Work-related injuries
Practical guidance for preparing this disclosure. Use this card to identify datapoints, verify claims and organise supporting evidence. For exact requirements, always refer to the official GRI source.
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This disclosure asks an organisation to report on work-related injuries in a way that shows the real scale of the issue across its operations. In practice, that means looking beyond a single site or headline figure and considering where injuries happen, who is affected, and whether the reporting covers the organisation’s full operational footprint or only selected locations.
The practical focus is on completeness and comparability: the information should help readers understand the extent of injuries across the business, not just at flagship sites or the best-performing parts of the organisation. A useful report will make clear the scope covered and present the injury information consistently so trends and hotspots can be understood.
* 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.
| Datapoint | What to capture | Evidence hint | Owner |
|---|---|---|---|
| Worker population covered | State which people are included in the reported worker population, using the organisation’s own employment and engagement categories for the period covered. | Headcount listing, HRIS population extract, contractor/agency register, reporting boundary note. | HR / People Operations |
| Fatal injury count | Capture the total number of work-related deaths in the reporting period, counted as incidents rather than people if that is how the source system records them. | Health and safety incident log, investigation records, insurer or regulator notifications. | Health & Safety |
| Fatal injury rate | Capture the fatal injury rate for the period, using the same fatality count and the same worked-hours basis used in the organisation’s calculation method. | Rate calculation workbook, incident log, hours-worked source, methodology note. | Health & Safety / Reporting |
| Serious injury count | Capture the number of work-related injuries in the period that meet the organisation’s serious or life-changing injury definition, excluding deaths. | Incident register, case classification sheet, medical or investigation records. | Health & Safety |
| Serious injury rate | Capture the rate for serious non-fatal injuries, using the same case definition and the same worked-hours basis as the count. | Rate calculation workbook, incident register, hours-worked source, methodology note. | Health & Safety / Reporting |
| Recordable injury count | Capture the total number of work-related injuries that meet the organisation’s recordable threshold for the period. | Incident log, occupational health records, case classification list. | Health & Safety |
| Recordable injury rate | Capture the recordable injury rate for the period, using the same recordable-case definition and the same worked-hours basis as the count. | Rate calculation workbook, incident log, hours-worked source, methodology note. | Health & Safety / Reporting |
| Injury types | List the main kinds of work-related injury seen in the period, grouped in a way that reflects the organisation’s incident coding and reporting practice. | Incident trend report, injury coding summary, safety dashboard. | Health & Safety |
| Hours worked total | Capture the total hours worked in the reporting period that are used as the denominator for the injury rates. | Payroll or time-records extract, roster data, contractor hours file, calculation workbook. | HR / Payroll |
| Serious hazard list | Describe the workplace hazards that could lead to a serious injury, based on the organisation’s own risk assessment and incident review process. | Risk register, hazard assessments, safety inspection reports, incident analysis. | Health & Safety |
| Hazard identification method | Explain how the serious-injury hazards were identified, including the sources, review steps and criteria used to decide what was in scope. | Risk assessment methodology, workshop notes, audit trail from hazard review. | Health & Safety / Risk |
| Hazards behind serious cases | Identify which of the serious-injury hazards actually led to, or helped cause, serious injuries during the reporting period. | Incident investigations, root-cause analysis, case-to-hazard mapping. | Health & Safety |
| Serious hazard controls | Describe the actions already completed or in progress to remove serious-injury hazards or reduce the risk, showing the control measures chosen and their status. | Action tracker, risk treatment plan, project updates, control implementation records. | Health & Safety / Operations |
| Other hazard controls | Describe the actions already completed or in progress to remove other workplace hazards or reduce the risk, using the organisation’s control hierarchy approach. | Action tracker, risk treatment plan, safety improvement log. | Health & Safety / Operations |
| Rate calculation basis | Explain the formula and inputs used to calculate the injury rates, including the numerator, denominator, time period and any scaling factor. | Calculation workbook, methodology note, reporting pack. | Reporting / Finance |
| Worker exclusions flag | Confirm whether any workers were left out of this disclosure. | Disclosure checklist, boundary sign-off, population reconciliation. | Reporting / HR |
| Exclusion details | If anyone was left out, state why they were excluded and which worker groups were excluded from the disclosure. | Boundary memo, exclusion rationale, population reconciliation note. | Reporting / HR |
| Compilation notes | Provide any extra context needed to understand how the figures were assembled, including the methods, assumptions and any standards applied. | Methodology note, reporting instructions, assumptions log, sign-off pack. | Reporting |
Show GRI 403-9 sub-elements (LRA working checklist)
- Check that you have described the actions already taken, or still in progress, to remove other job-related dangers and reduce risk by applying the control hierarchy.
