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Modern Slavery Statement 2022-23

This Modern Slavery Statement has been published by The Dandara Group for the financial year 2023. In accordance with the Modern Slavery Act 2015 (the Act), this Statement sets out the steps taken by The Dandara Group to understand likely potential modern slavery risks related to our business and to prevent modern slavery and human trafficking in our business and supply chain.

The scope covers activities of the Group within the jurisdiction of the UK, the Isle of Man and Jersey.

Introduction to The Dandara Group

The Dandara Group, founded in 1987 includes a portfolio that spans the residential and commercial sectors, across the for sale and rental markets. In the years since the company began, we have developed and delivered thousands of homes and won numerous industry awards. We operate in the Isle of Man, Jersey and across the UK. Our workforce is made up of permanent and temporary, office and site-based roles employed both directly by the companies within The Dandara Group and via our supply chain partners.

At the time of writing, we directly employ 1,005 people within the Dandara Group. In addition, we use the services of Labour Supply Agencies to supply labour, trades and logistics and site services personnel as required across our sites. Furthermore, we have a diverse sub-contractor labour force, supporting over hundreds of sub-contractor companies across our divisions, including groundworkers, housebuilding trades and security personnel.

Due to a range of different contracts that those working with and for us are on, we work with our supply chain partners to ensure that our due diligence extends beyond the first tier of the recruitment process. We apply appropriate employment practices and policies for each jurisdiction we work in and uphold high quality labour standards across the Group.

The following Statement sets out the steps we have taken so far in 2022–23 and what we plan to do during 2023–24 to advance our objectives around preventing modern slavery and human trafficking. It has been reviewed and approved by Steven Hannah, Director.

Key Policies

The Dandara Group of companies have developed a suite of policies, procedures and commitments that support and respond to our compliance and governance requirements. Where appropriate, these are signed by the Chief Executive of each respective company and available on the relevant website(s). This Modern Slavery Statement forms part of this suite of documents.

Our Commitments outline the expected compliance requirements for workers’ welfare and conditions of employment and are reviewed annually. Our onboarding and procurement processes are aligned with these commitments and thus our supply chain partners are required to abide by this suite of documents as appropriate within each jurisdiction.

Due Diligence

Within the Dandara Group, due diligence is carried out to prevent modern slavery & human trafficking. We have recently set up a working group, bringing together senior individuals from departments / jurisdictions within the businesses. Individuals from Human Resources (HR), Health, Safety & Environment (HSE), Commercial, Compliance, Construction, Procurement, Legal and Environmental Social & Governance (ESG) have met to discuss and review our current approach to preventing modern slavery within the Dandara Group.

Recruitment & Labour Supply

At the very start of the recruitment process, the HR and Recruitment teams carry out due diligence upfront as part of the pre-start employment process for those under the direct employment of the Dandara Group.

In relation to construction site personnel employed through Labour Supply Agencies, recruitment companies or subcontractors as well as those employed directly in the UK by the Dandara Group, all construction site personnel are required to carry up to date Construction Skills Certification Scheme (CSCS) Card in the UK or if in Jersey, complete the required Jersey Safety Awareness Training (JSAT). As well as helping to confirm identity and right to work status, these cards demonstrate a level of competence amongst personnel to safely perform a specific job. Once on site, personnel undergo a Site Induction, which includes the topic of Modern Slavery.

In relation to the recruitment of site / short term workers, in general, the Dandara Group work with several labour supply agencies. We require our labour supply agencies to ensure that staff: are legally able to work within the jurisdictions where we operate; have written employment contracts; and have not had to pay for the opportunity to work. The labour supply agencies subject employees to checks to ensure they are genuine applicants including verification checks. The agencies also operate a supplier / subcontractor verification process which as well as the normal checks also include due diligence and a review of the controls undertaken by the supplier / subcontractor. In the Isle of Man and Jersey, these checks are carried out by our in-house team.

During 2023, our approach to the Pre-Qualification Process (PQQ) across some of the Dandara Group was updated. As part of this revised approach, labour supply agencies are required to complete the PQQ process including a section on Modern Slavery. Our sub-contractors must also go through the PQQ Process and need to respond directly to questions on preventing of Modern Slavery.

In addition, we have recently commenced a review of the labour supply agencies and recruitment companies that we work with to ensure that they carry out their own checks in relation to reducing the risks associated with Modern Slavery.

Procurement

The Dandara Group spends a significant proportion of revenue within our supply chain, through the procurement of goods and or services from our supply chain partners. Our supply chain is an integral part of our operations, and our success and reputation are linked to their performance and ethics. Our supply chain partners range from large global companies to small and medium businesses and social enterprises. The Dandara Group has developed strong, long-term relationships with many of these partners.

