This disclosure asks an organisation to explain how it supports employees who take parental leave and what actually happens in practice. The focus is not just on whether a policy exists, but on the leave arrangements available, who can use them, and how the organisation tracks take-up and return to work across the workforce.
Practically, the report should cover the organisation’s full employee base rather than only a few well-supported sites or headline examples. It should show whether the approach is applied consistently across operations, and make clear any differences by location, contract type, or employee group where those affect access to parental leave or the way it is used.
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 parental leave metrics from HR systems
Translate the disclosure into an internal business question — then adapt it to your organisation's own language.
Use your organisation’s own people-policy and leave terminology first, then map it to the reporting labels. Keep the request in the language your HR team, payroll team, or people analytics team already uses, and check the source material before sign-off.
Please send the GRI 401-3 parental leave disclosure data.
Why it fails: This is too framework-led and does not tell the owner what to pull from their systems, which period to use, which population is in scope, or how to calculate the follow-up measures. It also leaves the owner to guess the internal labels and the source of truth.
Could you pull the family leave figures for [reporting period] from [source system(s)] for the employees in scope? Please provide the number of employees eligible for the leave, the number who used it, the number who returned during the period after the leave ended, and the number from that return group who were still employed 12 months later, split by [your gender categories]. Please include the return and retention percentages, the counting basis, and any exclusions or manual corrections.
Notes that turn data into a disclosure
LRA training templates — adapt them to your organisation, and check the official source before sign-off.
Explain how you defined the employee groups, how you counted eligibility, leave use, returns, and 12-month retention, and what period and employment status rules you applied when calculating the two rates.
Set out what the figures say about uptake of parental leave and how many people came back and remained employed a year later, so readers can judge both participation and longer-term retention.
If any figure moved noticeably from the prior period, note the main operational reasons you can evidence, such as changes in workforce size, gender mix, leave eligibility, or the timing of returns.
Preparation tools & forms
Professional preparation tools for GRI 401-3 — 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 example only: we report parental-leave take-up and return outcomes by gender, with the figures split between women and men. The rates shown are calculated from the relevant headcounts in each gender group, and the 12-month retention figure counts only those who had already come back and were still employed a year later.
This example shows how to present the gender split, the eligible population, leave take-up, return-to-work outcomes, and the two rates using internally consistent synthetic figures.
Synthetic example only: we set out parental-leave results by gender for our workforce, including who was eligible, who used the leave, who came back in the year, and who remained employed after 12 months. The return and retention percentages are based on the people who took leave in each gender group.
This example demonstrates the same disclosure for a different sector, with a different gender mix and consistent rate calculations.
How companies report GRI 401-3
Real reports where this topic is disclosed. These are report practice, not exact disclosure templates to copy.

Scenarios to work through
A preparer is pulling together the year-end people metrics. One employee took family-related leave in the period, returned before the year closed, and is still on payroll 12 months later.
A HR system records leave by reason, but some records show only 'family leave' and do not separate parental leave from other absences. The preparer also has gender data for each person.
At year-end, 18 employees were entitled to parental leave, 7 took it, 5 returned to work before the reporting date, and 4 of those 5 were still employed 12 months after returning. The preparer is unsure whether the return and retention percentages can be shown because one returner has not yet reached the 12-month point.
A group payroll team has figures for the parent company and two subsidiaries. One subsidiary uses a different leave policy, but all three entities are in the reporting boundary and the preparer wants one combined disclosure.
Related framework references
How this disclosure maps across the major reporting frameworks.
Questions this page answers
Start with the plain-language explainer, then work through the step-by-step preparation section and the listed datapoints. The page also gives draft-output prompts, so you can move from data collection to a first narrative and content-index line.
The page says to prepare employee gender, parental leave eligibility, parental leave takers, return-to-work count, twelve-month retention, return rate, and retention rate. Use those as the core dataset before drafting the disclosure.
Use the step-by-step preparation section to decide what population and period your figures cover, then keep the approach consistent across the listed datapoints. The page is designed to help you document the method clearly enough for review and assurance.
The page is aimed at sustainability and ESG managers, HR teams, data owners, and assurance reviewers, so ownership should sit with the people who can explain the source data and the calculation approach. The evidence pack and assurance claims are there to help those owners prepare a reviewable file.
The page includes an evidence pack with five items to support assurance readiness. Use it alongside the six assurance claims so you can show the source data, the checks performed, and the basis for the final numbers.
The page lists common reporting gaps and mistakes, so it is useful as a pre-submission check before you finalise the disclosure. Review those points after you have populated the datapoints and before you draft the narrative.
Treat the example as a model for structure, not as a source of real figures. It shows how the quantitative table and narrative can be presented, and the numbers are internally consistent for illustration only.
The draft-output section gives visualisation ideas, narrative starters, and a GRI content-index line. Use those to turn your checked data into a concise draft that explains the figures and points readers to the right location in your report.
The Download Centre includes a Prep & Assurance workbook in .xlsx format, which is meant to support preparation and assurance readiness. Use it to organise the datapoints, evidence, and checks before you draft the disclosure.
Yes. The Download Centre includes a printable Library Card PDF, which is useful as a quick reference when you are coordinating data collection, review, and sign-off.
The page says ESRS S1 (Own Workforce) is the closest correspondence, so it can help you think about whether any data you collect is reusable across frameworks. It does not mean the reporting requirements are identical, so you still need to follow the page’s own guidance for this disclosure.
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