To RH Marine and Bakker Sliedrecht, Corporate Social Responsibility (CSR) is core business. Through our technological services, we can address the challenges of today and tomorrow. Challenges
related to energy, waste, water treatment, traffic and food supply. We also help our clients meet their sustainability targets with technology that improves society.
To achieve this, we have formulated objectives and activities relating not only to our services, but also to our own business operations and processes. However, we cannot do this alone. As a independent system integrator, we are part of a supply chain. A supply chain that is becoming increasingly complex with a network of national and international suppliers, service providers and subcontractors (all to be called Suppliers).
In this Code of Sustainable Supply, we have identified our ambitions when it comes to CSR. Together with our Suppliers, we believe in the sustainable quality of our technological services which can provide a contribution to a better world. That’s why we trust that we can rely on your support. Suppliers are expected to maximally comply with the Code of Sustainable Supply. This enables RH Marine and Bakker Sliedrecht to ensure that social responsibility principles are well applied throughout the supply chain of products and services. Obviously, RH Marine and Bakker Sliedrecht are willing to work with Suppliers and support them to achieve compliance with this Code. As our Suppliers are generally not at the beginning of the supply chain, RH Marine and Bakker Sliedrecht expects them to translate the ambition set forth in this document to their suppliers as well.
Kind regards,
Hugo Loudon
Managing Director RH Marine & Bakker Sliedrecht
RH Marine and Bakker Sliedrecht do not accept any form of forced labour. All work will be voluntary and employees shall be free to leave upon reasonable notice. It is not acceptable that employees are required to pay a deposit in order to be able to work or that employees are required to lodge identification documents with the employer upon commencing employment. It is also not acceptable to withhold a person’s salary, benefits, property or documents.
Child labour is not to be used in any stage of the supply chain. The term ‘child‘ refers to any person under the age of 15 (or 14 where the law of the country permits, or under the age for completing compulsory education, or under the minimum age for employment in the country, whichever is greatest). Supplier can apply legitimate workplace apprenticeship programs, which comply with the Convention on the Rights of the Child, the ILO Minimum Age Convention (C.138-1973) or the Prohibition and Immediate Elimination of the Worst Forms of Child Labour Convention (C.182-1999). Employees under the age of 18 shall not perform work that is likely to jeopardize the health or safety of young employees.
Supplier‘s workweeks are not to exceed applicable legal limits. Further, a workweek shall not be more than 60 hours per week, including overtime, except in emergency or unusual situations. In countries where the maximum workweek is less, national laws and benchmark industry standards will apply, whichever offers greater protection. Employees may refuse overtime without any threat of penalty, punishment or dismissal. Supplier will provide employees with all legally mandated leave, including maternity leave, paternity leave, compassionate leave and annual leave.
Salaries and other benefits shall be paid to employees in compliance with all applicable local wage laws, including those relating to minimum wages, overtime hours and legally mandated benefits. In compliance with local laws, employees shall be compensated for overtime at pay rates greater than regular hourly rates. The basis on which employees are being paid is to be provided in a timely manner and communicated via pay stub or similar documentation.
The Supplier’s disciplinary policies and procedures shall be clearly defined and communicated to employees. In these policies it has to be stated there is to be no harsh and inhumane treatment, including sexual harassment, sexual abuse, corporal punishment, mental or physical coercion or verbal abuse of employees: nor is there to be the threat of any such treatment.
There is to be no discrimination based on race, colour, age, gender, sexual orientation, ethnicity, disability, religion, political affiliation, union membership or marital status in hiring and employment practices such as promotions, rewards, and access to training. Employees with disabilities will be provided reasonable job accommodations as needed to perform their job function. This has to be demonstrated in a clear policy, which is communicated to employees.
Supplier’s employees, without distinction, have the right to join or form trade unions of their own choosing and to bargain collectively on their behalf. Employees representatives are not discriminated against and have access to carry out their representative functions in the workplace. They shall also enjoy adequate protection against acts of anti-union discrimination in respect of their employment. Where the right to freedom of association and collective bargaining is restricted under law, the Supplier facilitates, and does not hinder, the development of parallel means for independent and free association and bargaining.
Worker exposure to potential safety hazards (e.g., electrical and other energy sources, fire, vehicles, and fall hazards) are to be controlled through proper design, engineering and administrative controls, preventative maintenance and safe work procedures (including lockout/tagout), and ongoing safety training. Where hazards cannot be adequately controlled by these means, employees are to be provided with appropriate, well-maintained, personal protective equipment. At least, Supplier has to fully comply with local law. Employees shall not be disciplined for raising safety concerns.
The Supplier shall establish and maintain procedures to identify potential for and respond to accidents and emergency situations, and for preventing and mitigating the environmental impacts that may be associated with them. The Supplier shall review and revise, where necessary, its emergency preparedness and response procedures, in particular, after the occurrence of accidents or emergency situations. The organization shall also periodically test such procedures where practicable. RH Marine and Bakker Sliedrecht will be granted insight into established procedures at its request.
Procedures and systems are to be in place to prevent, manage, track and report occupational injury and illness, including provisions to:
Worker exposure to chemical, biological and physical agents is to be timely identified, evaluated and controlled. Appropriate measures must be taken to control overexposures. When hazards cannot be
adequately controlled by such means, worker health is to be protected by appropriate personal protective equipment programs.
Worker exposure to the hazards of physically demanding tasks, including manual material handling and heavy or repetitive lifting, prolonged standing and highly repetitive or forceful assembly tasks is to be
identified, evaluated and controlled.
