Policies & Certificates

Home Policies & Certificates

Policy Documents

Pharmed UK provides innovative, high quality surgical solutions and patient monitoring equipment throughout the UK and Europe. We provide the highest level of service and support to our customers. Pharmed UK specialise in the following areas:

Neurosurgery, Spine, Orthopaedics, Patient Monitoring, Biologics, in addition to providing maintenance and repair services to our Customers.

The Company acknowledges its obligations towards its customers, employees and the communities in which it works, and this is reflected in its policy in relation to labour standards. The Pharmed Group Management define this policy as relevant to the organisation itself, its contractors, subcontractors, suppliers and other parties engaged through the supply chain.

Scope of Policy
In the first instance, Pharmed UK is applying this policy to the products it anticipates supplying into the NHS via the NHS supply chain through various Frameworks.

Specifically, these products are from our following divisions: surgical, laboratory, biologics and monitoring.

The Pharmed Group seeks to implement a policy which is appropriate in nature and scale to the Company and in line with its status, as defined by EU law, as an SME.

Continual Improvement
The Company commits to periodically review this policy in order to continually improve, taking into consideration changes in legislation, and any other requirements to which the Company subscribes, and in order to ensure the adequacy, suitability and continuing effectiveness of the policy.
Specifically, the policy will be routinely reviewed at the Company’s Management Review Meetings and will be integrated into its QMS.

  1. Minimum Labour Standards
    The Company has identified the following compelling reasons to establish a comprehensive system of Minimum Labour Standards to guide it in its business operations.
  2. Ethical Responsibilities – the Company acknowledges its obligations towards its customers, employees and the communities in which it works arising from its business operations and wishes to work and trade in an ethical fashion.
    Threat to Security of Supply – the Company has identified that labour standards abuses in supply chains can pose a risk to the security of supply. Any supply chain partners perpetrating abuses face legal enforcement action which may damage business and interfere with their ability to continue to supply.
  3. Adverse Publicity and Damage to the Company’s Reputation – adverse publicity from the discovery of labour standards abuses in the Company’s supply chain presents reputational and structural risks as follows
    1. (a) income – customers may choose to purchase supplies and services from other providers
    2. (b) staff recruitment and retention – staff may choose not to work for a Company associated with any labour standards abuses and this may lead to poor morale in the work place and
    3. difficulty in recruitment(c) loss of trust – both with customers and suppliers and also within the wider community.
  4. Reduced Quality Of Goods And Services – the Company recognises that there is commonly a link between poor labour standards and poor quality of goods and services. To this end, it is in the interest of the Company to ensure its suppliers reach minimum labour standards targets at all times.

These Minimum Labour Standards Are:

  1. Child Labour – the Company does not engage in or support the use of child labour. If the company engages any young workers (eg: on work experience), it will ensure that a suitable risk assessment is carried out and that young persons are not exposed to any hazardous conditions, or in any case work more than 8 hours per day.
  2. Forced & Compulsory Labour – the Company shall not engage in or support the use of forced or compulsory labour, or bonded or involuntary prison labour. Employees are free to leave upon reasonable notice.
  3. Health & Safety – the Company shall provide a safe and healthy workplace environment and shall take effective steps to prevent potential accidents and injury to employees’ health by minimizing, so far as is reasonably practicable, and in co-operation with its employees, the causes of hazards inherent in the workplace. All employees will receive safety and job specific instructions during the course of their employment with the company. Employees shall have access to clean sanitary facilities and drinking water. Responsibility for implementing the Health & Safety element of this policy is assigned to the Financial & Operations Director.
  4. Freedom of Association – the freedom of association is respected and the Company will comply with UK labour relations legislation in this regard.
  5. Discrimination – the Company shall not engage in or support any discriminatory practices in hiring, remuneration, access to training, promotion, termination or retirement based on race, national or social origin, caste, religion, gender, sexual orientation, political affiliations, age or other conditions that could give rise to discrimination. The Company has an Equal Opportunities Policy which is shown to all new employees at induction.
  6. Disciplinary Practices – the Company shall treat all employees with dignity and respect. The Company shall not engage in or tolerate the use of corporal punishment, mental or physical coercion or verbal abuse of personnel. No harsh or inhumane treatment is allowed.
  7. Working Hours – the Company shall comply with applicable laws and industry standards on working hours and holiday entitlements. The Company’s normal working hours do not exceed 48 hours per week, and overtime hours do not exceed 12 hours per week. The Company ensures all employees have the legal right to be employed in the UK.
  8. Remuneration – the Company shall comply with national laws and regulations with regard to wages and benefits. All work related activities are carried out on the basis of a recognised employment relationship established according to national law and practice.

The Company also commits to:

  • Compliance with relevant legal and other requirements to which it subscribes
  • Ensure that all its key contractors, sub-contractors and suppliers are aware of this policy
  • Make available sufficient resources for the implementation of this policy.

The Company will make this policy publicly available via its website, and the policy will also be communicated to The Pharmed Group employees in the first instance, and also to all contractors, sub-contractors and suppliers.