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Modern Slavery Policy

1. Policy

a. To ensure that everyone at Swift Care Services Ltd is aware of the Modern Slavery and Human Trafficking Policy and Procedure and the procedures in place to identify, respond appropriately and report in line with local and national guidance. This policy refers to adults who may be at risk, the procedure for children is detailed in the Child Protection Policy and Procedure.

 

b. This policy must be read alongside: Swift Care Services will ensure that staff understand Local Authorities safeguarding reporting procedures and that these procedures are communicated to all staff. Other policies that relate to Modern Slavery and Human Trafficking include but are not limited to the following – Whistleblowing Policy and Procedure, Child Protection Policy and Procedure, Safer Recruitment Policy and Procedure, and the Right to Work Checks Policy and Procedure

 

c. To support Swift Care Services in meeting the Key Lines of Enquiry.

 

d. To meet the legal requirements of the regulated activities that Swift Care Services Ltd is registered to provide:

  • The Modern Slavery Act 2015
  • Health and Safety at Work etc. Act 1974
  • Human Rights Act 1998
  • The Health and Social Care Act 2008 (Regulated Activities) (Amendment) Regulations 2012

 

2. Scope

 

a. The following roles may be affected by this policy:

  • All staff
  • Registered Manager
  • Other management

 

b. The following Service Users may be affected by this policy:

  • Service Users or persons we support

 

c. The following stakeholders may be affected by this policy:

  • Commissioners
  • Local Authority

 

3. Objectives

a. To promote awareness of concerns surrounding slavery and human trafficking and promote the commitment of Swift Care Services in addressing slavery and human trafficking in all its forms. An annual statement will be produced, where applicable.

 

b. To ensure that identification, protection, care, and support for victims of modern slavery and human trafficking is at the heart of our safeguarding procedures at Swift Care Services.

 

4. Policy

a. Modern slavery is a crime and a violation of fundamental human rights. It takes various forms, such as slavery, servitude, forced and compulsory labour, and human trafficking, all of which include the deprivation of a person’s liberty by another in order to exploit them for personal or commercial gain.

 

b. Swift Care Services has a zero-tolerance approach to modern slavery within the business and supply chains and we are committed to acting ethically and with integrity in all our dealings and relationships. We will implement and enforce effective systems and controls to ensure that modern slavery is not taking place anywhere in Swift Care Services or within any third parties (agencies) that we are associated with.

c. All staff will be made aware of the issues surrounding slavery and human trafficking, whilst being encouraged and supported to report any concerns to Swift Care Services. Swift Care Services will also support any staff that may be subject to slavery or human trafficking.

 

d. Where modern slavery or human trafficking is identified, Swift Care Services will share information with the Local Authority Safeguarding Team to safeguard the individual from harm with the objective of preventing future situations from arising and promoting the elimination of routes and sources of slavery or human trafficking.

 

e. All line managers are responsible for ensuring that those reporting directly to them comply with the provisions of this policy in the day-to-day performance of their roles.

 

f. All employees who suspect any members of the workplace being a victims of modern slavery must notify their line manager.

 

g. Swift Care Services will take steps to ensure that sufficient communication and employee awareness training is undertaken with regard to Modern Slavery.

 

h. All employees will be made aware of our Whistleblowing Policy and Procedure at Swift Care Services. The purpose of this policy and the associated procedure is to enable Swift Care Services to thoroughly investigate allegations of any wrongdoing raised by employees within Swift Care without fear of reprisal.

 

i. Swift Care Services will use this policy to underpin and inform any statement on slavery and human trafficking that we may be required to produce to meet the requirements of Section 54 of the Modern Slavery Act 2015 (MSA).

 

5. Procedure

 

a. Reporting Modern Slavery and Human Trafficking Concerns

The following procedure must take place where there are any concerns that someone is a victim of modern slavery or human trafficking. Swift Care Services must ensure that staff are aware that victims of modern slavery or trafficking will often not self-identify. Many will present with a different issue.

  • A concern is identified -This could be the person we support as a victim or perpetrator, or the person we support informs us of a concern they have.
  • If an individual is, or a group of people are, at immediate risk of danger or harm, the police must be immediately notified on 999.
  • The staff member must discuss this with their line manager (where appropriate).
  • The line manager must immediately contact and escalate the concern to the Local Authority Safeguarding Children/Adults Team.
  • A notification is made to the CQC via the provider portal.

