This disclosure asks an organisation to report how many new suppliers were checked against social criteria before, or as part of, being brought into the supply chain during the reporting period. The focus is on the screening activity itself: whether the organisation applied social checks to new suppliers, and the number of those suppliers that went through that process.
In practice, the key question is coverage across procurement, not just a few selected sites or high-profile suppliers. Organisations should be clear about the scope used for screening, so readers can understand whether the figure reflects all relevant new suppliers or only a limited part of the business.
This LRA educational guidance supports disclosure preparation. For the exact requirements, always refer to the official GRI source.
A quick mental checklist before you prepare this disclosure — tick each as you settle it.
Key datapoints to prepare
How to prepare it
Request the supplier screening data from Procurement
Translate the disclosure into an internal business question — then adapt it to your organisation's own language.
Use your organisation’s own supplier-onboarding and due-diligence language first, then map it to the reporting disclosure. For example, if your team talks about vendor checks, onboarding review, or third-party due diligence, use those terms in the request and only translate them afterwards for reporting. Keep the ask focused on the data and evidence your team already holds, and check the source disclosure before sign-off.
Please provide the GRI 414-1 data showing the percentage of new suppliers screened using social criteria.
Why it fails: This uses framework language only and does not tell the owner which internal process, system, population, or evidence to pull. It is too abstract for a procurement team to act on quickly and may lead to an incomplete or inconsistent response.
Please send the supplier onboarding extract for [period] showing all newly approved suppliers, which of those completed the social due diligence step, and the calculation of the screened percentage. Include the source report, extract date, and any exclusions or manual changes. Use your team’s own labels for the review step and status fields, and we will map them for reporting.
Notes that turn data into a disclosure
LRA training templates — adapt them to your organisation, and check the official source before sign-off.
State how you defined a new supplier, what counted as a social review, and the basis used to calculate the percentage from the supplier population covered in the period.
Explain what the figure says about how consistently social checks are built into supplier onboarding, and whether the result suggests broad coverage or only partial review of incoming suppliers.
If the percentage moved materially, note whether the change came from a wider onboarding review process, a shift in supplier mix, or a temporary gap in screening capacity.
Preparation tools & forms
Professional preparation tools for GRI 414-1 — free with an LRA Community membership. Register once (it's free) and every download unlocks, together with the Disclosure Library, templates and the LRA AI-assistant.
For each claim, check the evidence
Evidence pack to prepare
Common reporting gaps
Mistakes to avoid when collecting the data
Where judgement is often needed
Illustrative examples
Synthetic, written by LRA — not from a company report, not text from any standard.
*Synthetic illustration only.* During the year, we reviewed 120 newly appointed suppliers and applied our social screening to 90 of them, which means 75% were checked before onboarding. - The remaining 30 suppliers were not yet assessed against those social checks at the point of selection. - This figure is calculated as 90 out of 120, rounded to the nearest whole percentage.
This example shows how to report the share of newly engaged suppliers that were reviewed against social factors, using a simple numerator/denominator and a rounded percentage.
*Synthetic illustration only.* In the reporting period, we added 45 new suppliers and carried out social due-diligence checks on 36 of them, giving a result of 80%. - Nine suppliers were brought in without that review completed at the time of reporting. - The percentage is based on 36 divided by 45, rounded to a whole number.
This example demonstrates the same disclosure for a different sector, with internally consistent counts and a rounded share of newly sourced suppliers that underwent social screening.
How companies report GRI 414-1
Real reports where this topic is disclosed. These are report practice, not exact disclosure templates to copy.

Scenarios to work through
A procurement team onboarded 40 new suppliers this year. Before contracts were signed, 30 were checked against labour, human rights and other social risk criteria, while 10 were not because the team used a fast-track process for low-value purchases.
A business added 12 new suppliers in the year. Eight were checked for social issues before onboarding, and four were approved by a group buying card process with no documented social review because the spend was small.
A preparer has records showing that 18 new suppliers were screened for social matters, but the supplier master file lists 20 new suppliers for the year. Two entries were created late in the year and the reviewer has not yet confirmed whether they were checked before onboarding.
A company brought in 25 new suppliers. Fifteen were screened using a standard social checklist, five were reviewed only for modern slavery risk, and five had no social review at all because they were emergency replacements.
Related framework references
How this disclosure maps across the major reporting frameworks.
Questions this page answers
Use the page’s plain-language explainer and the step-by-step ‘how to prepare’ section to orient yourself, then focus on the datapoint listed for preparation: new supplier screening rate. The page is designed to help you move from source data to a draft disclosure, not to replace your internal process.
The page says the key datapoint to prepare is the new supplier screening rate, so supplier screening records are the starting point. Use the workbook to organise the inputs, then turn them into the draft output section’s narrative and table format.
The page gives a step-by-step ‘how to prepare’ section, which is the place to follow for setting up your scope and method in practice. It also includes common reporting gaps, which can help you check whether your chosen approach is clear and complete before drafting.
The page is aimed at sustainability/ESG managers, HR or data owners, and assurance reviewers, so ownership should sit with the person or team that can trace the screening data and evidence back to source. Use the evidence pack section to decide who can provide each item and who can sign off the final draft.
The page includes an evidence pack with five items for assurance readiness, so build your pack around those items rather than relying on the draft narrative alone. The assurance claims section also helps you link each claim to a risk and supporting evidence.
The page lists common reporting gaps and mistakes, so use that section as a pre-submission check. It is especially useful for spotting where the disclosure may be incomplete, unclear, or not aligned to the data you actually have.
The Download Centre provides a Prep & Assurance workbook in .xlsx format and a printable Library Card in .pdf format. Use the workbook to work through the preparation and assurance steps, and the Library Card as a quick reference while drafting or reviewing.
Yes, but only as a synthetic illustration of how the disclosure can be presented. The page’s example includes a quantitative table and draft-output ideas, so you can mirror the structure while replacing it with your own internally consistent data.
The page includes draft-output guidance with visualisation ideas, narrative starters, and a GRI content-index line. That gives you a practical starting point for turning prepared data into a report-ready draft.
The page notes ESRS S2 (Workers in the Value Chain) as the closest ESRS correspondence. You can reuse the underlying data where it is relevant, but the page does not say the reporting requirements are identical.
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