This statement sets out Cabot Learning Federation’s (CLF) actions to understand all potential modern slavery risks related to its business and to put in place steps that are aimed at ensuring that there is no slavery or human trafficking in its own business and its supply chains. This statement relates to actions and activities during the financial year 1 September 2024 to August 2025.
The CLF, as part of the education sector, recognises its responsibility towards taking a robust approach to slavery and human trafficking.
The organisation is absolutely committed to preventing slavery and human trafficking in its activities, and to ensuring that its supply chains are free from slavery and human trafficking.
The CLF is a growing Multi Academy Trust. It comprises of 35 schools serving the educational needs of circa 18,000 children and young people aged 2 to 19 and employing circa 2,700 colleagues.
In addition to CLF’s core activity of delivering education to our children and young people other business activities include operating school centered initial teacher training, other training, school-to-school support and income generation through lettings.
The CLF’s educational and business activities are delivered wholly within the UK and is predominately a service-based organisation. 71% of our turnover is spent on staffing to deliver a high-quality education to our students. The CLF procures goods and services from providers predominantly based within the UK.
Responsibility for the organisation’s anti-slavery initiatives is as follows:
The organisation operates the following policies that describe its approach to the identification of modern slavery risks and steps to be taken to prevent slavery and human trafficking in its operations:
– An internal audit carried out by the academy and submitted to the Local Authority;
– An audit carried out by the federation’s Designated Safeguarding Lead.
The CLF is committed to ensuring its suppliers adhere to the highest standards of ethics. The larger value contracts are procured either through a purchasing framework or appointed through means of a tender process. Our supply chain includes a range of goods and services, with the majority purchased within the UK.
We have identified that some of our procurement takes place in sectors where modern slavery offences could occur and include within our procurement practices the condition for all larger value contracts to be compliant with the Modern Slavery Act . The new supplier process includes a media and press background research to help identify any potential risks and a request that all suppliers must sign and confirm adhere to the Modern Slavery Act. Further scrutiny of suppliers that may be deemed to have a higher risk of non-compliance with the Act will be completed when identified. This process is reflected in the CLF Financial Regulations.
CLF has a Supplier Manager working as part of the finance team who leads on supplier management including regular compliance checks and contract storage. Suppliers are managed by service/product type allowing focused reviews and regular reviews in higher risk areas.
The CLF requires all CLF Academy leaders, Operations Managers, Designated Safeguarding Leads, Finance professionals, Governance professionals and HR professionals to complete training as part of our annual training program. Our statutory and mandatory training alongside functional training for colleagues with specific responsibilities, cover modern slavery in a range of ways:
– how to identify the signs of slavery and human trafficking;
– what initial steps should be taken if slavery or human trafficking is suspected;
– how to escalate potential slavery or human trafficking issues to the relevant parties within the organisation;
what external help is available, for example through the Modern Slavery Helpline, Gangmasters and Labour Abuse Authority and “Stronger together” initiative;
– CLF’s purchasing practices, which influence supply chain conditions and which should therefore be designed to prevent purchases at unrealistically low prices, the use of labour engaged on unrealistically low wages or wages below a country’s national minimum wage, or the provision of products by an unrealistic deadline;
– how to assess the risk of slavery and human trafficking in relation to various aspects of the business, including resources and support available;
– what steps the organisation should take if suppliers or contractors do not implement anti- slavery policies in high-risk scenarios, including their removal from the organisation’s supply chains. our purchasing practices, which influence supply chain conditions and which should therefore be designed to prevent purchases at unrealistically low prices, the use of labour engaged on unrealistically low wages or wages below a country’s national minimum wage, or the provision of products by an unrealistic deadline;
This statement was approved on…….by the undersigned on behalf of the Cabot Learning Federation.
Steve Taylor, CEO
