JUST EAT HOLDING LIMITED modern slavery statement summary (2026)
Organisation address
2 Fleet Place,
London,
United Kingdom,
EC4M 7RF
We asked the organisation a series of questions about its modern slavery statement. Its answers are published on this page as a statement summary.
This statement provides information for 5 of 6 recommended topics
What is a modern slavery statement?
PDF version of the statement
If you need an accessible version of this PDF file, please contact JUST EAT HOLDING LIMITED for further assistance.
Modern Slavery Statement UK _2025.pdf
File uploaded: 29 June 2026 at 12:07pm
PDF
| 2.02 MB
About this statement summary
All answers relate to the financial year covered by the statement. The organisation is responsible for all the information it provided. Some of our questions are optional, so organisations may not have answered all of them. The statement summary does not replace the full modern slavery statement – below we provide a link to the full statement on the organisation’s website.
Contents
- Organisations covered by the statement
- Legal requirement to publish
- Statement period and sign-off details
- Recommended topics covered by the statement
- The organisation’s sectors and turnover
- Number of years producing statements
- Policies
- Training
- Monitoring working conditions
- Modern slavery risks
- Finding indicators of modern slavery
- Demonstrating progress
Organisations covered by the statement
JUST EAT HOLDING LIMITED modern slavery statement for 2026 is a group statement covering 3 organisations. See the full list of organisations covered by this statement
Legal requirement to publish
JUST EAT HOLDING LIMITED has confirmed it is required to publish a 2026 statement by law.
Statement period and sign-off details
The statement covers the following period:
1 January 2025 to 31 December 2025
The statement was signed off by:
Claire Pointon (Managing Director UK )
It was approved by the board (or equivalent management body) on:
23 June 2026
Recommended topics covered by the statement
Government guidance encourages organisations to cover a range of topics in their modern slavery statements, setting out the steps they’re taking to address modern slavery risks in their operations and supply chains. Read about the recommended topics in the statutory guidance.
We asked the organisation to tell us which topics its statement covers.
| Topics recommended by government guidance | Organisation’s response |
|---|---|
| The organisation’s structure, business and supply chains | Covered |
| Policies | Covered |
| Risk assessment | Covered |
| Due diligence (steps to address risk) | Covered |
| Training about modern slavery |
Covered
We are working on this are for our next statement
|
| Goals and key performance indicators (KPIs) to measure the effectiveness of the organisation's actions and progress over time |
Not covered
Following baseline audits at high-risk factories, we expect annual improvements. Factories that fail must complete corrective actions and pass a re-audit to remain eligible for orders.
|
The organisation’s sectors and turnover
Sectors
The organisation operates in the following sectors:
- Just Eat operates primarily in the online food and retail delivery sector, acting as a digital marketplace and logistics interme
Turnover
Its turnover in the financial accounting year of this statement was:
£100 million to £500 million
What does 'turnover' refer to in group statements?
Number of years producing statements
How does this work for group statements?
Policies (optional)
| Policy provisions we asked about | Organisation’s response |
|---|---|
| Freedom of workers to terminate employment | Included |
| Freedom of movement | Included |
| Freedom of association | Included |
| Prohibits any threat of violence, harassment and intimidation | Included |
| Prohibits the use of worker-paid recruitment fees | Included |
| Prohibits compulsory overtime | Included |
| Prohibits child labour | Included |
| Prohibits discrimination | Included |
| Prohibits confiscation of workers' original identification documents | Included |
| Provides access to remedy, compensation and justice for victims of modern slavery | Included |
| Other |
Not included
|
Training (optional)
What counts as training?
| We asked who the training was for | Organisation’s response |
|---|---|
| Your whole organisation | No |
| Your front line staff | No |
| Human resources | No |
| Executive-level staff | No |
| Procurement staff | No |
| Your suppliers | No |
| The wider community | No |
| Other |
we trained our new employees on how to recognise and report modern slavery. The onboarding Code of Conduct eLearning course included examples of modern slavery warning signs, and our people were directed to either inform the Ethics & Compliance team or
|
Monitoring working conditions (optional)
Engaging with others
| We asked who the organisation engaged with | Organisation’s response |
|---|---|
| Your suppliers | Yes |
| Trade unions or worker representative groups | No |
| Civil society organisations | No |
| Professional auditors | No |
| Workers within your organisation | Yes |
| Workers within your supply chain | No |
| Central or local government | No |
| Law enforcement, such as police, GLAA and other local labour market inspectorates | No |
| Businesses in your industry or sector | No |
Social audits
What are social audits?
| Social audits we asked about | Organisation’s response |
|---|---|
| Audit conducted by your staff | No |
| Third party audit arranged by your organisation | Yes |
| Audit conducted by your supplier’s staff | No |
| Third party audit arranged by your supplier | No |
| Announced audit | No |
| Unannounced audit | No |
Grievance mechanisms
| We asked if workers could raise concerns this way | Organisation’s response |
|---|---|
| Using anonymous whistleblowing services, such as a helpline or mobile phone app | Yes |
| Through trade unions or other worker representative groups | No |
Other ways of monitoring working conditions
Modern slavery risks (optional)
Priority risks for this organisation (1 of 3)
| Questions we asked about this risk | Organisation’s response |
|---|---|
| Where it was most likely to occur |
Organisation’s response:
Within your supply chains.
|
| Who was it most likely to affect |
Organisation’s response:
|
| In which country |
Organisation’s response:
|
| Actions or plans to address this risk | Organisation’s response: Continued monitoring through third party audits and corrective actions plans |
Priority risks for this organisation (2 of 3)
| Questions we asked about this risk | Organisation’s response |
|---|---|
| Where it was most likely to occur |
Organisation’s response:
Within your supply chains.
|
| Who was it most likely to affect |
Organisation’s response:
|
| In which country |
Organisation’s response:
|
| Actions or plans to address this risk | Organisation’s response: Continued monitoring through third party audits and corrective action plan, accompanied by the robust supplier contracting which describes the ethical business conduct standards and requirements of our suppliers |
Priority risks for this organisation (3 of 3)
| Questions we asked about this risk | Organisation’s response |
|---|---|
| Where it was most likely to occur |
Organisation’s response:
Within your supply chains.
|
| Who was it most likely to affect |
Organisation’s response:
|
| In which country | Organisation’s response: China |
| Actions or plans to address this risk | Organisation’s response: Continued monitoring through third party audits and corrective action plan, accompanied by the robust supplier contracting which describes the ethical business conduct standards and requirements of our suppliers |
Indicators of forced labour (optional)
What are ILO indicators of forced labour?
| ILO indicators we asked about | Organisation’s response |
|---|---|
| Abuse of vulnerability | Yes |
| Deception | Yes |
| Restriction of movement | Yes |
| Isolation | Yes |
| Physical and sexual violence | Yes |
| Intimidation and threats | Yes |
| Retention of identity documents | Yes |
| Withholding of wages | Yes |
| Debt bondage | Yes |
| Abusive working and living conditions | Yes |
| Excessive overtime | Yes |
| Other |
-
|
Actions taken in response to finding ILO indicators
| Actions we asked about | Organisation’s response |
|---|---|
| Financial remediation, including repayment of recruitment fees | No |
| Change in policy | No |
| Change in training | No |
| Referring potential victims to government services | No |
| Supporting victims via NGO | No |
| Supporting investigations by relevant authorities | No |
| Other |
Our Code of Conduct and Modern Slavery Policy serve to underline our zero-tolerance approach towards modern slavery and enable implementation and enforcement of effective systems and controls to identify, assess, manage and/or remediate modern slavery
|