Swarovski AG

Swarovski AG

Metrics Value

MSA Identification of risks

2017 = No /Geographic,Industry,Resource,In Development,No,Workforce

MSA statement homepage link

2017 = Yes /Yes,No

MSA whistleblowing mechanism for supply chain workers

2015 = No /Hotline,Whistleblower protection,Focal Point,In Development,No

MSA training (revised)

2017 = Procurement / purchasing, Suppliers /Procurement / purchasing,Recruitment / HR,Leadership,Suppliers,Employees (all),Training provided - not specified,In Development,No

MSA Performance Indicators

2015 = No /Yes,In Development,No

MSA Business Performance Indicators

2015 = No /Yes,In Development,No

MSA policy (revised)

2016 = Suppliers comply with laws and company’s policies (direct / tier 1), Suppliers comply with laws and company’s policies (beyond tier 1), Prohibit use of forced labour (direct / tier 1), Contracts include clauses on forced labour (direct / tier 1) /Suppliers comply with laws and company’s policies (direct / tier 1),Suppliers comply with laws and company’s policies (beyond tier 1),Prohibit use of forced labour (direct / tier 1),Prohibit use of forced labour (beyond tier 1),Code of conduct or supplier code includes clauses on slavery and human trafficking (direct / tier 1),Code of conduct or supplier code includes clauses on slavery and human trafficking (beyond tier 1),Contracts include clauses on forced labour (direct / tier 1),Contracts include clauses on forced labour (beyond tier 1),Suppliers produce their own statement (direct / tier 1),Suppliers produce their own statement (beyond tier 1),In Development (direct / tier 1),In Development (beyond tier 1),No,Suppliers respect labour rights (wages, freedom of association etc) (direct / tier 1),Suppliers respect labour rights (wages, freedom of association etc) (beyond tier 1),Prohibit charging of recruitment fees to employee (direct / tier 1),Prohibit charging of recruitment fees to employee (beyond tier 1),Prohibit use of child labour (direct / tier 1),Prohibit use of child labour (beyond tier 1),Suppliers protect migrant workers (direct / tier 1),Suppliers protect migrant workers (beyond tier 1)

MSA policy applies to beyond tier 1 supply chain

2017 = Suppliers comply with laws and company’s policies /Suppliers comply with laws and company’s policies,Prohibit use of forced labour,Code of conduct or supplier code includes clauses on slavery and human trafficking,Contracts include clauses on forced labour,Suppliers produce their own statement,In Development,No

MSA risk management (revised)

2017 = Audits of suppliers (self- reporting), Audits of suppliers (independent) /Audits of suppliers (self- reporting),Audits of suppliers (independent),On-site visits (self- reporting),On-site visits (independent),In Development,No

MSA risk assessment

2017 = No /Risk-based questionnaires,Use of risk management tool or software,Conducting research,In Development,No

MSA incidents identified

2017 = No /Yes,No

MSA incidents remediation (revised)

2017 = Cancel contracts /Senior management,Corrective action plan,Cancel contracts,In Development,No,Worker remediation

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Country of Headquarters
Country of Incorporation

Integrations

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