We understand that construction is a high-risk sector in relation to modern slavery due to complex supply chains and labour practices and we are committed to preventing slavery and human trafficking within our activities and those of our supply chain.

For our construction sites, our onsite suppliers are required to go through the PQQ Process which aims to reduce the risk of modern slavery occurring on our sites. Volume suppliers (paper, sundries, consumables, cleaning products suppliers etc) are currently being reviewed with the aim of being included in a future version of the PQQ process.

This Statement is published on our website(s) and will be issued in electronic format to suppliers as part of the onboarding process of new suppliers.

Training and Awareness

All new direct employees that are office and site-based will attend an induction event where the topic of modern slavery is covered along with the response requirements should anyone suspect modern slavery. Existing staff have been recently mandated to complete a modern slavery e-learning module that will enable them to:

  • increase awareness.
  • inform participants how to spot the signs and
  • give participant guidance on what to do in a suspected case of modern slavery.

All sub-contractors and site personnel must go through a site induction process before working on our sites. This site induction includes the topic of modern slavery and attendees must sign that they have understood the process relating to modern slavery and human trafficking.

The HSE Team include a module on Modern Slavery as part of their Toolbox Talks series and the HSE team include modern slavery Information Bulletins as part of their updates to sites.

Risk Management & Mitigation

We know that key activities, such as the procurement of materials, and the use of subcontractors and labour agencies, increase the risk of modern slavery occurring within the construction industry. To mitigate this risk, we state to stakeholders that The Dandara Group we have a zero-tolerance approach to modern slavery and will not work with supply chain partners or source materials from those who do not make efforts to reduce modern slavery risks associated with their own business and supply chain. In addition, we ensure that risks of modern slavery are covered within our PQQ and Onboarding processes. The established Working Group will also help ensure a more comprehensive approach to due diligence and risk mitigation across different jurisdictions and departments.

The following outlines the identified risks and how Dandara proposed to manage and mitigate these risks.

Category: Material Suppliers

Risks:

  • Using suppliers from high-risk countries / locations with poor labour laws.

Mitigation:

To mitigate risk, Dandara Housebuilding and Dandara Living carry out modern slavery compliance checks at the pre-qualification stage and during on-boarding process.

In FY 2024, the Dandara Housebuilding procurement team identified that solar photovoltaics (PV) supplied from ‘high-risk countries’ represent a significant ethical risk in terms of modern slavery.

The team therefore carried out an in-depth review of our solar PV supply chain. They determined that:

  • A lack of transparency exists within PV supply chains, with complex commercial and shareholder arrangements;
  • Concerns were raised about forced labour in regions where component materials are sourced;
  • Severe limitations were placed on the activities of PV audit companies when auditing suppliers, making it difficult to get an accurate understanding of activities on the ground.

The Dandara Housebuilding procurement team reviewed several manufacturers in the marketplace and a decision was made by Dandara Housebuilding to work with a single PV provider. This PV provider demonstrated the most extensive auditing process to help reduce the risks of modern slavery occurring within the supply chain tiers.

The chosen provider is the only PV manufacturer to have audited their Tier 1 to 4 suppliers against regional and national risks. Over 50% of their Tier 5 supply chain has been visited in 2024 and they intend to complete the rest of visits in 2025, alongside Tier 6 and Tier 7 audits. They are also signatories of the Solar Stewardship Initiative (SSI) – a pan-European industry collaboration to increase transparency in the sector.

Category: Labour Agencies

Risks:

  • Labour supply agencies not completing checks properly.

Mitigation:

In the UK, in 2023, our PQQ Process was updated. All Labour Supply Agencies must now respond to specific questions on how they are reducing the risk of modern slavery.

Over the last year, we held several audit meetings organised with several of our labour supply chain agencies, who were chosen on an arbitrary basis.

The audits examined:

  • Anti-slavery and human trafficking policies in place;
  • Associated training of in-house teams;
  • Process for identification of risk areas within supply chain;
  • Performance indicators; and
  • Sanction & remediation processes.

The key findings from the audits demonstrated that the labour supply agencies:

  • Had good practice checks in place to reduce risk of modern slavery;
  • Carry out their own in-house reviews / internal audits on modern slavery / right to work compliance requirements;
  • Some have a dedicated in-house compliance team;
  • Typically, don’t engage with gangs;
  • Carry out imposter checks;
  • Ensure regular payroll checks;
  • Ensure individuals are met in person and verified by some agencies.

Following the audits, the ESG team were confident that the agencies have stringent processes that help reduce the risk of modern slavery to the business.

To further reduce any potential remaining risk, we engaged with a RPO who were appointed in early September 2025 to manage the labour supply agencies and further ensure compliance in relation to modern slavery.

Category: Subcontractors

Risks:

  • Subcontractors outsourcing works and or procuring materials indirectly.
  • Subcontractors not completing checks properly.
  • Increased construction price of materials placing increased pressure to reduce costs where possible.