 

b. Safer Recruitment
All staff engaged with providing services at Swift Care Services will be subject to thorough and rigorous recruitment procedures that will include a DBS check, identity check, confirmation of validity to work in the UK, employment history, suitability for the role, and references. This will minimise the chance of employing a person that has been or is subject to, slavery or human trafficking. Swift Care Services Ltd will follow PR16 – Right to Work Checks Policy and Procedure to ensure that a robust and fair process is followed at all times.

 

c. Where necessary, Swift Care Services will only use staff provided by third-party organisations that are either registered with the regulator or who can confirm that the staff being supplied are free to work in the UK and meet all the requirements for the role being provided for.

 

d. Training
All staff will undertake training on Modern Slavery and Human Trafficking. This will ensure that they are aware of the indicators of modern slavery which include:

  • Individuals are not being paid for the work they undertake.
  • Individuals being held in debt bondage (being told they “Still” owe money after having paid off a previous debt).
  • An individual’s passport being held by their “employer” in order to keep the individual at work.
  • Multiple benefit claimants having their benefits paid into the same account.
  • An individual not having the freedom of movement (i.e. passport being taken).
  • Clear exploitation of an individual by another for financial or sexual gain
  • Shows signs of physical or psychological abuse, looks malnourished or unkempt, anxious/agitated or appears withdrawn and neglected. They may have untreated injuries
  • Rarely be allowed to travel on their own, seem under the control, the influence of others, and rarely interact or appear unfamiliar with their neighbourhood or where they work.
  • Relationships which do not seem right – for example, a young teenager appearing to be the boyfriend/girlfriend of a much older adult.
  • Be living in dirty, cramped, or overcrowded accommodation, and/or living and working at the same address.
  • Have no identification documents, have few personal possessions, and always wear the same clothes day in and day out. What clothes they do wear may not be suitable for their work.
  • Have little opportunity to move freely and may have had their travel documents retained, e.g. passports.
  • Be dropped off/collected for work on a regular basis either very early or late at night
  • Unusual travel arrangements – children being dropped off/picked up in private cars/taxis at unusual times and in places where it is not clear why they would be there.
  • Avoid eye contact, appear frightened or hesitant to talk to strangers and fear law enforcers for many reasons, such as not knowing who to trust or where to get help, fear of deportation, and fear of violence to them or their family.

 

e. Staff will be advised that if they are subject to slavery or human trafficking, if they are aware of any individual that may be subject to slavery or has been trafficked, or if slavery or human trafficking is disclosed to them they must inform the Registered Manager of Swift Care Services or the Police.

 

f. Modern Slavery Annual Reporting during COVID
The Government guidancestates that under section 54 of the Modern Slavery Act 2015, certain businesses are required to publish an annual modern slavery statement setting out the steps they have taken to identify and address their modern slavery risks. During and after the coronavirus pandemic, it is essential that Swift Care Services Ltd continues to identify and address the risks of modern slavery in operations and supply chains. As well as focusing on the health and safety of workers, Swift Care Services Ltd will consider how fluctuations in demand and changes in the operating model may lead to new or increased risks of labour exploitation.
If Swift Care Services Ltd needs to delay the Modern Slavery Statement
The challenges presented by the coronavirus pandemic may mean that Swift Care Services Ltd will not be able to publish the statement within the usual timeframe. Where Swift Care Services Ltd needs to delay the publication of the modern slavery statement by up to 6 months due to coronavirus-related pressures,
Swift Care Services Ltd understands that we will not be penalised. In the statement, Swift Care Services Ltd will state the reason for any delay.

 

g. Recruitment risks during COVID-19
Some suppliers may be seeking to recruit additional workers in order to meet increases in demand. Swift Care Services will ensure that rigorous recruitment checks are maintained and that suppliers adhere to the same robust processes to ensure that vulnerable workers are not being exploited by third parties seeking to profit from heightened demand.

 

h. The Health and Safety of Workers
As a responsible organisation, it is important that the relevant local or national government policies are implemented throughout the supply chain at Swift Care Services Ltd. Swift Care Services will ensure that suppliers adopt social distancing measures and pay statutory sick pay in order to prevent the spread of coronavirus as part of due diligence processes.

 

i. Risk Assessment during COVID-19
Swift Care Services Ltd will undertake a risk assessment of how suppliers are operating during COVID-19 to highlight and help identify where there are risks of Modern Slavery or Human Trafficking occurring. A Template in the QCS Management system will be used where appropriate.