- Check that you have described the actions already taken, or still in progress, to remove job-related dangers that could lead to severe injury and reduce risk by applying the control hierarchy.
- Include any background needed to make the figures understandable, such as the methods, assumptions, and other reporting rules used to compile them.
- State the calculation basis used for the rates.
- Identify the people covered as staff and other workers.
- Say whether any workers were left out of this disclosure.
- Explain how you identified the job-related dangers that could lead to severe injury.
- Set out the main categories of job-related injury.
- Report the number of deaths caused by job-related injury.
- Report the number of severe job-related injuries, excluding deaths.
- Report the total hours worked.
- Report the number of recordable job-related injuries.
- State the death rate from job-related injury.
- State the rate for severe job-related injuries, excluding deaths.
- State the rate for recordable job-related injuries.
- Explain why any workers were left out, and identify the kinds of workers excluded.
- Identify which job-related dangers that could lead to severe injury caused, or helped cause, severe injuries during the reporting period.
- Identify the job-related dangers that could lead to severe injury.
LRA working checklist - paraphrased; see official source
- Set the reporting boundary first. Decide which people are in scope, then keep that scope consistent across the whole disclosure so the figures and narrative all refer to the same worker population.
- Define the measures you will use before you start counting. Separate the different injury categories, the related rates, the main injury types, the hours worked figure, and the hazard descriptions so each item is captured in the right form.
- Gather the source records that support each figure and statement. Use incident logs, investigation notes, payroll or time records, and risk assessments to back up the counts, rates, hazard descriptions, and control actions.
- Compile the disclosure content in one place. Include the numbers, the rate calculations, the main injury types, the hazards linked to serious harm, how those hazards were identified, which ones led to serious injuries in the period, and the actions taken or in progress to reduce risk.
- Record any exclusions and explain them clearly. If any workers are left out, state who they are and why they were omitted, and add any context needed to make the compilation method understandable, including the standards, methods, and assumptions used.
- Check the final draft against the source requirements. Confirm that every required item is covered, the rate basis is explained, the scope is consistent, and the wording matches the underlying evidence without adding or omitting anything.
Translate the disclosure into an internal business question — then adapt it to your organisation's own language.
Use your organisation’s own incident, injury, case, and hours-worked terms first, then map them to the reporting fields. Keep the ask in the language your EHS, site, or operations teams already use, and check the source material before sign-off.
Please provide the GRI 403-9 data for the year, including all required injury metrics and narrative disclosures.
Please send the site incident and case data for [period] from [system], covering [boundary]. Include our internal case counts for fatal, severe, and recordable injuries, the hours worked used for the rates, the main injury types, the hazards linked to severe cases, the control actions in place or underway, any excluded worker groups, and a short note on how the figures were compiled.