Supplier’s production and other machinery is to be evaluated for safety hazards at least once a year. The Supplier shall timely correct deficiencies. Corrective actions shall be taken with the intention of resolving the issue, followed up to ensure their effectiveness. Physical guards, interlocks and barriers are to be provided and properly maintained where machinery presents an injury hazard to employees.
Employees are to be provided with ready access to clean toilet facilities, potable water and sanitary food preparation, storage, and eating facilities. Worker dormitories provided by the Supplier are to be maintained clean and safe, and provided with appropriate emergency exits, hot water for bathing and showering, and adequate heat and ventilation and reasonable personal space along with reasonable entry and exit privileges.
All required environmental permits (e.g. discharge monitoring), approvals and registrations are to be obtained, maintained and kept current. Their operational and reporting requirements are to be followed. RH Marine’s and Bakker Sliedrecht’s preference is to report in accordance with the GRI guidelines.
Supplier will make continual progress toward eliminating and reducing waste of all types, including water and energy, at the source or by practices such as modifying production, maintenance and facility processes, materials substitution, conservation, recycling and re-using materials. Supplier will make continual progress toward using green energy at least showing that the share of renewable energy versus fossil energy is significantly increasing. All policies, actions, measurements, performance indicators, reports and results regarding these policies shall be available on RH Marine’s or Bakker Sliedrecht’s request.
Chemical and other materials posing a hazard if released to the environment are to be identified and managed to ensure their safe handling, movement, storage, use, recycling or reuse and disposal.
Wastewater and solid waste generated from operations, industrial processes and sanitation facilities are to be characterized, monitored, controlled and treated as required prior to discharge or disposal.
Supplier shall measure its CO2 footprint and report this, on request, to RH Marine or Bakker Sliedrecht on a yearly basis. This report includes a plan for reduction.
Supplier is to adhere to all applicable laws, regulations and customer requirements regarding prohibition or restriction of specific substances, including labelling for recycling and disposal.
Supplier possesses or is demonstrably busy developing corporate social and environmental responsibility policy statements affirming Supplier’s commitment to compliance and continual improvement, endorsed by executive management.
Supplier clearly identifies (a) company representative(s) responsible for ensuring implementation of the management systems and associated programs. Senior management shall review the status of the
management system on a regular basis. A member of the board of the Supplier shall be responsible for Corporate Social Responsibility.
The management system shall contain identification, monitoring and understanding of applicable laws, regulations and customer requirements.
The Supplier will regularly identify hazards and assess risks associated with its activities. The Supplier shall timely take appropriate action to manage the risks and hence prevent or reduce the
impact of potential accidents or incidents. These corrective actions need to be taken with the intention of resolving the issue, followed up to ensure their effectiveness and must reflect the scope of the gravity of the problems involved.
Supplier’s management system shall include written performance objectives, targets and implementation plans to improve the Supplier’s social and environmental performance, including a periodic assessment of Supplier’s performance in achieving those objectives.
Supplier needs to provide their employees with adequate education and training about environmental issue regarding its primary processes, waste management systems, health and safety issues.
Supplier’s management system shall contain a process for communicating clear and accurate information about Supplier’s policies, practices, expectations and performance to workers, its own suppliers and customers.
The management system should contain on-going processes to assess employees’ understanding of and obtain feedback on practices and conditions covered by this Code and to foster continuous improvement.
Supplier shall conduct periodic self-evaluations to ensure conformity to legal and regulatory requirements, the content of the Code and customer contractual requirements related to social and environmental responsibility.
Supplier shall create and maintain documents and records to ensure regulatory compliance and conformity with appropriate confidentiality to protect privacy.
Fair competition is very important for RH Marine and Bakker Sliedrecht. The highest standards of integrity are to be expected in all business interactions. RH Marine and Bakker Sliedrecht do not accept any form of corruption, extortion or embezzlement. Supplier hereby fully adheres to all applicable competition and antibribery laws and regulations and rejects amongst others price fixing and market sharing arrangements.
Bribes or other means of obtaining undue or improper advantage are not to be offered or accepted.
Means to effectively safeguard customer information regarding business activities, structure, financial situation, performance, and/or any other information deemed confidential shall be disclosed only in
accordance with the guidelines specified within any agreed upon non-disclosure agreement between Supplier and RH Marine or Bakker Sliedrecht and within the guidelines of all applicable laws and regulations.
Supplier shall have a policy not to use intellectual property, such as copyrights, trademarks, patents or software belonging to customers, without explicit permission. Also, Supplier will refuse to acquire
commercial information by dishonest or unethical means, such as industrial espionage.
Supplier shall have programs in place that ensure the confidentiality and protection of whistle blowers. A whistle blower is defined as any person who makes a disclosure about improper conduct by an employee or officer of a company, or by a public official or official body.
Summarizing the previous sections, RH Marine or Bakker Sliedrecht can request information on:
The following standards were used in preparing this Code and may be a useful source of additional
information.
EICC (Electronic Industry Citizenship Coalition)
www.eicc.info
Convention on the Rights of the Childs
www2.ohchr.org/english/law/pdf/crc.pdf
ILO Minimum Age Convention (C.138-1973)
www.ilo.org/ilolex/cgi-lex/convde.pl?C138
ILO Prohibition and Immediate Elimination of the Worst Forms of Child Labour Convention
www.ilo.org/ilolex/cgi-lex/convde.pl?C182
GRI guidelines
www.globalreporting.org