 

j. Review of Effectiveness
Swift Care Services Ltd intends to take further steps to identify, assess and monitor potential risk areas in terms of modern slavery and human trafficking, particularly in the supply chains of our providers. We will also continue to:
Support our staff to understand and respond to modern slavery and human trafficking, and the impact that each and every individual working in Care can have in keeping present and potential future victims of modern slavery and human trafficking safe.
Gain assurance that all staff at Swift Care Services Ltd have access to training on how to identify victims of modern slavery and human trafficking.
Review the Safeguarding Policy and Procedure at Swift Care Services Ltd to ensure that Modern Slavery and Human Trafficking are integral within the content and staff are directed to support and advice as needed.

 

k. Indicators of Forced Labour
Individuals may show signs of psychological or physical abuse. They might appear frightened, withdrawn or confused.

Workers may not have free movement and may always be accompanied.
Individuals often lack protective equipment or suitable clothing and have not been trained to safely fulfil the requirements of the role.
The person may not have access to their own documents, such as ID or their passport, with the employer having confiscated them.
Individuals may not have a contract and may not be paid National Minimum Wage or not paid at all.
Workers are forced to stay in accommodation provided by the employer. This accommodation could be overcrowded.
Individuals could live onsite.
Workers could be transported to and from work, potentially with multiple people in one vehicle.
The person might not accept money or be afraid to accept payment.
Workers may work particularly long hours.

 

6. Definitions

a. Human Trafficking
Human trafficking is defined as the recruitment, transportation, transfer, harbouring or receipt of persons, by means of the threat or use of force or other forms of coercion, abduction, fraud, deception, the abuse of power or a position of vulnerability or of the giving or receiving of payments or benefits to achieve the consent of a person having control over another person, for the purpose of exploitation.
It is important not to confuse human trafficking with human smuggling. Human smuggling is also called people smuggling. Human smuggling occurs when an individual seeks the help of a facilitator to enter a country illegally, and the relationship between both parties ends once the transaction ends. Many of those who enter the UK illegally do so by this route. Human smuggling is not a form of modern slavery.

 

b. Turnover
“Turnover” means the amount derived from the provision of goods and services falling within the ordinary activities of the commercial organisation or subsidiary undertaking, after deduction of:

  • Trade discounts
  • Value added tax
  • Any other taxes based on the amounts so derived (HM Government – ‘Transparency in Supply Chains’)

 

c. Modern Slavery
Modern slavery encompasses slavery, human trafficking, forced and compulsory labour and domestic servitude. Traffickers and slave masters use whatever means they have at their disposal to coerce, deceive, and force individuals into a life of abuse, servitude and inhumane treatment.
A large number of active organised crime groups are involved in modern slavery. But it is also committed by individual opportunistic perpetrators
There are many different characteristics that distinguish slavery from other human rights violations, however only one needs to be present for slavery to exist

 

d. Exploitation (Modern Slavery and Human Trafficking)
Sexual Exploitation – forced sex workers working in the commercial sex industry (pornography, lap dancing, telephone lines etc.); those manipulated or coerced into sexual activities of any kind for another person’s gain.

  • Modern Slavery – human trafficking; forced labour; domestic servitude; organ harvesting.
  • Financial Exploitation – debt bondage; finances controlled by others; financial scams; benefit fraud.
  • Criminal Exploitation – those manipulated or coerced or trafficked for the purpose of any illegal activity i.e., County Lines/drug trafficking; cuckooing (taking over of a person’s property); forced street crime (shoplifting, begging etc.); cannabis cultivation.
  • Cultural Exploitation – those manipulated or coerced using religious, social or cultural beliefs e.g., FGM, radicalisation, forced marriage.

 

e. Section 52 Modern Slavery Act
This places a duty on Local Authorities to identify and refer modern slavery child victims and consenting adult victims through the National Referral Mechanism (NRM) This responsibility identifies a local authority as a First Responder. The Council as a first responder (FR) into the NRM process has a duty to notify the Home Office if anyone working within the council identifies a person with indicators suggesting they may be trafficked or enslaved.

An annual review of this policy will make sure it is up to date with current legislation.

