This disclosure asks an organisation to explain how much of its security workforce has been trained on the organisation’s human rights policies or procedures. In practice, the focus is on whether the people providing security understand the human rights expectations that apply to their work, and how widely that training has been delivered across the relevant security personnel.
The practical question is coverage: has training reached all security staff, or only certain teams, sites, or contractors? A useful report will make clear the scope of the security personnel included, whether the training applies across operations or only at selected locations, and how the organisation knows the training has been completed.
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 security training evidence
Translate the disclosure into an internal business question — then adapt it to your organisation's own language.
Use your organisation’s own terms first, then map them to the disclosure. For example, if you call this team ‘site protection’, ‘guarding’, ‘contracted security’ or ‘front-of-house security’, keep that language in the request and only translate it later for reporting.
Please provide the GRI 410-1 data showing the percentage of security personnel trained in human rights policies or procedures, and confirm whether third-party security personnel are included.
Why it fails: This uses framework language only, so the owner may not recognise which team, system, or local training record to check. It also does not specify the period, boundary, counting basis, or the organisation’s own names for the training and security groups, so the response may be incomplete or inconsistent.
Please send the security training evidence for [reporting period]: the number of guards / patrol staff / control-room staff in scope, how many completed the human rights or security conduct module, the percentage calculation, and whether contracted security teams are covered by the same training expectation. Use your own team labels and source system names, and include any exclusions or assumptions.
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 the security workforce, what counted as formal instruction, and whether the figures include only the organisation’s own staff or also contracted providers.
Explain what the percentage says about how far rights-related training has been embedded across the security function and whether the same expectations extend to external providers.
If the figure changed from the prior period, note whether the movement reflects more people being trained, changes in the security workforce, or a wider use of external security providers.
Preparation tools & forms
Professional preparation tools for GRI 410-1 — 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.* We trained 184 of our 200 security staff on our human rights rules and the site-level steps they must follow when working on access control, patrols, and incident response, which is **92%**. - The same training requirement also covers the 3 external security providers we use; all 24 of their guards assigned to our sites completed the same programme. - We treat this as a group-wide rule for both our own personnel and contracted security teams, and we check completion before deployment and during refresher cycles.
This example shows how to report the share of security staff who have completed relevant human rights training, and whether the same expectation is extended to contracted security providers.
*Synthetic illustration only.* In our factories and distribution centres, 57 of 60 in-house security officers finished training on our human rights policy and the practical instructions for applying it in day-to-day security work, giving a result of **95%**. - The training rule also applies to outside guarding firms: 18 of 20 contracted guards working for us were required to complete it, and 18 did so. - We apply the same onboarding check to both internal and external security teams before they are allowed to work on our sites.
This example shows how to disclose the proportion of security personnel trained in relevant human rights policies or procedures, and whether third-party security suppliers are included in the training requirement.
How companies report GRI 410-1
Real reports where this topic is disclosed. These are report practice, not exact disclosure templates to copy.

Scenarios to work through
A warehouse operator uses in-house guards at the main gate and a contractor team at the night entrance. The HR team has records showing that 18 of 20 guards completed the organisation’s human rights briefing and the site search procedure, while the contractor’s supervisor says their staff were briefed but has no attendance log.
A logistics depot has 12 security staff. Ten completed an online module on human rights and use-of-force guidance, one completed a classroom session on the same topics, and one new starter is booked onto training next month but has not yet attended.
A retail chain has 40 guards across five stores. The central compliance team has a spreadsheet showing 34 completed the annual human rights refresher, but two stores use a local guarding firm and the spreadsheet does not say whether those guards were included in the training programme.
A manufacturing site has a training matrix showing 15 security officers completed a session on respectful search procedures and escalation rules. The site manager wants to report 100% because all officers attended a toolbox talk, even though only 15 of 18 have formal training records and the remaining 3 only signed a daily briefing sheet.
Related framework references
How this disclosure maps across the major reporting frameworks.
Questions this page answers
The page says to prepare two datapoints: trained security share and contractor training coverage. Use the step-by-step preparation section to work out what you need, then build the draft from those figures and the supporting evidence pack.
Use it as a practical checklist to move from scope and ownership through to data collection, evidence and draft output. It is designed to help you prepare the disclosure rather than to act as a formal standard.
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 confirm the training data and evidence. The workbook is there to help you assign and track those responsibilities.
The page includes an evidence pack with five items for assurance readiness, plus five assurance claims to verify with their related risk and evidence. Use those items to build a clear audit trail for the figures you report.
The page lists common reporting gaps and mistakes so you can check for missing scope, weak evidence, or unclear methodology before finalising the draft. It is meant to help you spot issues early rather than after review.
The page provides draft-output support, including visualisation ideas, narrative starters and a GRI content-index line. Use those to turn the prepared data and evidence into a first draft for internal review.
Yes, as a worked illustration only. The example is synthetic and internally consistent, so it can help you see how the datapoints and table might look, but you still need to replace it with your own company data.
The Download Centre includes a Prep & Assurance workbook in .xlsx format. It is there to support preparation, evidence tracking and assurance readiness, so you can organise the disclosure work in one place.
The Download Centre also includes a printable Library Card in .pdf format. Use it as a quick reference alongside the workbook when you are preparing the disclosure and checking what needs to be evidenced.
No. The page says there is no one-to-one ESRS or IFRS equivalent asserted, so it should be used as a practical guidance page for this disclosure rather than as a framework mapping source.
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