At Cash Cow Marketing we are committed to improving practices within our industry to combat slavery and human trafficking. We recognise that slavery and (to a lesser extent) human trafficking is a real yet hidden issue in the digital services economy and across society.

We will not tolerate slavery and/or human trafficking in our business or supply chain. In short, we set the highest standards and we expect our customers and suppliers agree with us. 

We are committed to acting ethically and with integrity in all our business dealings and relationships and to implementing and enforcing effective systems and controls to ensure that any form of slavery is not taking place in our own business or supply chains.

Organisational structure
We are a service-led, niche supplier of digital services, trading under the name of Cash Cow Marketing. Our head office is based in London, England.

Our business
Cash Cow Marketing operates in the UK, offering a portfolio of innovative and synergistic digital products and services.

Relevant policies
We operate a number of internal policies to ensure we are conducting business in an ethical and transparent manner.

These include:
Recruitment – we operate a robust recruitment policy, including conducting eligibility to work in the UK checks for all employees to safeguard against human trafficking or individuals being forced to work against their will.

Whistleblowing – our whistleblowing policy ensures that all employees know that they can raise concerns about how colleagues are being treated, or practices within our business or supply chain, without fear of reprisal.

Health and Safety – this policy sets out our approach to ensure we provide a healthy working environment for our staff and contractors that work out of our premises.

Further steps
We take the following steps to combat slavery and human trafficking:

1. Risk assess all new suppliers using the Global Slavery Index and ask them to certify that they have taken steps to eradicate modern slavery within their own organisation and supply chain;

2. Notify suppliers of our expectations and their obligations in relation to the prohibition of modern slavery;

3. Incorporate anti-slavery and human trafficking obligations into procurement agreements and subcontracting arrangements on a risk assessed basis;

4. Include appropriate measures in our due diligence processes for sourcing suppliers, subcontractors and acquisitions on a risk assessed basis;

5. Provide training to relevant employees to ensure a high level understanding of the risks of modern slavery and human trafficking; and

6. Where appropriate we will include reference to the Modern Slavery Act 2015 in our policies and procedures.

This statement is made pursuant to section 54(1) of the Modern Slavery Act 2015 and constitutes our slavery and human trafficking statement for the current financial year.

Clive Campbell Smith

CEO & Founder, Cash Cow Marketing

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