POLICY REVIEW TABLE
DateVersion numberSummary of changes madeSection(s) changed
08/02/20242

Modern Slavery Policy

  1. Policy

a). To ensure that everyone at Swift Care Services Ltd is aware of the Modern Slavery and Human Trafficking Policy and Procedure and the procedures in place to identify, respond appropriately and report in line with local and national guidance. This policy refers to adults who may be at risk, the procedure for children is detailed in the Child Protection Policy and Procedure.

b). This policy must be read alongside. Swift Care Services Ltd will ensure that staff understand Tower Hamlets safeguarding reporting procedures and that these procedures are communicated to all staff. Other policies that relate to Modern Slavery and Human Trafficking include but are not limited to PM11 – Whistleblowing Policy and Procedure, AR01 – Child Protection Policy and Procedure, the Recruitment Policy and Procedure, the Right to Work Checks Policy and Procedure and the Agency Staff Policy and Procedure.

c). To support Swift Care Services Ltd in meeting the Key Lines of Enquiry.

d). To meet the legal requirements of the regulated activities that Swift Care Services Ltd is registered to provide:

    • The Modern Slavery Act 2015
    • Health and Safety at Work etc. Act 1974
    • Human Rights Act 1998
    • The Health and Social Care Act 2008 (Regulated Activities) (Amendment) Regulations 2012

 

  1. Scope

a). The following roles may be affected by this policy:

    • All staff
    • Registered Manager
    • Other management

 

b). The following Service Users may be affected by this policy:

    • Service Users or persons we support

 

c). The following stakeholders may be affected by this policy:

    • Commissioners
    • Local Authority

 

  1. Objectives

a). To promote awareness of concerns surrounding slavery and human trafficking and promote the commitment of Swift Care Services Ltd in addressing slavery and human trafficking in all its forms. An annual statement will be produced, where applicable.

b). To ensure that identification, protection, care and support for victims of modern slavery and human trafficking is at the heart of our safeguarding procedures at Swift Care Services Ltd.

 

  1. Policy

a). Modern slavery is a crime and a violation of fundamental human rights. It takes various forms, such as slavery, servitude, forced and compulsory labour, and human trafficking, all of which include the deprivation of a person’s liberty by another in order to exploit them for personal or commercial gain.

b). Swift Care Services Ltd has a zero-tolerance approach to modern slavery within the business and supply chains and we are committed to acting ethically and with integrity in all our dealings and relationships. We will implement and enforce effective systems and controls to ensure that modern slavery is not taking place anywhere in Swift Care Services Ltd or within any third parties (agencies) that we are associated with.

c). All staff will be made aware of the issues surrounding slavery and human trafficking, whilst being encouraged and supported to report any concerns to Swift Care Services Ltd. Swift Care Services Ltd will also support any staff that may be subject to slavery or human trafficking.

d). Where modern slavery or human trafficking is identified, Swift Care Services Ltd will share information with the Tower Hamlets Safeguarding Team to safeguard the individual from harm with the objective of preventing future situations from arising and promoting the elimination of routes and sources of slavery or human trafficking.

e). All line managers are responsible for ensuring that those reporting directly to them comply with the provisions of this policy in the day-to-day performance of their roles.

f). All employees who suspect any members of the workplace being a victims of modern slavery must notify their line manager.

g). Swift Care Services Ltd will take steps to ensure that sufficient communication and employee awareness training is undertaken with regard to Modern Slavery.

h). All employees will be made aware of PM11 – Whistleblowing Policy and Procedure at Swift Care Services Ltd. The purpose of this policy and the associated procedure is to enable Swift Care Services Ltd to thoroughly investigate allegations of any wrongdoing raised by employees within Swift Care Ltd without fear of reprisal.

i). Swift Care Services Ltd will use this policy to underpin and inform any statement on slavery and human trafficking that we may be required to produce to meet the requirements of Section 54 of the Modern Slavery Act 2015 (MSA).

 

  1. Procedure

a). Reporting Modern Slavery and Human Trafficking Concerns
The following procedure must take place where there are any concerns that someone is a victim of modern slavery or human trafficking. Swift Care Services Ltd must ensure that staff are aware that victims of modern slavery or trafficking will often not self-identify. Many will present with a different issue.

