GRI 401: Employment 2016
GRI Standard and disclosure | Reference | Omission reason and Comment | ||||
401: 3-3 |
Management of material topics |
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401-1 |
New employee hires and employee turnover |
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401-2 |
Benefits provided to full-time employees that are not provided to temporary or part-time employees |
Omission reason: Information unavailable/incomplete Comment: Part-time employees generally receive the same eligibility for employee benefits as full-time workers. Eligibility may require a minimum level of work hours in some countries. Employees with temporary contracts, however, may not be entitled to all company benefits, such as a company pension. |
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401-3 |
Parental leave |
GRI 402: Labor/Management Relations 2016
GRI Standard and disclosure | Reference | Omission reason and Comment | ||||
402: 3-3 |
Management of material topics |
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402-1 |
Minimum notice periods regarding operational changes |
Omission reason: Not applicable Comment: The regulations on periods of notice vary worldwide. We apply the rules that are in force locally and do not track periods of notice at Group level. |
GRI 403: Occupational Health and Safety 2018
GRI Standard and disclosure | Reference | Omission reason and Comment | ||||
403: 3-3 |
Management of material topics |
Comment: The disclosures under GRI 403 pertain to our main employee groups, for example our own employees as well as supervised temporary staff. They do not include employees of contractors. Consequently, not all the employee groups specified by GRI are taken into consideration. |
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403-1 |
Occupational health and safety management system |
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403-2 |
Hazard identification, risk assessment, and incident investigation |
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403-3 |
Occupational health services |
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403-4 |
Worker participation, consultation, and communication on occupational health and safety |
Comment: Occupational health and safety committees are required by law in Germany. All employees of Merck KGaA, Darmstadt, Germany, are therefore represented by such committees, which operate at site level. They account for around 6% of our total workforce. The majority of sites outside Germany also have health and safety committees to represent their employees. The organization of these committees is the responsibility of our individual sites. Health and safety issues are governed Group-wide by our EHS Policy. The organizational implementation of this policy is the responsibility of our individual sites and is subject to local laws and regulations. Merck KGaA, Darmstadt, Germany, has company agreements in place on occupational health and safety. |
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403-5 |
Worker training on occupational health and safety |
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403-6 |
Promotion of worker health |
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403-7 |
Prevention and mitigation of occupational health and safety impacts directly linked by business relationships |
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403-8 |
Workers covered by an occupational health and safety management system |
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403-9 |
Work-related injuries |
Comment: We have identified the lost time injury rate (LTIR) as a key indicator for our company. |
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403-10 |
Work-related ill health |
Omission reason: Information unavailable/incomplete Comment: At Group level, we do not collect data about the types of potential work-related illnesses or fatalities. Our sites may collect data on occupational illness as needed. We are reviewing consolidation at Group level for fiscal 2024. |
GRI 404: Training and Education 2016
GRI Standard and disclosure | Reference | Omission reason and Comment | ||||
404: 3-3 |
Management of material topics |
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404-1 |
Average hours of training per year per employee |
Omission reason: Not applicable Comment: We do not keep track of the average hours our employees spend on vocational training and continuing education because this indicator does not have any bearing on the quality or success of our efforts. |
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404-2 |
Programs for upgrading employee skills and transition assistance programs |
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404-3 |
Percentage of employees receiving regular performance and career development reviews |
GRI 405: Diversity and Equal Opportunity 2016
GRI Standard and disclosure | Reference | Omission reason and Comment | ||||
405: 3-3 |
Management of material topics |
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405-1 |
Diversity of governance bodies and employees |
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405-2 |
Ratio of basic salary and remuneration of women to men |
Omission reason: Not applicable Comment: As a core principle, our compensation systems and processes do not distinguish between women and men. The salaries we offer are predicated on the respective job description and are based on our Global Job Catalog, which has fixed salary bands that are identical for men and women. Variable salary components that fall under performance-based compensation are paid based on whether mutually agreed targets have been achieved. A performance management system governs this process. |
