Schchara IT Services LLC (“we” or “Schchara”) is working under the regulations of the Modern Slavery Act 2018 (Cth) (the “Act”). This MSS is prepared in accordance with section 16 of the Act and describes steps taken by Schchara beginning with the 1. January 2022 to identify, manage and mitigate the risks of modern slavery in our operations and supply chains and how we evaluate the effectiveness of our responses.

Schchara understands the importance of transparency across supply chains in order to present accurate information on real and potential modern slavery practices. Accordingly, Schchara commits to assessing and monitoring the risks of modern slavery in its business and through its supply chain.

Schchara’s Structure, Operations and Supply Chains

Structure

Schchara is a company based in Georgia. The head office is settled in Tblissi.

Operations

Schchara provides IT development, Operation and recruitment and labour hire services to international businesses, specialising in the recruitment of IT contractors, consultants and employees. Schchara operates in Georgia and Europe. Schchara directly employs 10 people. 100% are based in Georgia. Employees are employed under individual contracts and some of them are covered by industrial agreements.

Supply Chains

The Schchara supply chain mostly consists of Independent Contractors working in the white-collar IT sector.

Risks of Modern Slavery Practices

Modern slavery is defined as including eight types of serious exploitation:

  • trafficking in persons,
  • slavery,
  • servitude,
  • forced marriage,
  • forced labour,
  • debt bondage,
  • the worst forms of child labour, and
  • deceptive recruiting for labour or services.
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Schchara has a zero tolerance approach to modern slavery. We are committed to mitigating the risk of modern slavery occurring within our business or supply chain. Schchara restricts the supply of services to the countries are our branches are located in. Schchara believes that in supplying such contracting services, it is compliant with all relevant legislative requirements in those countries it operates in and puts into practice its own associated policies.

We have assessed our direct workforce as being of low risk to modern slavery, and believe our people and policies further mitigate this risk. Accordingly, we consider that our greatest risk of involvement in modern slavery is being indirectly linked to it through our supplier relationships. The following indicators were the primary source used to identify and assess potential supplier risk:

  • sector and industry risk;
  • product and services risk;
  • geographic risk; and
  •  
  • entity risk.

Within Schchara’s supply chains, the following key areas were identified for potential modern slavery and human trafficking risks:

  • office cleaning;
  • IT hardware,
  • print and promotional goods and services.

Actions to assess and address modern slavery risks

The Schchara approach to assessing and addressing modern slavery risks in our operations and supply chains is based on key three principles:

1. Build meaningful relationships with partners – this includes partnership up and

down the supply chain. In particular this includes:

a. Providing awareness of modern slavery through engagement;

b. Communicating our expectations through clear open discussion and

    agreements;

c. Recognising and responding to the potential for inappropriate practices

    through questioning; and

d. Providing timely and accurate information on supply practices, and any      actions being undertaken to mitigate modern slavery risks.

2. Adopt a risk management approach, both internally and with our suppliers to identify high risk areas where modern slavery could be present, and evaluate and monitor these risks.

3. Recognise the leverage we have to influence change. Consider how our own business practices could influence and contribute towards inappropriate practices, such as where supplier prices are unusually low. During the reporting period, Schchara included clauses in our standard contractor and commercial contracts to address Workplace Health & Safety, Rates of Pay, Conditions of Work sites and related Work Rights and other statutory regulations (e.g. discrimination). Further, Schchara includes anti-modern slavery clauses in our standard contractor contracts.

Governance

In addition, the following Schchara policies help mitigate the risks across our operations and supply chains, with respect to modern slavery:

  • Anti-Bribery & Anti-Corruption Policy;
  • Bullying & Harassment Policy;
  • Code of Conduct;
  • Equal Employment Opportunity & Anti-Discrimination;
  • Risk Management Policy;
  • Work, Health & Safety Policy Statement; &
  • Whistleblowing Policy.

All Schchara employees are required to comply with the above policies and Code of Conduct. Our Code of Conduct affirms Schchara’s belief in responsible, social and ethical behaviour from all employees and clarifies the standards of behaviour that we expect from all employees. Breaches of our policies or Code of Conduct may be regarded as misconduct, which can lead to disciplinary action including termination of employment or engagement.

Remediation – grievances and complaints

Schchara has a Whistleblowing Policy that allows employees, directors and contractors of Schchara to raise concerns in a confidential manner. Individuals may report suspected instances of modern slavery through this Program.

Monitoring the effectiveness of our actions

As mentioned, Schchara’s primary function is to engage and assign white collar IT contract workers to address its clients’ workforce requirements. In working with our clients, Schchara strives to ensure a contractor supply that mitigates risks associated with modern slavery. Some examples of the actions taken by Schchara to monitor the effectiveness of our actions, during the reporting period, include:

  • Where reasonably practicable, inspecting client sites to complete Work Health and Safety assessments. This ensures the working conditions of our clients meet the standard expected under statutory requirements. Where any working conditions are assessed as being substandard, Schchara engages with the stakeholder to ensure appropriate measures are taken to mitigate any risks that can be associated to modern slavery. This may involve educating the relevant stakeholder of the issue that may need to be rectified.
  • Monitoring compliance with our standard contractor and commercial contracts.
  • Continual engagement with contractors and clients to assist with promoting a continuous and positive dialogue with both contractors and clients.
  • Ensuring statutory working rights are checked for each on boarded contractor.
  • Education of internal and external stakeholders regarding risks and potential consequences around working conditions that could potentially lead to an allegation of modern slavery.
  • Offering of a third party confidential Employee Assistance Program (“EAP”) to Schchara staff and contractors. Whilst each EAP connection with an individual is highly confidential, Schchara can obtain very broad data on categories that will help to identify shortfalls in working conditions.
  • Investigating, and considering any trends in, modern slavery related instances reported through grievance mechanism.
  • Schchara is working among the guidelines of Quality Management System under ISO 9001:2015 in relation to Supply of Information Technology professionals on a contract or permanent basis.

This MSS was approved by the Board of Schchara on 10nd January 2022.

Vladimir Khrikadze

Global CEO/Director