Labour Policy
FRAMAR FORCED/CHILD LABOUR POLICY
Forced/Child Labour Prevention
Framar International is committed to upholding ethical standards in all aspects of its operations, including the manufacturing processes of its products. The Customer hereby warrants and represents that it shall not engage in or support any form of Forced/Child labor within its supply chain. The Customer requires all manufacturers and suppliers to adhere to the following principles:
No Forced/Child Labour: Manufacturers/Suppliers shall not engage in work or service which is exacted from any person under the menace of any penalty for its nonperformance and for which the worker does not offer work or service voluntarily. This includes forced or indentured child labour. Manufacturers/suppliers shall not employ any person under the legal minimum age for employment in their country.
Safe Working Conditions: Manufacturers and suppliers shall provide a safe and healthy working environment for all employees, free from hazards and risks that may cause harm.
Fair Compensation: Manufacturers and suppliers shall provide employees with fair wages and benefits that meet or exceed legal requirements.
Compliance with Laws: Manufacturers and suppliers shall comply with all applicable laws and regulations regarding forced and child labor, including but not limited to the International Labor Organization (ILO) conventions and local labor laws.
PUBLIC SAFETY COMMISSION
REPORT ON CHILD AND FORCED LABOUR IN THE CANADIAN SUPPLY CHAIN
FOR FRAMAR INTERNATIONAL, INC.
This report is provided in accordance with Bill – S211 and provides the information as requested on Framar’s Child and Forced Labour policies for financial year 2023. We have expanded the scope of our Program for 2024 and this information has also been included in our report.
Legal Name |
Framar International Inc |
---|---|
Financial Report Year |
2023 |
Business Number |
886764315 |
Joint Report/Other Jurisdictions |
Not Applicable |
Entity Categorization |
Canadian Presence and Meets Size Related Thresholds |
Sector/Industry |
Wholesale/Retail Trade |
Location |
7873 Blackburn Parkway, Niagara Falls, Ontario – L2H 0A6 |
In reference to Subsection 11(1) of the Act for the year 2023 our Employee Culture Handbook in 2023 (Attachment 1) included a clear directive to our staff relating to Forced and Child Labour, this has been further expanded, as well as a standalone document in 2024.
Our Company is Incorporated, and the organization structure is detailed on (Attachment II). Our organizational mandate is to be the logical choice in supplying hair tools and essentials to salon professionals, while maintaining our core values of integrity, quality, innovation, and excellence while building strong communities.
Our Company employs twenty-six employees in Canada. We are a standalone entity which distributes goods to distributors and professional consumers around the world through our Head Office in Canada and two 3PLs in Holland and China.
Our Supply Chain begins with goods being manufactured in China, India, Malayasia, United States and Canada. Framar purchases the goods from the manufacturer or distributor in China, India, Malayasia, United States and Canada and where required imports to our Canadian location or one of our 3PL’s in the Netherlands or China. Orders are received from Distributors and/or Clients directly and the orders are subsequently fulfilled from the closest location and then delivered to our clients around the world.
As a family owned and managed company, we are diligent in all aspects of our business. We can investigate/react immediately to any potential problems throughout our supply chain, as there is no complex chain of command.
We are aware there is Forced Labour in the countries where our goods are manufactured, for this reason Framar has implemented new procedures/processes in 2024 to address this issue within our Supply Chain. As this report is to be based on our previous fiscal year of 2023 and as reflected in the responses to the Questionnaire Framar did not have processes/procedures in place to address Forced and/or Child Labour, other than the section in our Code of Conduct Company Culture. We have implemented processes/procedures in 2024 to address this issue in our Supply Chain. For your reference we have provided our Forced and Child Labour Procedure (Attachment #III). Our report for Year 2024 will reflect these changes.
ATTESTATION:
In accordance with the requirements of the Act, and in particular section 11 thereof, I attest that I have reviewed the information contained in the report for the entity or entities listed above. Based on my knowledge, and having exercised reasonable diligence, I attest that the information in the report is true, accurate and complete in all material respects for the purposes of the Act, for the reporting year listed above.
Full Name: Maria Gallo
Title: President
Date: May 14, 2024
Signature:
, As President I have the authority to bind Framar International