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CSR for all OECD Guidelines for Multinational Enterprises Recent developments and BIAC contribution Istanbul, 10 October 2013. The Voice of OECD Business. Hanni Rosenbaum, Senior Policy Manager Business and Industry Advisory Committee to the OECD.
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CSR for allOECD Guidelines for Multinational EnterprisesRecent developments and BIAC contributionIstanbul, 10 October 2013 The Voice of OECD Business Hanni Rosenbaum, Senior Policy Manager Business and Industry Advisory Committee to the OECD
BIAC is the official Business and Industry Advisory Committee to the OECD, advising the Organisation on a wide range of issues (investment, CSR, trade, tax, education, labour, environment, etc.) BIAC members: business and employers’ organisations in OECD countries Observers from 9 non-OECD countries as well as over 30 international sectoral organisations The Voice of OECD Business
The OECD Guidelines for Multinational Enterprises (MNEs) • Updated in 2011, the OECD MNE Guidelines are the most comprehensive international CSR instrument and a key international reference. • A set of non-binding recommendations on responsible business conduct by governments to multinational enterprises operating in or from adhering countries.
Key features • Recommendations from governments to business – governments commit to promoting them • Promote responsible business behaviour in ten different areas • Voluntary, but expectation to fulfil • Supported by a unique implementation mechanism of National Contact Points
The broader context • As part of the Declaration on International Investment and MNEs, they aim to balance the promotion of an open investment climate with responsible business conduct. • Not only a burden, but should protect against unrealistic expectations and contribute to a level playing field • 45 countries adhere to the MNE Guidelines – BIAC encourages further outreach and global engagement to create a level playing field
Key changes of the 2011 update • Avoid adverse impacts of business activities, including a related due diligence provision • New provisions on how to promote observance of the Guidelines in the supply chain • A new chapter on human rights consistent with the UN Guiding Principles on Business and Human Rights • Amendments in the thematic chapters • Amendments to the NCP procedure • A pro-active implementation agenda designed to help enterprises to meet their responsibilities
National Contact Points Key tasks: • Promotional activities, increase awareness • Handle inquiries • Mediation and conciliation platform for resolving issues that may arise from alleged non-observance of the Guidelines.
Key business considerations for NCPs • 2 BIAC surveys While the NCP procedure has in a number of cases led to a meaningful stakeholder dialogue and a solution of the disagreement, the fundamental nature of the NCP procedure and certain provisions of the procedural guidance are sometimes disregarded.
Key business considerations for NCPs • A continuous learning process • Recognition of the specific nature of the NCP as a mediation platform (not a semi-legal process) • The willingness of all parties to enter into meaningful dialogue • Good faith as an essential element to build trust • Acceptance of a specific instance is not a verdict • NCP should be a facilitator for solutions
Key business considerations for NCPs Recommendations to Notifiers: • Avoid the combination of an NCP procedure with campaigning • Avoid false allegations, disrespect of confidentiality and procedural rules • Avoid forum shopping and changing the scope of the discussions.
Key business considerations for NCPs • NCP should be a forum for discussion between stakeholders with a view to resolving an issue in a constructive and forward-looking manner. • All stakeholders should have an attitude that makes a constructive and future-oriented solution possible, based on an atmosphere of mutual trust and dialogue.
The Proactive Agenda • The proactive agenda aims to promote the effective observance of the Guidelines by helping enterprises identify and respond to risks of adverse impacts associated with particular products, regions, sectors or industries.
Proactive Agenda – key business considerations • It should be demand-driven, be broadly supported, provide real added value and avoid duplication with other initiatives. • The active involvement of business, and other key stakeholders, is essential. • It should not lead to sector guidance that would go beyond the agreement reached during the 2011 update.
Proactive Agenda – on-going projects • Due diligence in the financial sector • Stakeholder engagement in the extractive sector • Responsible investment in agricultural supply chains • Work on Bangladesh and the textiles sector to be further discussed with ILO
Proactive Agenda – on-going projects • The OECD Due Diligence Guidance for Responsible Supply Chains of Minerals from Conflict Affected and High-Risk Areas is frequently cited as an example of the potential of the proactive agenda.
New OECD Working Party on Responsible Business Conduct • Communication on the MNE Guidelines • Outreachactivities • Implementation of the Proactive Agenda
BIAC outreach efforts • Assist members with the implementation of the Guidelines. • Help raise awareness of the Guidelines among our members and their member companies. • Foster closer cooperation with non-adhering countries to promote adherence to the Guidelines to create a truly level playing field.
For further information, please contact rosenbaum@biac.org www.biac.org http://www.biac.org/mne_guidelines.htm