The Theorized Relationship between Organizational (Non)Compliance with the United Nations Guiding Principles on Human Rights and Desired Employee Workplace Outcomes
Abstract
:1. Introduction
2. Review of the Literature on Attempts to Encourage Organizational Protection of Human Rights
3. A Micro-Level Perspective
Deriving Meaning from Organizational Actions Directed toward External Stakeholders
4. Lessons from CSR Research: The Effect of “How Much” and “Why” of CSR on Employee Outcomes
5. Discussion
5.1. Implications for Theory
5.2. Implications for Practice
6. Conclusions
Author Contributions
Funding
Acknowledgments
Conflicts of Interest
References
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Pillar 2 Guiding Principles | Observable Examples to Employees |
---|---|
Principle 11. Business enterprises should respect human rights. This means that they should avoid infringing on the human rights of others and should address adverse human rights impacts with which they are involved. | Having an open door policy to encourage employees to report observed abuses. An organization operating in a host country should also engage with local communities to proactively get feedback from their practices. |
Principle 12. The responsibility of business enterprises to respect human rights refers to internationally recognized human rights – understood, at a minimum, as those expressed in the International Bill of Human Rights and the principles concerning fundamental rights set out in the International Labour Organization’s Declaration on Fundamental Principles and Rights at Work. | An organization that is committed to respecting human rights is likely to have a clear statement on what this means, and specifically on the nature of these rights eliminating any ambiguity or relativity in interpreting the impacts of organizational actions. |
Principle 13. The responsibility to respect human rights requires that business enterprises: (a) avoid causing or contributing to adverse human rights impacts through their own activities, and address such impacts when they occur; (b) seek to prevent or mitigate adverse human rights impacts that are directly linked to their operations, products, or services by their business relationships, even if they have not contributed to those impacts. | Regardless of the area and size of the company, businesses should attempt to have a human rights compliance plan in practice that can identify, prevent, mitigate, and compensate possible abuses. |
14. The responsibility of business enterprises to respect human rights applies to all enterprises regardless of their size, sector, operational context, ownership, and structure. Nevertheless, the scale and complexity of the means through which enterprises meet that responsibility may vary according to these factors and with the severity of the enterprise’s adverse human rights impacts. | |
15. In order to meet their responsibility to respect human rights, business enterprises should have in place policies and processes appropriate to their size and circumstances, including: | Employees should be allowed to participate in the drafting and adoption of due diligence processes and other policies to assure that their operations do not infringe on human rights. |
(a) a policy commitment to meet their responsibility to respect human rights; (b) a human rights due diligence process to identify, prevent, mitigate, and account for how they address their impacts on human rights; (c) processes to enable the remediation of any adverse human rights impacts they cause or to which they contribute. | |
16. As the basis for embedding their responsibility to respect human rights, business enterprises should express their commitment to meet this responsibility through a statement of policy that: (a) is approved at the most senior level of the business enterprise; (b) is informed by relevant internal and/or external expertise; (c) stipulates the enterprise’s human rights expectations of personnel, business partners, and other parties directly linked to its operations, products, or services; (d) is publicly available and communicated internally and externally to all personnel, business partners, and other relevant parties; (e) is reflected in operational policies and procedures necessary to embed it throughout the business enterprise. | True commitment to respecting human rights exists when it permeates the entire organization. It starts at the top with leadership and top management, and by a system of policies aimed at generating a culture of respect, becomes present in the entire organization. In this way, organizations do not just pay lip service to respecting human rights, it reflects a core value of the organization. |
17. In order to identify, prevent, mitigate, and account for how they address their adverse human rights impacts, business enterprises should carry out human rights due diligence. The process should include assessing actual and potential human rights impacts, integrating and acting upon the findings, tracking responses, and communicating how impacts are addressed. Human rights due diligence: (a) should cover adverse human rights impacts that the business enterprise may cause or contribute to through its own activities, or which may be directly linked to its operations, products, or services by its business relationships; (b) will vary in complexity with the size of the business enterprise, the risk of severe human rights impacts, and the nature and context of its operations; (c) should be ongoing, recognizing that the human rights risks may change over time as the business enterprise’s operations and operating context evolve. | Human rights due diligence policies are one of the most important tools that businesses should adopt. The UNGPs establish a series of guidelines that organizations truly committed to respecting human rights can adopt to include employees in the drafting, implementing, and reviewing of the policy. |
