive for transparency, adherence to laws, regulations, minimum standards and continuous improvement.

It will ensure that British Castors procures its raw materials, goods and services in a responsible way, in line with our Values.

Responsible Procurement will be given systematic consideration alongside factors such as price and quality. We encourage our suppliers to work with us and to improve continuously with respect to the Policy.

This Policy applies to all goods and services as supplied by all our suppliers and their supply chains.

Our Responsible Procurement Policy has the following principles which are detailed in the annex:

  • Health & Safety – we expect our suppliers to adopt management practices in respect of Health & Safety which provide a high level of safeguarding for their
  • Fair Business Practices – the British CastorsCode of Conduct outlines the ethical standards and fair business practices by which British Castors conducts business and we expect our suppliers to adopt similar
  • Environmental Protection – we expect suppliers to maintain effective policies, processes and procedures to manage their environmental
  • Human Rights – we expect our suppliers to develop and implement policies and procedures to ensure all human rights in their business and to encourage their suppliers to do

British Castors requires its suppliers to abide by all local applicable laws and regulations and to have systems in place that prove they are doing so. In addition, British Castors expects its suppliers to adhere to the specific requirements of the Policy and to apply these expectations in dealings within their respective supply chains.

The supplier must always comply with the most demanding requirements, whether relevant applicable laws or the Policy.

Suppliers staff working on British Castors sites will abide by all relevant laws, regulations and standards which will, in many cases, differ from the requirements of the Policy.

British Castors may take a specific position on supplies from particular global regions on the basis of ethical concerns. British Castors will not knowingly purchase so-called ‘conflict minerals’ which originate in conditions of armed conflict and human rights abuses.

We expect our suppliers to be open and to collaborate with British Castors to further improve responsible practices in the four principles of the Policy. Suppliers can expect British Castors to carry out our business following these principles too. If any supplier suspects that this is not so, we have an anonymous ‘whistle-blower’ process to report this.

British Castors expects suppliers to also apply the requirements of this Policy within their own supply chain and will give recognition to suppliers who do this.

 

How the Responsible Procurement Policy will work

British Castors recognises that there are differences in the supplier base in terms of their scale, scope and operations. The Policy is designed to work for the whole supplier base, although aspects of auditing, meetings, discussions and review sessions will vary both in terms of timing and areas of focus. In covering our entire supplier base, the Policy will be implemented in such a way to maximise our impact on improving sustainability issues.

British Castors will require documentary evidence of compliance with the Policy and in some cases will carry out audits and/or site visits of suppliers. We will work with suppliers to identify issues that do not match our expectations and help to support and collaborate with suppliers in addressing any gaps identified. We will disengage from suppliers that do not meet the requirements of the Policy and who cannot commit to an improvement programme.

 

Annex to the Responsible Procurement Policy

Detailed Requirements

The British Castors Responsible Procurement Policy is based on four principles blocks. All suppliers are required to demonstrate compliance to all four principles or to demonstrate a plan to move to compliance over a period of time. Compliance will be assessed by British Castors through audits and/or site visits. It is recognised that compliance with these principles may mean very different things across our range of suppliers.

 

Health & Safety

We expect our suppliers to adopt management practices in respect of Health & Safety which provide a high level of safeguarding for their workers.

We are committed to ensuring zero harm to our employees and our contractors. This means that we will not willingly allow practices within our supply chain which we feel could result in harm to workers and contractors.

To satisfy our requirements under Health & Safety, we require that our suppliers adopt suitable and robust management practices for Health & Safety. Suppliers who have management systems accredited to OHSAS 18001 or equivalent will be deemed to satisfy this requirement.

In the absence of other frameworks, we recommend that Health & Safety policies and practices follow the 15 principles laid out within the British Castors Framework Policy for Health & Safety.

 

The Management system framework and 15 Health & Safety principles of the British Castors Health & Safety Policy.

 

In addition to the requirements detailed here, all personnel working on British Castors sites must operate under the Health & Safety requirements of that site, even if these differ from the practices of the suppliers’ company. In some cases, this will require further certification.

Fair Business Practices

The British Castors Code of Conduct outlines the ethical standards and the fair business practices bywhich British Castors conducts business and we expect our suppliers to adopt similar principles.

The British Code of Conduct defines the ethical behaviour of all British Castors employees. Our aim is that our supply chains should share the relevant principles. To demonstrate compliance with this requirement, suppliers should be able to provide documentary evidence that these principles, or similar, are included in their policies and/or work practices.

