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This statement sets out the steps taken by Funkin Limited to ensure that our business and supply chain are free from slavery and human trafficking. This statement covers Funkin Limited's financial year ended 30 January 2022.
Summary
We are committed to ensuring that we supply high quality products that are sourced and manufactured in a fair, ethical and environmentally responsible way. We have a zero tolerance approach to modern slavery of any kind within our operations and supply chain. Our workers are encouraged to report any concerns they may have and management are required to act upon them.
We have taken and will continue to take a number of steps to ensure that slavery and human trafficking do not take place in any part of our business or supply chain. We are proud of the steps we have taken to date which include:
Our business
At our core, we are a branded soft drinks business operating in the food and drink sector. We also operate within the cocktail mixer market through our Funkin brand. We are a business operating across the UK and with a growing international presence. We have around 900 employees and operate from 10 locations in the UK.
Our supply chain
Our supply chain is global and includes over 40 direct material suppliers across the UK, Western Europe, Southeast Asia and South America. We buy from these suppliers on a direct basis and also through UK based supply agencies. In addition, we have several hundred indirect material and service providers.
Our policies on slavery and human trafficking
We operate a Supplier Code of Conduct that reflects our commitment to acting ethically and with integrity in all our business relationships. Our Supplier Code of Conduct is an important part of our framework for controlling slavery and human trafficking risk. It sets out our standards in relation to our suppliers’ treatment of workers, child labour, legal compliance, discrimination and health & safety. We monitor and measure supplier compliance with our Supplier Code of Conduct through our supplier approval and audit processes.
Last year, we updated our supplier on-boarding processes to make our Supplier Code of Conduct a mandatory trading requirement with our new direct suppliers.
Our policy on employee whistle-blowing
We operate a Speaking Up Policy which allows our employees to confidentially raise concerns about the activities of the company on a wide range of areas, including any failure of the company to comply with any legal obligation. Employees who raise concerns in good faith under the policy are protected from repercussions.
Due diligence processes for slavery and human trafficking
We understand the risk of modern slavery taking place in our supply chain. We take a risk-based approach to our selection of suppliers and ethical trading is an important part of our risk assessment processes. In order to identify, monitor and mitigate the risk of slavery and human trafficking taking place within our supply chain we take the following steps:
Training
Our Procurement team are qualified to understand the importance of ethical trading and the risks of modern slavery and human trafficking.
This statement is made in line with the requirements of section 54(1) of the Modern Slavery Act 2015 and was approved by the A.G. Barr p.l.c. board of directors on 27 May 2022.