RAPHA RACING LTD modern slavery statement summary (2026)
Organisation address
4 Elthorne Road,
London,
England,
N19 4AG
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 all 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 RAPHA RACING LTD for further assistance.
Rapha modern slavery statement.pdf
File uploaded: 11 August 2026 at 2:22pm
PDF
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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
- 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
Legal requirement to publish
RAPHA RACING LTD 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 July 2025 to 30 June 2026
The statement was signed off by:
Fran Millar (CEO)
It was approved by the board (or equivalent management body) on:
6 July 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 |
| Goals and key performance indicators (KPIs) to measure the effectiveness of the organisation's actions and progress over time | Covered |
The organisation’s sectors and turnover
Sectors
The organisation operates in the following sectors:
- Fashion, textiles, apparel and luxury goods
Turnover
Its turnover in the financial accounting year of this statement was:
£60 million to £100 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 | Yes |
| Executive-level staff | No |
| Procurement staff | Yes |
| Your suppliers | Yes |
| The wider community | No |
| Other |
No
|
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 | Yes |
| Workers within your organisation | Yes |
| Workers within your supply chain | Yes |
| Central or local government | No |
| Law enforcement, such as police, GLAA and other local labour market inspectorates | No |
| Businesses in your industry or sector | Yes |
Social audits
What are social audits?
| Social audits we asked about | Organisation’s response |
|---|---|
| Audit conducted by your staff | Yes |
| 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 | Yes |
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: Taiwan |
| Actions or plans to address this risk | Organisation’s response: Recruitment fees are prohibited in our Code of Conduct and periodically checked for in our annual supplier audit and due diligence process. In the event that recruitment fees are found, Rapha will issue a corrective action plan to implicated suppliers. This would include working collaboratively with them to remedy the issue, ensuring workers are reimbursed, and installing new processes to prevent recruitment fees in the future. |
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: China |
| Actions or plans to address this risk | Organisation’s response: We require that all of our cotton be certified organic or in-conversion. The certification process helps ensure that supplier labour rights are held to the highest standard. Additionally, the certifications that we use (such as GOTS and OCS) use the segregation chain of custody model - which ensures that cotton is segregated at each stage of the supply chain and guarantees traceability after farm level. |
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: We have set a target that all of our tier 1 suppliers have either collective bargaining or effective worker voice mechanisms in place by 2030. This is supported by our audit process to gauge freedom of association in suppliers’ operations. Where collective bargaining or worker voice mechanisms are not in place, we directly collaborate with our suppliers to introduce and improve FOA/worker voice mechanisms. |