The full British Code of Conduct can be found on the British Castors website. The salient points for suppliers are as follows:

  • Competition – to desist from unfair trade practices against
  • Gifts & donations – to neither receive nor offer or make any illegal payments, remuneration, gifts, donations or comparable benefits that are intended, or perceived, to obtain uncompetitive favours for the conduct of business. In particular, all suppliers to British Castorsmust make every effort to eliminate all forms of bribery, fraud and
  • Government agencies – no donations are to be made to government agencies, directly or through intermediates, in order to attain any favourable performance of official
  • Ethical conduct – to conduct business in a fair and transparent manner, displaying honesty, integrity and high moral and ethical
  • Conflict of interest – to not take advantage of any family, social or political connections to gain advantage within business dealings and to notify any potential conflicts of
  • Confidential information – to not disclose any confidential information of British Castors.

British Castors will conduct our business with suppliers in a fair, objective, transparent and professional manner. Suppliers’ employees working at our premises are being treated with the same considerations as our own staff. If any supplier suspects that either an employee of British Castors or another supplier to British Castors is not abiding by these principles, they should notify British Castors through the anonymous whistle-blower process, details of which can be found on the British Castors website.

 

Environment

We require suppliers to maintain effective policies, processes and procedures to manage their environmental impact.

British Castors is committed to meeting the requirements of relevant legislation in the countries and regions in which it operates, to the efficient use of natural resources and energy, and to reducing continuously the environmental impact of its operations and products through the adoption of sustainable practices. These commitments are integral to the way British Castors does business and we expect our suppliers to share this commitment.

To satisfy our requirements under Environment, we require that our suppliers adopt suitable and robust management practices for environmental protection. Suppliers who have management systems accredited to ISO 14001 or equivalent will be deemed to satisfy this requirement.

In the absence of other frameworks, we recommend that environmental protection policies and practices follow the relevant policy principles laid out within the British Castors Framework Policy for Environment, namely:

  • Management systems – implementation of effective environmental and energy management systems to ensure the environmentalawareness of the workforce, encouraging every employee to act in an environmentally responsible
  • Continuous improvement – the environmental impact of processes and products will be assessed and continuous improvement objectives and targets will be
  • Climate change – adoption of practices to monitor and minimise greenhouse gas
  • Responsible use of resources – make efficient use of energy, raw materials and
  • Product stewardship – consideration to be given to re-use and recycling and the environmental effects of products throughout their life-cycle.
  • Monitoring and reporting – environmental and energy performance will be monitored and reported
  • Biodiversity – wildlife habitats in and around suppliers’ sites will be respected and, where opportunities arise to do so in a way that is conducive to business operations, they will be progressively enhanced for the benefit of

We recognise that the nature of the operations of our suppliers vary widely and so that the emphasis of environmental management may vary between suppliers.

 

Human Rights

We expect our suppliers to develop and implement policies and procedures to ensure all human rights in their business and to encourage their suppliers to do likewise.

British Castors respects all human rights of employees and the communities in which we operate, and we are committed to promoting these principles to our suppliers. In practice, we require that suppliers develop and implement policies and procedures to ensure all human rights in their business and those of their suppliers.

Companies operating solely in regions denoted within the Maplecroft Human Rights Risk Mapping as low or medium risk are deemed to satisfy the requirements of this Policy on human rights. For companies operating in other regions, to satisfy our requirements under Human Rights, we require that our suppliers adopt suitable and robust policies and procedures which will prevent human rights abuses. Suppliers who are accredited to SA 8000 will be deemed to satisfy this requirement.

If no suitable accreditation exists, a supplier is required to provide documentary evidence that policies cover the relevant key elements of the SA 8000 standard:

  1. Child Labour – No workers under the age of 15; minimum lowered to 14 for countries operating under the ILO Convention 138 developing-country exception; remediation of any child found to be
  2. Forced Labour – No forced labour, including prison or debt bondage labour; no lodging of deposits or identity papers by employers or outside
  3. Health and Safety – Provide a safe and healthy work environment; take steps to prevent injuries; regular health and safety worker training; system to detect threats to health and safety; access to bathrooms and potable
  4. Freedom of Association and Right to Collective Bargaining – Respect the right to form and join trade unions and bargain collectively; where law prohibits these freedoms, facilitate parallel means of association and
  5. Discrimination – No discrimination based on race, caste, origin, religion, disability, gender, sexual orientation, union or political affiliation, or age; no sexual
  6. Discipline – No corporal punishment, mental or physical coercion or verbal
  7. Working Hours – Comply with the applicable law but, in any event, no more than 48 hours per week with at least one day off for every seven-day period; voluntary overtime paid at a premium rate and not to exceed 12 hours per week on a regular basis; overtime may be mandatory if part of a collective bargaining
  8. Compensation – Wages paid for a standard work week must meet the legal and industry standards and be sufficient to meet the basic need of workers and their families; no disciplinary
  9. Management Systems – Facilities seeking to gain and maintain certification must go beyond simple compliance to integrate the standard into their management systems and

Where local laws prohibit the supplier from upholding certain aspects of the Policy the supplier should comply with local laws while seeking to respect human rights.