    • A concern is identified -This could be the person we support as a victim or perpetrator, or the person we support informs us of a concern they have.
    • If an individual is, or a group of people are, at immediate risk of danger or harm, the police must be immediately notified on 999.
    • The staff member must discuss this with their line manager (where appropriate).The line manager must immediately contact and escalate the concern to Tower Hamlets Safeguarding Adults Team.
    • A notification is made to the CQC via the provider portal.

b). Safer Recruitment

All staff engaged with providing services at Swift Care Services Ltd will be subject to thorough and rigorous recruitment procedures that will include a DBS check, identity check, confirmation of validity to work in the UK, employment history, suitability for the role, and references. This will minimise the chance of employing a person that has been or is subject to, slavery or human trafficking. Swift Care Services Ltd will follow PR16 – Right to Work Checks Policy and Procedure to ensure that a robust and fair process is followed at all times.

c). Swift Care Services Ltd will only use staff provided by third-party organisations (such as agencies) that are either registered with the regulator or who can confirm that the staff being supplied are free to work in the UK and meet all the requirements for the role being provided for.

d). Training

All staff will undertake training on Modern Slavery and Human Trafficking. This will ensure that they are aware of the indicators of modern slavery which include:

    • Individuals are not being paid for the work they undertake.
    • Individuals being held in debt bondage (being told they “Still” owe money after having paid off a previous debt).
    • An individual’s passport being held by their “employer” in order to keep the individual at work.
    • Multiple benefit claimants having their benefits paid into the same account.
    • An individual not having the freedom of movement (i.e. passport being taken).
    • Clear exploitation of an individual by another for financial or sexual gain.
    • Shows signs of physical or psychological abuse, looks malnourished or unkempt, anxious/agitated or appears withdrawn and neglected. They may have untreated injuries
    • Rarely be allowed to travel on their own, seem under the control, the influence of others, and rarely interact or appear unfamiliar with their neighbourhood or where they work.
    • Relationships which do not seem right – for example, a young teenager appearing to be the boyfriend/girlfriend of a much older adult.
    • Be living in dirty, cramped, or overcrowded accommodation, and/or living and working at the same address.
    • Have no identification documents, have few personal possessions, and always wear the same clothes day in and day out. What clothes they do wear may not be suitable for their work.
    • Have little opportunity to move freely and may have had their travel documents retained, e.g. passports.
    • Be dropped off/collected for work on a regular basis either very early or late at night
    • Unusual travel arrangements – children being dropped off/picked up in private cars/taxis at unusual times and in places where it is not clear why they would be there.
    • Avoid eye contact, appear frightened or hesitant to talk to strangers and fear law enforcers for many reasons, such as not knowing who to trust or where to get help, fear of deportation, and fear of violence to them or their family.

e). Staff will be advised that if they are subject to slavery or human trafficking, if they are aware of any individual that may be subject to slavery or has been trafficked, or if slavery or human trafficking is disclosed to them they must inform the Registered Manager of Swift Care Services Ltd or the Police.

f). Modern Slavery Annual Reporting during COVID
The Government guidancestates that under section 54 of the Modern Slavery Act 2015, certain businesses are required to publish an annual modern slavery statement setting out the steps they have taken to identify and address their modern slavery risks. During and after the coronavirus pandemic, it is essential that Swift Care Services Ltd continues to identify and address the risks of modern slavery in operations and supply chains. As well as focusing on the health and safety of workers, Swift Care Services Ltd will consider how fluctuations in demand and changes in the operating model may lead to new or increased risks of labour exploitation.
If Swift Care Services Ltd needs to delay the Modern Slavery Statement
The challenges presented by the coronavirus pandemic may mean that Swift Care Services Ltd will not be able to publish the statement within the usual timeframe. Where Swift Care Services Ltd needs to delay the publication of the modern slavery statement by up to 6 months due to coronavirus-related pressures,
Swift Care Services Ltd understands that we will not be penalised. In the statement, Swift Care Services Ltd will state the reason for any delay.

g). Recruitment risks during COVID-19
Some suppliers may be seeking to recruit additional workers in order to meet increases in demand. Swift Care Services Ltd will ensure that rigorous recruitment checks are maintained and that suppliers adhere to the same robust processes to ensure that vulnerable workers are not being exploited by third parties seeking to profit from heightened demand.

h). The Health and Safety of Workers
As a responsible organisation, it is important that the relevant local or national government policies are implemented throughout the supply chain at Swift Care Services Ltd. Swift Care Services Ltd will ensure that suppliers adopt social distancing measures and pay statutory sick pay in order to prevent the spread of coronavirus as part of due diligence processes.

