As a joint parent company, BREMER LAGERHAUS-GESELLSCHAFT -Aktiengesellschaft von 1877-, Bremen, and
BLG LOGISTICS GROUP AG & Co. KG, Bremen, issue voluntary consolidated financial statements and have
for several years already integrated a non-financial Group report (NFR) with the information
required under the CSR Directive Implementation Act into their sustainability reporting. The
Sustainability Report 2022 was prepared in accordance with the GRI standards.
The table opposite gives an overview of the contents of the non-financial reporting and the
allocation of the reporting aspects determined in accordance with the materiality principle
(pursuant to Section 315c, German Commercial Code – HGB).
The non-financial Group report deals with the contents defined as essential by the CSR Directive
Implementation Act for the fully consolidated BLG companies. Responsibility for the CONTAINER
Division lies with the EUROGATE joint venture, which controls the topics relevant for CSR separately
from BLG LOGISTICS. Therefore, contents of the non-financial report for the EUROGATE company
accounted for using the equity method are shown separately here.
Components of the NFR
|
Relevant contents
|
Page number
Sustainability Report
|
Business model |
Brief description of the business model of BLG LOGISTICS |
7 to 9 |
Sustainability management
|
Accountabilities (control and authorizations) |
12 to 13 |
Governance (management structure incl. competencies, remuneration model and grievances
mechanism)
|
20 |
Materiality analysis |
Selection of relevant contents of the report |
18 to 19 |
Risk management |
Statement of the main risks relevant to CSR |
22 to 23 |
Environmental topics
|
Climate protection |
28 to 32 |
Energy management |
33 to 36 |
Employee topics
|
Fair working conditions and human rights |
42 to 45 |
Training and education |
46 to 48 |
Occupational health and safety management |
49 to 51 |
Respect for human rights
|
Fair working conditions and human rights |
42 to 45 |
Compliance |
58 to 60 |
Due diligence along the supply chain |
24 to 25 |
Anti-corruption and anti-bribery |
Compliance |
58 to 60 |
Social topics |
The materiality analysis did not identify any issues that are significant in the sense
of the CSR Directive Implementation Act. Therefore, social topics are not part of the
NFR.
|
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