Formal email template
Subject: Request for injury, hours, and control data for [reporting period] Hello [name/team], Could you please send the incident and exposure data we need for [reporting period] across [boundary / sites / entities]? Please include: - the count of fatal cases - the count of severe injury cases, excluding fatalities - the count of recordable injury cases - the hours worked used for the rates - the main injury types seen in the period - the hazards linked to severe injury risk - which hazards actually led to or contributed to severe cases in the period - the actions in place or underway to remove or reduce those hazards - the actions in place or underway for other hazards - the method used to calculate the rates - any worker groups left out, with the reason - any notes needed to explain how the data were compiled, including assumptions or standards used Please return the data in a table and add a short note on source system, boundary, and any known gaps. A possible LRA training template is attached/outlined here; adapt this to your organisation’s own terms and check the source material before sign-off. Many thanks, [preparer name]
Short Teams / Slack version
Hi [name/team] — could you share the injury, hours, and hazard-control data for [period] across [sites/entities]? Please include the case counts, hours worked, rate basis, main injury types, hazards linked to severe cases, actions taken, any excluded worker groups, and a short note on source and assumptions. Please use your own team’s terms and then map them for reporting. Thanks, [name]
Manufacturing
Context. Multiple plants with a central safety team and site-level incident logs
Adapted request. Hi [safety lead], please pull the plant incident log and hours-worked data for [period] across [plants]. Include fatal cases, severe injury cases excluding fatalities, recordable cases, hours worked, the main injury types, the hazards behind severe cases, the controls in place or underway, any excluded worker groups, and the calculation basis used for the rates.
Example response. Attached is a table by plant and worker group, with source system, extract date, boundary, hours basis, case counts, rate method, hazard notes, control actions, and a note that agency staff are included but visitors are excluded.
Logistics / Warehousing
Context. Warehouse operations with contractor and agency labour tracked separately
Adapted request. Hi [operations safety team], could you share the warehouse injury and exposure data for [period] from the incident tracker and roster system? Please include fatal, severe, and recordable cases, hours worked, the main injury types, the hazards linked to severe cases, the actions taken or underway to reduce those hazards, any worker groups left out, and the method used to calculate the rates.
Example response. Returned file includes warehouse, transport yard, and office support rows; agency workers are included, subcontracted maintenance is excluded, and the notes explain that rostered hours were used where payroll hours were unavailable.
The full request pack — response form, data table, evidence metadata and sign-off — is in the Download Centre.
LRA training templates — adapt them to your organisation, and check the official source before sign-off.
State how the organisation defines the people covered, how it counts each injury category, how it calculates the rates, and what it includes in the hours-worked figure used as the exposure basis.
Explain what the figures indicate about safety performance, including whether the organisation had any deaths, serious injuries, or other reportable injuries, which injury types were most common, and which hazards needed the most attention.
If the numbers changed materially, note whether the movement was driven by changes in headcount, hours worked, incident patterns, hazard exposure, reporting practices, or the effect of new or strengthened controls.
GRI 403-9 Work-related injuries — [location / page] / [notes]
Professional preparation tools and forms for GRI 403-9. Each download includes a concise “How to use” guide.
| Claim | Risk | Evidence to check |
|---|---|---|
| We built the coverage figure from our employee and worker population for the reporting period, using the same inclusion rules throughout and checking that the headcount basis matched the rest of the disclosure. | The assurer may test whether the population counted is complete, whether the same inclusion rules were applied consistently, and whether the figure aligns with the period and other reported metrics. | Population listing used for the disclosure; inclusion/exclusion rules; period-end headcount or equivalent source; reconciliation to payroll/HR records; working papers showing how the coverage figure was assembled and reviewed before publication. |
| We compiled the fatality count from incident records and confirmed each case was work-related before including it in the published figure. | The assurer may probe whether every case is supported by evidence, whether any deaths were missed or double-counted, and whether the work-related link was assessed consistently. | Incident logs; investigation reports; case files; medical or legal confirmation where available; management review notes; reconciliation showing how the final count was derived from source records. |
