Modern Slavery Act Statement by Breville Group Limited & Subsidiaries

Modern Slavery Act Statement by Breville Group Limited & Subsidiaries

We fully support the goals of modern slavery laws, such as the Australia Modern Slavery Act 2018 (Commonwealth), U.K. Modern Slavery Act 2015, and California Transparency in Supply Chain Act 2010.  We seek always to exemplify fair human rights and labour practices around the globe.  Our Code of Conduct for our employees and Ethical Sourcing Policy for our suppliers underpin our culture.

This statement describes the steps we are taking in an effort to combat the risks of slavery and human trafficking in our supply chain.

Corporate Structure

Breville Group Limited is headquartered in Sydney, Australia and operates through direct and indirect subsidiaries in Australia, New Zealand, North America, Europe and Asia. We actively manage a number of consumer electrical appliance brands, with a core focus in the small kitchen appliances segment.  We own or have rights to the Breville, Sage, Kambrook, Ronson, PolyScience, Aquaport, and ChefSteps brands and have a license agreement with Nestle Nespresso SA for the distribution of Breville co-branded Nespresso portioned (capsule system based) espresso machines in a number of global markets.

Our Supply Chains and Distribution Channels

Our supply chain and distribution channels include:

·         Procurement of products, parts, supplies and services from suppliers located in multiple geographies, currently predominantly China.

·         Manufacturing of products sold under our tradenames and trademarks by third-party manufacturers located in multiple geographies, currently predominantly China.

·         Warehousing and distribution from strategically located third party facilities around the globe.

·         A direct sales force, and third party distributors and channels, retained to distribute and sell products.

Our Approach to Preventing Slavery and Human Trafficking

We are committed to maintaining business operations, including our supply chain, that do not use or rely on modern slavery or human trafficking and to acting ethically and with integrity, and to implementing and enforcing effective systems and controls in an effort to prevent slavery and human trafficking in our supply chain.

Employee Accountability Standards: We hold our employees accountable under our Code of Conduct, our human resources policies and applicable laws. Our Code of Conduct contains a section entitled "Respect for Human Rights and Prohibition of Modern Slavery and Human Trafficking," where we state that we "embrace the fundamental principles espoused in the United Nations' Guiding Principles on Business and Human Rights as a framework for implementing respect for human rights and comply with all applicable modern slavery and human trafficking laws." Subject to the requirements of local law, any employee found to have engaged in slave labour or human trafficking acts will be subject to disciplinary proceedings.

Supply Chain Accountability Standards:

·         Ethical Sourcing Policy: Our strategic suppliers are required to adhere to our Ethical Sourcing Policy ("Policy"), to conform to its standards and provisions and to apply the Policy to their own suppliers engaged in the production of goods for us. As stated in our Policy, we require that, as a condition of doing business with us:

o   Suppliers agree not to engage in any form of human trafficking or slavery. We provide suppliers with guidance of acceptable management practices for evaluating and addressing risks of human trafficking in their own supply chain including not using forced or involuntary labour of any type or illegal child labour.  All employment must be voluntary and legal. 

o   Suppliers comply with all applicable wage and hour laws and regulations including those relating to minimum wages, overtime hours, piece rates and other elements of compensation and provide legally mandated benefits.

o   Suppliers treat all employees with respect and not use corporal punishment, threats of violence or other forms of physical coercion or harassment.

o   Suppliers seek to provide their personnel with safe and healthy working environments.

·         Risk-based assessments and audits: We expressly reserve the right to verify a supplier's compliance with the Policy through audits or on-site inspections in order to evaluate a supplier's compliance with our Policy and other supplier standards. Such audits or inspections can be carried out by us or by a third party at our request. From time to time our staff have conducted audits of our key suppliers' operations and facilities for a broad range of standards including, but not limited to, quality, environmental, human resources and security standards and operations. We periodically conduct a risk assessment, based on a geographical location, to determine status and risk in our supplier base and include a review of compliance with modern slavery and human traffic laws. These audits are arranged in advance with the cooperation of the supplier and typically consist of interviews with supplier management and facility inspections.

·         Responsibility of Suppliers: We require our suppliers to comply with our Ethical Sourcing Policy through our contracts and/or policy requirements. In addition, we require our contract manufacturers to ensure that their supply chains adhere to the same standards. Our suppliers are responsible for ensuring that the manufacture, supply and distribution of our products comply with laws, including laws regarding slavery and human trafficking, of the countries in which the suppliers are doing business. A supplier's failure to comply with our Policy may result in remediation including, without limitation, a discontinuity of our relationship, depending on the nature and severity of the non-compliance.  A supplier's use of slave labour or engagement in human trafficking will be considered a material violation of our Policy which may result in termination.

Company Employee and Management Training:  Employees receive training on our Code of Conduct, which requires employee compliance with applicable laws and our policies. Management and relevant employees in our supply chain and procurement functions receive training and information on slavery and human trafficking laws and best practices in risk identification, mitigation and prevention.

We are committed to the highest standards of conduct throughout our global supply chain. On a regular basis, we review and update our policies and procedures to ensure that our high standards are upheld and to guard against the mistreatment of anyone in our supply chain.

Objectives:  We seek to comply, in general, with the standards manifested by the Australia Modern Slavery Act 2018 (Commonwealth), U.K. Modern Slavery Act 2015, and California Transparency in Supply Chain Act 2010, irrespective of when and whether such Acts may apply by law to our operations.  The general objectives of such Acts are aligned with the way that we manage our business and supply chain, and with the principles espoused by our Board of Directors of fairness and humane treatment of all individuals around the world involved in the production and distribution of our products.

Rev 2019.10.22