GRI 406: Non-discrimination 2016
GRI Standard and disclosure | Reference | Omission reason and Comment | ||||
406: 3-3 |
Management of material topics |
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406-1 |
Incidents of discrimination and corrective actions taken |
Omission reason: Confidentiality constraints
Comment: Due to the sensitive nature of discrimination cases and to avoid conclusions about individual cases, we do not report on |
GRI 407: Freedom of Association and Collective Bargaining 2016
GRI Standard and disclosure | Reference | Omission reason and Comment | ||||
407: 3-3 |
Management of material topics |
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407-1 |
Operations and suppliers in which the right to freedom of association and collective bargaining may be at risk |
GRI 408: Child Labor 2016
GRI Standard and disclosure | Reference | Omission reason and Comment | ||||
408: 3-3 |
Management of material topics |
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408-1 |
Operations and suppliers at significant risk for incidents of child labor |
GRI 409: Forced or Compulsory Labor 2016
GRI Standard and disclosure | Reference | Omission reason and Comment | ||||
409: 3-3 |
Management of material topics |
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409-1 |
Operations and suppliers at significant risk for incidents of forced or compulsory labor |
GRI 410: Security Practices 2016
GRI Standard and disclosure | Reference | Omission reason and Comment | ||||
410: 3-3 |
Management of material topics |
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410-1 |
Security personnel trained in human rights policies or procedures |
Omission reason: Information unavailable/incomplete Comment: As part of our Security Governance Framework, we plan to integrate human rights aspects even more strongly into security-relevant processes, for instance in training courses for security personnel. To this end, we plan to offer webinars on the topic of human rights on the established Security Academy platform in regular intervals, among other things. |
GRI 414: Supplier Social Assessment 2016
GRI Standard and disclosure | Reference | Omission reason and Comment | ||||
414: 3-3 |
Management of material topics |
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414-1 |
New suppliers that were screened using social criteria |
Omission reason: Not applicable Comment: We do not report the “percentage of new suppliers that were screened using social criteria” since this information is not relevant for managing our sustainable supplier management activities. |
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414-2 |
Negative social impacts in the supply chain and actions taken |
Omission reason: Information unavailable/incomplete
Comment: We work closely with our strategic suppliers and monitor various risk domains via our supplier risk assessment. In doing so, we support our suppliers with improvements and measures to minimise risk. Due to the large number of our suppliers, we do not have data for |
GRI 416: Customer Health and Safety 2016
GRI Standard and disclosure | Reference | Omission reason and Comment | ||||
416: 3-3 |
Management of material topics |
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416-1 |
Assessment of the health and safety impacts of product and service categories |
Omission reason: Not applicable Comment: All pharmaceuticals are subject to reporting and notification requirements, which we fulfill. In line with the statutory requirements, we provide our customers with relevant information on the safe handling and use of our chemical products. We report on the individual requirements in the respective chapters. |
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416-2 |
Incidents of non-compliance concerning the health and safety impacts of products and services |
Comment: As applicable, we report on risks from litigation and legal proceedings in our Report on Risks and Opportunities. |
GRI 417: Marketing and Labeling 2016
GRI Standard and disclosure | Reference | Omission reason and Comment | ||||
417: 3-3 |
Management of material topics |
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417-1 |
Requirements for product and service information and labeling |
Omission reason: Not applicable Comment: All pharmaceuticals are subject to reporting and notification requirements, which we fulfill. In line with the statutory requirements, we provide our customers with relevant information on the safe handling and use of our chemical products. We report on the individual requirements in the respective chapters. |
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417-2 |
Incidents of non-compliance concerning product and service information and labeling |
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417-3 |
Incidents of non-compliance concerning marketing communications |
Comment: As applicable, we report on risks from litigation and legal proceedings in our Report on Risks and Opportunities. |
GRI 418: Customer Privacy 2016
GRI Standard and disclosure | Reference | Omission reason and Comment | ||||
418: 3-3 |
Management of material topics |
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418-1 |
Substantiated complaints concerning breaches of customer privacy and losses of customer data |