California Transparency in Supply Chains Act of 2010
4Over, LLC. ("4over") recognizes the importance of making efforts to ensure that its supply chain is free of any products of forced labor, child labor, human trafficking and/or slavery. In addition to compliance with current U.S. and individual state laws regarding labor practices, 4over is also required to comply with the California Transparency in Supply chains Act of 2010 (SB657), which requires manufacturers and retailers to disclose their efforts, if any, to track forced labor and human trafficking in their supply chains. The information contained below relates to 4over’s obligations under this law.
4over primarily operates in the United States with one plant located in Toronto Canada. Almost all of 4over’s products are manufactured in the United States and as such are subject to either U.S. or Canadian laws and regulations regarding among other things forced labor and human trafficking.
Under section 1714.13 of the California Civil Code, manufacturers are requested to post disclosures in five specific categories:
- Verification of product supply chains to evaluate the potential for products of forced labor, child labor, human trafficking and slavery to be present in its direct supply chain. 4over does not presently follow a formal policy for verification to evaluate its products;
- Audits of suppliers to evaluate supplier compliance with company standards for prohibiting trafficking and slavery in supply chains. 4over conducts informal inspections or observations on occasion but does not presently follow a formal policy for auditing suppliers with respect to supplier compliance however if 4over became aware of any credible indicator of potential trafficking or forced labor on the part of a direct supplier, 4over would conduct an unannounced audit;
- Certification for suppliers in writing that materials incorporated into their products comply with the laws regarding forced labor, child labor, human trafficking and slavery in the country or countries where they do business. 4over generally requires its contract suppliers to comply with all applicable laws and regulations in the country or countries they do business in but does not presently follow a formal policy for independent certification by suppliers;
- Maintaining internal accountability standards and procedures for employees or contractors failing to meet company standards regarding avoidance of forced labor, child labor, human trafficking and slavery. 4 does not presently follow a formal policy of internal accountability for employees or contractors; and
- Providing company employees and management, who have direct responsibility for supply chain management, training on forced labor, child labor, human trafficking and slavery, particularly with respect to mitigating risks within the supply chain of products. 4over does not presently follow a formal policy related to such issues but does require all of its employees to act ethically and comply with all federal and local laws in the conducting of the business of the company.