| We calculated the fatality rate from the final fatality count and the agreed exposure base, then checked the arithmetic and units before release. | The assurer may test whether the rate formula was applied correctly, whether the exposure base is the one used across the report, and whether rounding or unit choices distort the result. | Rate calculation sheet; source count for fatalities; exposure base used in the denominator; formula note; spreadsheet checks; sign-off evidence showing the calculation was reviewed before publication. |
| We prepared the count of severe injuries from our case register, excluding deaths, and checked that each case met our internal severity threshold before it was included. | The assurer may challenge whether the severity threshold was applied consistently, whether fatal cases were excluded properly, and whether the case register is complete and accurate. | Injury case register; severity assessment criteria; investigation files; exclusion log for fatal cases; review notes from the person compiling the figure; reconciliation to health and safety records. |
| We derived the severe-injury rate from the final case count and the agreed exposure base, and we verified the calculation before sign-off. | The assurer may examine whether the denominator is correct, whether the rate has been calculated consistently with other injury rates, and whether the working papers support the published number. | Rate workbook; source case count; exposure base; calculation formula; evidence of independent check; approval trail for the published figure. |
| We assembled the recordable injury total from our incident system, using the same inclusion rules across sites and checking for duplicates before finalising the number. | The assurer may test whether all qualifying cases were captured, whether duplicate events were removed correctly, and whether site-level reporting was consistent. | Incident system export; site submissions; inclusion rules; duplicate-check log; reconciliation between local and central records; review and approval evidence. |
- The governing policy or written commitment behind this disclosure
- A methodology / definition note setting out how the disclosure was scoped and prepared
- Source-system exports the figures or facts were drawn from
- The internal approval / sign-off record for the disclosure before publication
- Minutes or records evidencing the relevant engagement or consultation
- A percentage is stated without the underlying counts (numerator and denominator).
- The denominator — what the figure is a share of — is not explained.
- Partial scope is reported as if it were complete coverage.
- One-off activities are counted as if they were ongoing programmes.
- Boundary or period changes that move the figure are not flagged.
- Exclusions from the reported scope are not listed or explained.
- Wrong data owner
Chasing the wrong team for injury figures means the numbers come from a group that does not hold the incident logs, payroll hours, or case notes needed to build the disclosure.
- Framework language only
Asking for the data in reporting jargon instead of the organisation’s own terms leaves local teams unsure which incident records, case types, or worker groups they should pull.
- Scope not pinned down
Failing to define which sites, entities, and worker groups are in scope leads to a mixed dataset that cannot be traced back to a clear boundary.
- Wrong period basis
Using a different date range for incidents, hours worked, and case counts creates a mismatch that makes the rate calculations unreliable.
- Counting bases mixed up
Combining raw counts with rate inputs from different methods, such as one team using calendar-year totals and another using live system extracts, produces figures that do not reconcile.
- Source labels lost
Copying data into a new file without keeping the original case IDs, incident categories, and system labels makes it hard to prove where each figure came from.
- Populations merged
Putting employees, agency staff, and other worker groups into one bucket when they should be tracked separately hides differences in the underlying injury data.
- Evidence trail missing
Collecting the figures without saving the supporting reports, assumptions, and sign-off record leaves no clear path to show how the numbers were built.
- Set the reporting perimeter after acquisitions and disposals
Decide whether to include injury data only for sites and teams under control at period end or to bring in bought-in and sold-off operations for the time they were in scope, and explain the cut-off used.
- Align injury categories where local rules differ
Where country systems label or count incidents differently, map them to one internal set of injury types, state the mapping, and note any local exceptions that affect the totals or rates.
- Handle agency, contractor and other near-boundary workers consistently
Make a clear call on which non-employees sit inside the dataset, describe the rule used to include or leave out each worker group, and disclose any exclusions with the reason.
- Choose one hours-worked basis and keep it stable
Use a single method for the hours figure behind the rates, such as payroll time, rostered time or an estimate, and say if the approach changed during the year or differs by country or business unit.
- State how late reports and reopened cases are treated
Explain whether incidents are counted when they happen, when they are logged, or when they are confirmed, and disclose how later corrections, reclassifications and backdated cases were handled.
- Explain when estimates are used instead of direct counts
If some figures are built from sampling, extrapolation or management judgement, identify which parts are estimated, why that was needed, and how the estimate was checked against source records.
