CALL US TODAY
(416) 864 - 6200

Tax & Trade Blog

  • Home
    Home This is where you can find all the blog posts throughout the site.
  • Categories
    Categories Displays a list of categories from this blog.
  • Tags
    Tags Displays a list of tags that have been used in the blog.
  • Bloggers
    Bloggers Search for your favorite blogger from this site.
  • Archives
    Archives Contains a list of blog posts that were created previously.

BEST PRACTICES FOR FORCED LABOUR REPORTING

Posted by on in Customs & Trade Blog
  • Font size: Larger Smaller
  • Hits: 46
  • 0 Comments
  • Subscribe to this entry
  • Print

BEST PRACTICES FOR FORCED LABOUR REPORTING - Tax & Trade Blog

International Trade Report

BEST PRACTICES FOR FORCED LABOUR REPORTING

CANADA PUBLISHED BEST PRACTICES ADVICE FOR FORCED LABOUR REPORTING


As we wrote here, Canada joined the United Kingdom and Australia last year in adopting a joint global reporting template for forced labour and child labour disclosures. The new template consolidates the legislative reporting requirements of all three countries and is intended to simplify reporting for organizations operating across multiple jurisdictions.

In practice, Canadian reporting entities often face challenges in producing properly scoped reports that align with Public Safety Canada’s expectations. In response, Public Safety Canada (“PSC”) has published "Best Practices" tips and updated resources, aimed at improving report quality and supporting ongoing compliance under the Supply Chains Act.

"Best Practices" Tips to Improve Report Quality

In its Winter 2026 Bulletin, Public Safety Canada released a set of practical tips aimed at improving the overall quality and presentation of reports submitted under the Supply Chains Act.

The tips cover the following best practices for reporting entities:

  1. Signed and Dated Attestation: Reports should include a properly signed and dated attestation;
  2. Scope of Disclosures: Reports should include only information pertaining to the Supply Chains Act transparency requirements and should not include other documents in appendices, such as employee contracts or supplier codes of conduct;
  3. Employee Personal Information: Employee email addresses and identifiable personal information should be excluded from reports;
  4. Internal Approval Records: Internal approval audit trails should be removed at the end of reports.

Collectively, these tips reflect Public Safety Canada’s expectation that reports be concise, properly scoped, and directly responsive to the transparency requirements.

Public Resources to Support Ongoing Compliance

In addition to the practical tips, Public Safety Canada directs reporting entities to review its updated public Resources webpage, which outlines actions that may be taken to identify, prevent, and mitigate the human rights impacts of business activities.

Reporting entities are advised to consult these materials when preparing future reports and aligning disclosures with evolving expectations under the Supply Chains Act.

Key point
Public Safety Canada has published "Best
Practices" Tips for Forced Labour Reporting.

Experienced International Trade Counsel can assist in
aligning required Reports to PSC expectations!

Takeaways

Public Safety Canada has published "Best Practices" tips for forced labour reporting under the Supply Chains Act. Reporting entities should review this guidance when preparing future filings.

Experienced International Trade Counsel can assist in aligning disclosures with Public Safety Canada’s expectations.


For assistance with Forced Labour Reporting, please click here.

Download a PDF copy of this Blog here.


Last modified on
0

Comments

  • No comments made yet. Be the first to submit a comment

Leave your comment

Guest Wednesday, 25 February 2026

Toronto Office

10 Lower Spadina Avenue, Suite 200, Toronto, Ontario, M5V 2Z2 Canada
Phone: (416) 864-6200| Fax: (416) 864-6201

Client Login

To access the Millar Kreklewetz LLP secure client file transfer system, please log in.