i). Risk Assessment during COVID-19
Swift Care Services Ltd will undertake a risk assessment of how suppliers are operating during COVID-19 to highlight and help identify where there are risks of Modern Slavery or Human Trafficking occurring. A Template in the QCS Management system will be used where appropriate.

j). Review of Effectiveness
Swift Care Services Ltd intends to take further steps to identify, assess and monitor potential risk areas in terms of modern slavery and human trafficking, particularly in the supply chains of our providers. We will also continue to:
Support our staff to understand and respond to modern slavery and human trafficking, and the impact that each and every individual working in Care can have in keeping present and potential future victims of modern slavery and human trafficking safe.
Gain assurance that all staff at Swift Care Services Ltd have access to training on how to identify victims of modern slavery and human trafficking.
Review the Safeguarding Policy and Procedure at Swift Care Services Ltd to ensure that Modern Slavery and Human Trafficking are integral within the content and staff are directed to support and advice as needed.

k). Indicators of Forced Labour
Individuals may show signs of psychological or physical abuse. They might appear frightened, withdrawn or confused. Workers may not have free movement and may always be accompanied.

Individuals often lack protective equipment or suitable clothing and have not been trained to safely fulfil the requirements of the role.
The person may not have access to their own documents, such as ID or their passport, with the employer having confiscated them.
Individuals may not have a contract and may not be paid National Minimum Wage or not paid at all.
Workers are forced to stay in accommodation provided by the employer. This accommodation could be overcrowded.
Individuals could live onsite.
Workers could be transported to and from work, potentially with multiple people in one vehicle.
The person might not accept money or be afraid to accept payment.
Workers may work particularly long hours.

 

  1. Definitions

a). Human Trafficking
Human trafficking is defined as the recruitment, transportation, transfer, harbouring or receipt of persons, by means of the threat or use of force or other forms of coercion, abduction, fraud, deception, the abuse of power or a position of vulnerability or of the giving or receiving of payments or benefits to achieve the consent of a person having control over another person, for the purpose of exploitation.
It is important not to confuse human trafficking with human smuggling. Human smuggling is also called people smuggling. Human smuggling occurs when an individual seeks the help of a facilitator to enter a country illegally, and the relationship between both parties ends once the transaction ends. Many of those who enter the UK illegally do so by this route. Human smuggling is not a form of modern slavery.

b). Turnover
“Turnover” means the amount derived from the provision of goods and services falling within the ordinary activities of the commercial organisation or subsidiary undertaking, after deduction of:

    • Trade discounts
    • Value added tax
    • Any other taxes based on the amounts so derived (HM Government – ‘Transparency in Supply Chains’)

 

c). Modern Slavery
Modern slavery encompasses slavery, human trafficking, forced and compulsory labour and domestic servitude. Traffickers and slave masters use whatever means they have at their disposal to coerce, deceive, and force individuals into a life of abuse, servitude and inhumane treatment.
A large number of active organised crime groups are involved in modern slavery. But it is also committed by individual opportunistic perpetrators
There are many different characteristics that distinguish slavery from other human rights violations, however only one needs to be present for slavery to exist

d). Exploitation (Modern Slavery and Human Trafficking)
Sexual Exploitation – forced sex workers working in the commercial sex industry (pornography, lap dancing, telephone lines etc.); those manipulated or coerced into sexual activities of any kind for another person’s gain.

    • Modern Slavery – human trafficking; forced labour; domestic servitude; organ harvesting.
    • Financial Exploitation – debt bondage; finances controlled by others; financial scams; benefit fraud.
    • Criminal Exploitation – those manipulated or coerced or trafficked for the purpose of any illegal activity i.e., County Lines/drug trafficking; cuckooing (taking over of a person’s property); forced street crime (shoplifting, begging etc.); cannabis cultivation.
    • Cultural Exploitation – those manipulated or coerced using religious, social or cultural beliefs e.g., FGM, radicalisation, forced marriage.

 

e). Section 52 Modern Slavery Act
This places a duty on Local Authorities to identify and refer modern slavery child victims and consenting adult victims through the National Referral Mechanism (NRM) This responsibility identifies a local authority as a First Responder. The Council as a first responder (FR) into the NRM process has a duty to notify the Home Office if anyone working within the council identifies a person with indicators suggesting they may be trafficked or enslaved.

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