- Be explicit about rounding and rate precision
Set out the rounding rule for counts and percentages, apply it consistently across all injury measures, and make sure the published rates still reconcile to the underlying hours and incident totals.
- Protect privacy when small teams could be identified
If a site, team or country is so small that naming the injury mix could identify people, aggregate the data further and say what grouping rule was used and why.
- Describe how mixed reporting systems were normalised
Where different parts of the business use different incident logs, medical classifications or safety systems, explain the conversion steps used to produce one group-wide view and any assumptions behind them.
Synthetic, written by LRA — not from a company report, not text from any standard.
| Category | Employees | Other workers under our control | Total |
|---|---|---|---|
| People covered | 1,200 | 300 | 1,500 |
| Hours worked | 2,160,000 | 540,000 | 2,700,000 |
| Work-related fatalities | 0 | 0 | 0 |
| High-consequence injuries excluding fatalities | 1 | 0 | 1 |
| Recordable injuries | 3 | 1 | 4 |
| Main injury types | 2 | 2 | 4 |
We report injury outcomes for our own workforce and other people working under our control, using hours worked as the exposure base. During the period, we recorded no work-related deaths, one severe injury, and four other recordable injuries; the main injury patterns were cuts, strains and slips. The main severe-risk areas were moving machinery, vehicle movements, and manual handling; we identified them through task risk reviews, incident investigations, and site inspections, and we are acting through elimination, guarding, traffic separation, redesign of tasks, training, and other controls.
| Category | Employees | Agency workers | Total |
|---|---|---|---|
| People covered | 850 | 150 | 1,000 |
| Hours worked | 1,530,000 | 270,000 | 1,800,000 |
| Work-related fatalities | 0 | 0 | 0 |
| High-consequence injuries excluding fatalities | 1 | 1 | 2 |
| Recordable injuries | 4 | 2 | 6 |
| Main injury types | 3 | 3 | 6 |
We summarise safety performance for our employees and agency workers using total hours worked as the basis for the rates. There were no deaths, two severe injuries, and six recordable injuries; the main injury types were sprains, crush injuries and falls. The severe-risk issues were forklift interaction, loading dock falls, and lifting tasks, identified through near-miss trends, supervisor checks, and formal risk assessments; we are addressing them with removal, engineering changes, segregation, work redesign, maintenance, and targeted training.
How to turn the collected data into a draft disclosure. The charts below are drawn from the illustrative figures above — swap in your own data.
Other views you could build
- Workforce injury profile — stacked bar: How the workforce is split across fatal cases, serious non-fatal injuries, and other recordable injuries, so readers can compare the relative weight of each outcome.
- Injury rates over the reporting period — line: The reported rates for fatalities, serious non-fatal injuries, and recordable injuries across the period, if the organisation tracks them over time.
- Injury counts and exposure — bar: A side-by-side view of the number of fatalities, serious non-fatal injuries, and recordable injuries alongside total hours worked, to help frame the figures against exposure.
- Main injury types — bar: The most common kinds of work-related injury, showing which injury categories appear most often in the reported data.
- High-risk hazards and controls — table: The main workplace hazards that could lead to serious injury, how those hazards were identified, which ones were linked to serious injuries in the period, and the actions being taken to reduce risk using the control hierarchy.
What separates a figure from a disclosure.
We recorded 2 work-related injuries and 0 fatalities.
We recorded 2 work-related injuries, 0 fatalities and 120,000 hours worked, with rates calculated using hours worked and our standard incident definitions.
We reported 2 work-related injuries and 0 fatalities across our workforce for the year to 31 December 2025, based on 120,000 hours worked and our usual incident-counting method, and the small rise from last year reflects more site activity rather than a change in safety performance.