Mitigation:

Our subcontractors are required to follow modern slavery legislation.

We ensure that all sub-contracts in the UK include an electronic copy of our latest Modern Slavery Statement or reference to the Statement on our website. We require our subcontractors to:

  • Ensure they have a written contract of employment between them and their employees; and
  • Confirm that their employees have not had to pay any direct or indirect fees to obtain work.

Over the coming year we will ensure that all sub-contracts in Isle of Man and Jersey also refer to the Dandara Modern Slavery Statement.

During FY2024, after this category was raised as a risk item, audit meetings organised by the ESG team were held with several of our Groundworker Subcontractors. Those audited were chosen on an arbitrary basis.

The audits examined what processes and procedures the Groundworkers had in relation to modern slavery including:

  • Anti-slavery and human trafficking policies;
  • Training of site teams;
  • Process for identification of risk areas;
  • Use of gangs;
  • Sanction & remediation processes.

The key findings from the audits demonstrated that the Groundworker Subcontractors were aware of modern slavery risks and typically:

  • Larger Groundworker Subcontractors had policies and statements in place as well as procedures for carrying out checks;
  • Smaller contractors identified that they needed support in helping their staff to spot the signs and modern slavery training.

Since these audits, we have carried out more toolbox training on sites to support smaller subcontractors.

Over the next year, we will focus on improving clauses in our contracts related to outsourcing and procuring goods indirectly.

Targets and Next Steps set in Q2 2023

We have evaluated and understand the risks of modern slavery within The Dandara Group and within our supply chain. However, we understand the need to continue to review our processes and procedures and those of our supply chain on a regular basis to enable us to better spot the signs of exploitation.

Embed Modern Slavery Working Group

Set up quarterly meetings.

Review Training and Induction Content for office- and site-based staff

HR team to lead on ensuring modern slavery induction and training requirements for office-based staff are appropriate.

HSE and ESG teams to lead on-site training. Resources will be again shared with site teams.

Communications

Site Teams: information will continue to be provided via the HSE teams on prevention aims & how to report suspected modern slavery.

Office-based staff: information will be provided via the ESG teams on prevention aims & how to report suspected modern slavery.

Develop a Supply Chain Charter

Dandara Group will develop a Supply Chain Charter through working with supply chain to acknowledge the significance of social, environmental and ethical matters. This will include working towards improving & mitigating risk within modern slavery.

Site Audits

Our HSE teams will include ‘spot the signs’ checks during their monthly site audits across the UK. We will establish a plan for rollout of similar checks in Jersey and the Isle of Man.

Material Suppliers

Over the next year, the ESG team will identify high-risk countries and work with the Procurement team to cross reference with goods supplied from these countries and identify a pathway to reduce reliance on these countries where possible and appropriate.

The business will consider the option to extend contracts with the above-mentioned PV manufacturer across the rest of the business in FY25.

Subcontractors

We will continue to ensure that our subcontractors are required to comply with Modern Slavery legislation. The business will aim to identify the best way to reduce the risk of modern slavery in outsourced works and through the procurement of materials indirectly.

Key Performance Indicators

From 2023 / 24, we will measure our work on modern slavery against more Key Performance Indicators (KPIs). These are likely to include:

  1. HSE Team to develop Vulnerable Persons procedure to assist teams in their understanding of risk and processes. Requirements will be communicated to all site teams. KPI: Number of sites to receive notice of this new procedure.
  2. Modern Slavery Site Audits: aim to carry out audits across sites. KPI: Number of audits completed.
  3. Due Diligence Checks of Labour Supply Agencies and subcontractors: aim to ensure Agencies and Contractors are carrying out their own due diligence around modern slavery risks. KPI: Number of checks carried out.

Raising Concerns

There are several ways we encourage those who work with and for us to raise their concerns, based on the level of seriousness. These have been communicated to our colleagues via our intranet and information bulletins across sites within The Dandara Group.

The process includes:

  • Immediate safeguarding concerns should be reported to the police on 999.
  • Where modern slavery is suspected but there are no immediate safeguarding concerns, parties should report via the whistleblowing phone number or email address. (Specific contact details have been provided on the intranet & information bulletin issued to sites at the release of this Statement).
  • Alternatively, concerns can be reported to the Gangmasters and Labour Abuse Authority via 0800 432 0804 .

Closing Remarks

This statement is made and published in accordance with Section 54 of the UK Modern Slavery Act 2015 and constitutes The Dandara Group’s Modern Slavery and Human Trafficking Statement for the financial year 2023. The content was agreed by the Modern Slavery Working Group and approved by the boards will be reviewed and updated within 6 months of the financial year end in 2024.

Steven Hannah
Finance Director

July 2023

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