18. In order to gauge human rights risks, business enterprises should identify and assess any actual or potential adverse human rights impacts with which they may be involved, either through their own activities or as a result of their business relationships. This process should: (a) draw on internal and/or independent external human rights expertise; (b) involve meaningful consultation with potentially affected groups and other relevant stakeholders, as appropriate to the size of the business enterprise and the nature and context of the operation. | A true commitment to protecting human rights would be apparent to employees by the many systems in place to ensure that in addition to an organization’s own operations, all of the partners in its value chain (e.g., suppliers) abide by ethical business practices. This commitment would be even more apparent to employees when their organization operates in an environment with lax local laws, whereby ethical practices are a true reflection of the organization’s values (rather than driven by local laws or external pressure). |
19. In order to prevent and mitigate adverse human rights impacts, business enterprises should integrate the findings from their impact assessments across relevant internal functions and processes and take appropriate action. (a) Effective integration requires that: (i) responsibility for addressing such impacts is assigned to the appropriate level and function within the business enterprise; (ii) internal decision-making, budget allocations, and oversight processes enable effective responses to such impacts. (b) Appropriate action will vary according to: (i) whether the business enterprise causes or contributes to an adverse impact, or whether it is involved solely because the impact is directly linked to its operations, products, or services by a business relationship; (ii) the extent of its leverage in addressing the adverse impact. | |
20. In order to verify whether adverse human rights impacts are being addressed, business enterprises should track the effectiveness of their response. Tracking should: (a) be based on appropriate qualitative and quantitative indicators; (b) draw on feedback from both internal and external sources, including affected stakeholders. | Employees working on the monitoring of due diligence and other human rights policies should be able to collect data to assess and communicate the impact of such policies. |
21. In order to account for how they address their human rights impacts, business enterprises should be prepared to communicate this externally, particularly when concerns are raised by or on behalf of affected stakeholders. Business enterprises whose operations or operating contexts pose risks of severe human rights impacts should report formally on how they address them. In all instances, communications should: (a) be of a form and frequency that reflect an enterprise’s human rights impacts and that are accessible to its intended audiences; (b) provide information that is sufficient to evaluate the adequacy of an enterprise’s response to the particular human rights impact involved; (c) in turn, not pose risks to affected stakeholders, personnel, or to legitimate requirements of commercial confidentiality. | Employees of organizations committed to protecting human rights will not be instructed to keep quiet about human rights concerns of their operations. Instead they will be instructed on how to share open and honest information about a situation, as well as the steps being taken to address and remedy concerns. |
22. Where business enterprises identify that they have caused or contributed to adverse impacts, they should provide for, or cooperate in, their remediation through legitimate processes. | Employees will observe their organization’s commitment to human rights by observing the thoughtful implementation of fair remediation measures to redress adverse impacts. |
23. In all contexts, business enterprises should: (a) comply with all applicable laws and respect internationally recognized human rights, wherever they operate; (b) seek ways to honor the principles of internationally recognized human rights when faced with conflicting requirements; (c) treat the risk of causing or contributing to gross human rights abuses as a legal compliance issue wherever they operate. | Employees will observe their organization as a leader, or at least engaging in best practices, relative to competitors in the same industry. |
24. Where it is necessary to prioritize actions to address actual and potential adverse human rights impacts, business enterprises should first seek to prevent and mitigate those that are most severe or where delayed response would make them irremediable. | The commitment to prevent and mitigate further adverse impacts will be apparent to employees through the investment of necessary resources to truly have an impact and reverse a negative situation. |
© 2020 by the authors. Licensee MDPI, Basel, Switzerland. This article is an open access article distributed under the terms and conditions of the Creative Commons Attribution (CC BY) license (http://creativecommons.org/licenses/by/4.0/).
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Donia, M.B.L.; Carrasco, S.H.; Seck, S.; McCorquodale, R.; Ronen, S. The Theorized Relationship between Organizational (Non)Compliance with the United Nations Guiding Principles on Human Rights and Desired Employee Workplace Outcomes. Sustainability 2020, 12, 2130. https://doi.org/10.3390/su12052130
Donia MBL, Carrasco SH, Seck S, McCorquodale R, Ronen S. The Theorized Relationship between Organizational (Non)Compliance with the United Nations Guiding Principles on Human Rights and Desired Employee Workplace Outcomes. Sustainability. 2020; 12(5):2130. https://doi.org/10.3390/su12052130
Chicago/Turabian StyleDonia, Magda B. L., Salvador Herencia Carrasco, Sara Seck, Robert McCorquodale, and Sigalit Ronen. 2020. "The Theorized Relationship between Organizational (Non)Compliance with the United Nations Guiding Principles on Human Rights and Desired Employee Workplace Outcomes" Sustainability 12, no. 5: 2130. https://doi.org/10.3390/su12052130
APA StyleDonia, M. B. L., Carrasco, S. H., Seck, S., McCorquodale, R., & Ronen, S. (2020). The Theorized Relationship between Organizational (Non)Compliance with the United Nations Guiding Principles on Human Rights and Desired Employee Workplace Outcomes. Sustainability, 12(5), 2130. https://doi.org/10.3390/su12052130