Trusted by Global Supply Chains & U.S. Importers
The German Supply Chain Due Diligence Act (GSCDDA), formally called the Lieferkettensorgfaltspflichtengesetz (LkSG), requires businesses to respect human rights and environmental standards across their global supply chains. Global PCCS helps companies build structured due diligence procedures across operations and supply networks.
The German Supply Chain Due Diligence Act (GSCDDA), formally called the Lieferkettensorgfaltspflichtengesetz (LkSG), is a German law designed to ensure businesses respect human rights and environmental standards across their global supply chains.
Major heavy equipment manufacturers created HEDSL to unify substance declaration standards throughout their supply chains, supporting compliance with REACH, RoHS, national waste directives, and other international environmental requirements.
Global PCCS supports companies with LkSG compliance assessment, human rights and environmental risk evaluation, policy and procedure development, risk mitigation, grievance mechanisms, supplier assessment, documentation and reporting, and awareness training.
Talk to a UFLPA Expert →Evaluate supply chains to identify potential XUAR risks and determine current compliance preparedness.
Trace raw materials and components, especially cotton, polysilicon, aluminum, and electronics, to uncover potential forced labor links.
Create strong due diligence procedures and internal controls aligned with the UFLPA’s “clear and convincing evidence” threshold.
Guide teams in gathering, organizing, and presenting documentation needed for U.S. Customs and Border Protection requirements.
Develop supplier communication tools, risk-based evaluations, and verification processes for UFLPA obligations.
Educate internal stakeholders and suppliers on UFLPA compliance, best practices, and proactive risk management.
Integrate UFLPA requirements into broader ethical sourcing strategies and supply chain governance systems.
Global PCCS combines UFLPA exposure assessment, multi-tier traceability, due diligence framework design, evidence preparation, supplier evaluation, training, and responsible sourcing integration to help protect U.S. market access.
Identify potential XUAR and forced labor exposure across the supply chain.
Map up to 5–7 supply chain tiers for granular visibility into potential UFLPA exposure.
Build documentation and internal controls aligned with the UFLPA evidence threshold.
Identify and assess high-risk suppliers and support mitigation strategies.
Strengthen evidence packages for U.S. Customs and Border Protection requirements.
Embed UFLPA controls into broader ethical sourcing and supply chain governance.
Clients typically saved an average of 8–12 weeks by outsourcing intricate UFLPA due diligence and documentation processes.
Build structured procedures and internal controls aligned with the UFLPA’s clear and convincing evidence threshold.
Trace raw materials and components across multiple tiers to uncover potential forced labor links.
Organize supplier declarations, traceability records, and supporting documentation for CBP requirements.
Identify and assess high-risk suppliers and support forced labor risk mitigation.
Clients typically save 8–12 weeks in UFLPA due diligence and documentation efforts.
Proactive UFLPA services contributed to an estimated 95% reduction in potential import detentions and non-compliance fines.
The U.S. Uyghur Forced Labor Prevention Act (UFLPA), effective June 2022, bans imports of goods linked to forced labor in China’s Xinjiang Uyghur Autonomous Region (XUAR).
Goods from XUAR or listed entities are presumed to be made with forced labor and are prohibited unless importers provide clear and convincing evidence otherwise to U.S. Customs and Border Protection.
The source specifically identifies cotton, polysilicon, aluminum, and electronics as high-risk industries.
Yes. Global PCCS has successfully mapped up to 5–7 tiers of client supply chains for UFLPA risk.
Yes. Global PCCS successfully obtained and verified over 90% of required supplier declarations and traceability documents for UFLPA compliance.
Clients typically saved an average of 8–12 weeks in UFLPA compliance efforts by outsourcing due diligence and documentation processes.
Partner with Global PCCS for UFLPA exposure assessment, supply chain mapping, traceability, due diligence, evidence documentation, supplier risk evaluation, training, and responsible sourcing integration.