Real reports where this topic is disclosed. The confidence label shows how closely each match maps to GRI 403-9 — these are report practice, not exact disclosure examples.
| Company | Sector · Country | Year | Match | Page | Report | Assurance | ||||||||||||||||||||||||||||||||||||||||||||||||||||||||||
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| Grupo Cibest S.A. | Banks / Diverse Financials / Insurance · Colombia | 2025 | Topic-family | p. 195 →p. 196 →p. 199 → | Management Report 2025 → | PwC | ||||||||||||||||||||||||||||||||||||||||||||||||||||||||||
Evidence in Grupo Cibest S.A.’s reportWhat the report shows Grupo Cibest S.A.'s 2025 Management Report provides partial information on work-related accident injuries, mentioning incidents with major consequences and identifying main hazards on page 201. The report also references work-related illnesses and some measures taken, including issues related to dynamic load and prolonged postures, on page 203. However, the report lacks clear narrative or numeric data for most other required disclosure items, with no quotable evidence found for several key narrative and numeric datapoints.
Evidence-based summary of this company’s own report — not a disclosure template to copy, and not a compliance verdict. Datapoint coverage
Source trail
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| Indra Sistemas, S.A. | Software and Services · Spain | 2025 | Exact | p. 125 →p. 126 →p. 205 → | Sustainability Report 2025 → | — | ||||||||||||||||||||||||||||||||||||||||||||||||||||||||||
Evidence in Indra Sistemas, S.A.’s reportWhat the report shows Indra Sistemas, S.A.'s Sustainability Report 2025 provides several covered datapoints related to work-related injuries and fatalities, including numeric values for work-related injuries and fatalities on page 126 and percentage values on page 233. The report also includes a narrative on risk reduction before work commencement on page 122 and references to cases related to competition on page 159. However, several narrative items such as (c-i), (c-ii), (c-iii), and (d) are not found, and some narrative items like (a-iv) and (g) on page 204 provide supporting context but lack headline values, while narrative item (e) remains unclear with no quotable evidence.
Evidence-based summary of this company’s own report — not a disclosure template to copy, and not a compliance verdict. Datapoint coverage
Source trail
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| Delta Electronics, Inc. | Technology Hardware and Equipment · Taiwan | 2024 | Partial | p. 46 →p. 241 →p. 242 → | 2024 Delta ESG Report → | PwC | ||||||||||||||||||||||||||||||||||||||||||||||||||||||||||
Evidence in Delta Electronics, Inc.’s reportWhat the report shows Delta Electronics, Inc.'s 2024 ESG Report provides detailed numeric and percentage data on work-related injuries and fatalities, reporting zero fatalities due to work-related ill health and fire incidents (p.228, p.230), a total of over 2010 million work hours (p.227), and a recordable work-related injury frequency rate (TRIFR) of 0.50, meeting their 2024 target (p.227). The report also mentions a fine imposed for work-related hazards prior to operation (p.102). However, several narrative disclosures, including items (a-iv), (a-v), (c-i) to (c-iii), (d), and methodology-related narratives (e) and (g), are not found or unclear in the report.
Evidence-based summary of this company’s own report — not a disclosure template to copy, and not a compliance verdict. Datapoint coverage
Source trail
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A site team logs one fatal incident, two serious injuries that led to long absences, and six other reportable injuries during the year. The reporting pack also shows 120,000 hours worked across employees and agency staff.Which injury figures and work-time basis should you pull together so the disclosure is complete and the rates can be checked?
A contractor injury review finds that a machine-guarding failure caused a severe hand injury, while repeated slips on a wet loading bay caused several less serious cases. The draft narrative only says “safety incidents were reduced” and does not separate the causes.How should you describe the main injury patterns and the hazards that led to the serious case?
The health and safety team calculated injury rates using only permanent staff hours, even though temporary agency workers were included in the injury log. They also excluded one overseas depot because its records were incomplete, but this is not mentioned in the draft.What extra explanation do you need to add so readers can understand the figures and any exclusions?
A draft disclosure lists the injury numbers and rates, but the safety manager says the team used internal incident logs, a 12-month reporting window, and a local severity classification that differs from the insurer’s wording. None of that is currently explained.What contextual detail should be added before sign-off?
See how companies actually report GRI 403-9 — drawn from their own published reports, with the exact pages, and an LRA AI-assistant that works through it with you. Available to LRA Community members and to students throughout their platform access.
