Anti-Slavery and Human Trafficking Policy

Last updated: 17 August 2026

1. Our commitment

Millerweb Limited has zero tolerance for slavery, servitude, forced or compulsory labour, human trafficking or other forms of modern slavery.

We are committed to conducting our business ethically and responsibly and expect those working with us to adopt equivalent standards.

2. About Millerweb

Millerweb Limited is a UK technology company providing technology consultancy, AI development, software development, digital services and Virtual CTO services.

Our supply chain principally comprises professional services, technology suppliers, software and cloud providers, contractors, associates and other business services.

3. Modern Slavery Act

Section 54 of the Modern Slavery Act 2015 requires commercial organisations carrying on business in the UK, supplying goods or services and having annual turnover of £36 million or more to publish an annual modern slavery statement. Government guidance also encourages smaller organisations to take proportionate action and publish their approach voluntarily.

Millerweb publishes this policy as part of its commitment to responsible and ethical business practice.

4. Our approach

We seek to work with reputable suppliers, contractors and associates.

Where proportionate to the nature and level of risk, we may:

  • assess prospective suppliers;
  • consider their employment and ethical practices;
  • review published modern slavery policies or statements;
  • include appropriate contractual provisions;
  • investigate concerns raised about working practices; and
  • reconsider relationships where serious concerns cannot be resolved.

5. Areas of risk

As a technology consultancy, much of Millerweb’s direct activity is professional and digital rather than labour-intensive manufacturing.

However, we recognise that modern slavery risks can exist further down technology supply chains, including in:

  • manufacture of computing and telecommunications equipment;
  • data-centre and infrastructure supply chains;
  • facilities and outsourced services;
  • temporary and contracted labour; and
  • global technology supply chains.

We therefore do not assume that a digital or professional-services supply chain is automatically free from risk.

6. Contractors and associates

Individuals working for or on behalf of Millerweb must:

  • work voluntarily;
  • be free from coercion or intimidation;
  • have the legal right to undertake their work;
  • be treated fairly and with dignity; and
  • comply with applicable employment and labour laws.

Millerweb will not knowingly work with organisations or individuals involved in modern slavery or human trafficking.

7. Raising concerns

Anyone working with Millerweb who becomes aware of suspected modern slavery, exploitation or unethical labour practices connected with our activities or supply chain should raise the matter promptly with Millerweb.

Concerns will be treated seriously and assessed proportionately.

No person should suffer detrimental treatment for raising a genuine concern in good faith.

8. Responding to concerns

Where Millerweb identifies a credible modern slavery risk, we will consider appropriate action based on the circumstances.

This may include:

  • seeking further information;
  • requiring corrective action;
  • suspending procurement or work;
  • terminating a supplier relationship where appropriate; or
  • reporting serious concerns to the appropriate authorities.

Where individuals may be at risk, our priority will be to avoid actions that unnecessarily increase harm to potential victims.

9. Responsibility

Responsibility for this policy rests with the directors of Millerweb Limited.

The policy will be reviewed periodically and updated where our business, supply chain or applicable legal requirements materially change.