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Posted: 15/12/2020
In September 2020, the Government published the response to its consultation on transparency in supply chains, promising new measures to toughen up the requirements under the Modern Slavery Act 2015 (MSA). We explore below what these changes will mean for those operating in the social housing sector.
Modern slavery may not seem immediately visible here in the UK. However, the pandemic and recent scandals such as those involving the garment industry in Leicester and County Lines show that it’s very much prevalent in our society. Furthermore, some people anticipate that Brexit could lead to increased instances of modern slavery in the UK.
Modern slavery is defined as the recruitment, movement, harbouring or receiving of children, women or men through the use of force, coercion, abuse of vulnerability, deception or other means for the purpose of exploitation. A modern slave may be paid, though at a low rate, or may not have control of their own travel or finances.
Most commonly, people are trafficked into forced labour in industries such as agriculture, construction, hospitality, manufacturing and cash payment services such as car washes. Victims can also be trafficked for sexual exploitation or domestic slavery, or forced into crimes such as cannabis production or begging.
As a brief reminder, section 54 of the MSA introduced a requirement for large businesses to report on modern slavery risks in their operations and supply chains. The reporting requirements apply to all organisations that:
Organisations that are caught by the requirements must publish an anti-modern slavery and human trafficking statement prominently on their website setting out the steps they have taken to ensure that slavery and human trafficking is not taking place anywhere in their business, including their supply chains.
However, in light of criticisms that the current regime "lacks teeth", especially when compared to requirements that have been introduced to tackle modern slavery and human trafficking outside of the UK, the Government now plans to strengthen the current regime as follows:
Before several of these changes can be implemented, the Government will need to make legislative changes, after which it intends to publish new guidance. In the meantime, it will be updating the existing guidance to help organisations prepare. The timescales for this are currently unclear and we will provide a further update in due course.
Housing associations should already be taking measures to address modern slavery risks and concerns through their procurement processes. This includes scrutiny of suppliers and ensuring they have appropriate contractual provisions in place to terminate if modern slavery risks are identified.
Relevant staff should also be trained at identifying and reporting modern slavery and human trafficking risks, both in relation to supply chains and more generally in relation to residents and the wider community. Warning signs of modern slavery could include evidence of restricted freedoms, overcrowded or substandard accommodation, lack of control over finances, workers looking unkempt, anxious or showing signs of abuse, distrust in authorities and poor working conditions.
We have compiled a short list of actions you can start taking now to prepare for these changes, including:
For public sector bodies, this will be a whole new reporting obligation, but we expect guidance to be published soon to help them meet the new requirements.
We can provide further training and advice on what best practice looks like to ensure compliance with anti-modern slavery and human trafficking requirements.