How this disclosure maps across the major reporting frameworks.
How do I use the GRI 403-9 page to prepare the disclosure from scratch?
Start with the plain-language explainer and the step-by-step ‘how to prepare’ section, then work through the datapoints to prepare and the draft-output section. The page is designed to help you move from scope and data collection to a draft disclosure, not to replace your own internal process. ↑ section
What data do I need to collect for GRI 403-9 Occupational Health and Safety?
The page lists the datapoints to prepare, including worker population covered, injury counts and rates, hours worked, hazard information, exclusion details and compilation notes. Use that list as your collection checklist so you can build the disclosure and the evidence pack in a structured way. ↑ section
How should I decide the scope for GRI 403-9 and what worker exclusions need to be shown?
The page tells you to capture the worker population covered, a worker exclusions flag and exclusion details, so scope needs to be set before you finalise the numbers. Keep the scope decision and any exclusions clear in your working papers and compilation notes. ↑ section
How do I calculate the injury rates for GRI 403-9 in a way that is consistent with the page?
The page includes a rate calculation basis datapoint, so you should document the basis you used and keep it consistent across the injury metrics you report. The workbook and compilation notes are there to help you show how the figures were built. ↑ section
What should I include in the evidence pack for GRI 403-9 if I want to be assurance-ready?
The page says there is an evidence pack with five items for assurance readiness, and it also lists six assurance claims to verify with claim, risk and evidence. Use those materials to assemble support for the figures, the scope decisions and the hazard information before review. ↑ section
What are the most common mistakes to avoid when drafting GRI 403-9?
The page includes a section on common reporting gaps and mistakes, so it is worth checking your draft against that before sign-off. In practice, the main risk is leaving scope, exclusions, calculation basis or supporting notes too vague for review. ↑ section
How do I use the Prep & Assurance workbook for GRI 403-9?
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, track evidence and capture the notes you will need for the draft. ↑ section
What can I use the printable Library Card PDF for on GRI 403-9?
The Download Centre also includes a printable Library Card in .pdf format, which is useful as a quick reference while you are preparing the disclosure. It can help you keep the key datapoints and process steps in view without working from the full page. ↑ section
Are there example disclosures I can use to see what a GRI 403-9 draft might look like?
Yes — the page includes synthetic illustrative example disclosures, including a quantitative data table. They are there to show how the information can be presented, so treat them as examples only and keep your own figures internally consistent. ↑ section
How does the GRI 403-9 page relate to ESRS S1 Own Workforce, and can I reuse the data?
The page says the closest ESRS correspondence is ESRS S1 (Own Workforce), so the same underlying data may be reusable across both reporting exercises. That does not mean the requirements are identical, so you still need to check the specific disclosure needs for each framework. ↑ section
- GRI 403-9 Occupational Health and Safety workbook download how to use it
- GRI 403-9 evidence pack what documents are needed for assurance
- GRI 403-9 worker exclusions flag and exclusion details how to report
- GRI 403-9 hours worked total and rate calculation basis guidance
- GRI 403-9 serious hazard list and hazard identification method examples
- GRI 403-9 hazards behind serious cases and serious hazard controls what to include
- GRI 403-9 common reporting gaps mistakes to avoid before assurance
- GRI 403-9 draft output narrative starters and content index line
- GRI 403-9 synthetic illustrative example disclosure table how to read
- GRI 403-9 from company reports table where to find published examples
- GRI 403-9 closest ESRS S1 own workforce data reuse
- GRI 403-9 compilation notes what should be documented
Get a practical answer for your reporting context. Your first answer is free — create a free account to continue the conversation.
Sources, status and disclaimer
This LRA assistance tool is designed for educational and internal data-collection purposes. It is not an official interpretation of the GRI Standards, IFRS Sustainability Disclosure Standards or EU CSRD/ESRS requirements. When applying these frameworks in professional practice, users should consult and double-check the official standards, guidance and applicable regulatory sources.