If you have any concerns you wish to raise, please contact us by emailing generalcounsel@freshfields.com or writing to the General Counsel, Freshfields Bruckhaus Deringer LLP, 100 Bishopsgate, London, EC2P 2SR.
We will evaluate and, where possible and appropriate, follow-up with you.
For further details on the relevant European Whistleblowing / Supply Chain Act requirements and reporting channels, please select the corresponding jurisdiction in the drop down.
Austria
Our internal Freshfields reporting channel is available for any reports which fall within the scope of the Austrian HinweisgeberInnenschutzgesetz (HSchG) You may either make a report via our Speak Up Hotline or directly to our local reporting body Speakingup-Austria@freshfields.com.
For further details on the procedure regarding reports which fall within the scope of the German Supply Chain Due Diligence Act (Lieferkettensorgfaltspflichtenschutzgesetz LkSG) please click here to view in English or here to view in German.
Belgium
Our internal Freshfields reporting channel is available for any reports which fall within the scope of the Belgian Law of 28 November 2022 (Wet betreffende de bescherming van melders van inbreuken op het Unie- of nationale recht vastgesteld binnen een juridische entiteit in de private sector). You may either make a report via our Speak Up Hotline or directly to our local reporting body Speakingup-Belgium@freshfields.com.
For further details on the procedure regarding reports which fall within the scope of the German Supply Chain Due Diligence Act (Lieferkettensorgfaltspflichtenschutzgesetz LkSG) please click here to view in English or here to view in German.
France
Our internal Freshfields reporting channel is available for any reports which fall within the scope of the French Loi n° 2022-401 du 21 mars 2022 visant à améliorer la protection des lanceurs d’alerte. For details, please see the following rules of procedure.
For further details on the procedure regarding reports which fall within the scope of the German Supply Chain Due Diligence Act (Lieferkettensorgfaltspflichtenschutzgesetz LkSG) please click here to view in English or here to view in German.
Italy
Our internal Freshfields reporting channel is available for any reports which fall within the scope of the Italian Legislative Decree no. 24/2023. You may make a report via our Speak Up Hotline.
For further details on the procedure regarding reports which fall within the scope of the German Supply Chain Due Diligence Act (Lieferkettensorgfaltspflichtenschutzgesetz LkSG) please click here to view in English or here to view in German.
Netherlands
Our internal Freshfields reporting channel is available for any reports which fall within the scope of the Dutch Wet bescherming klokkenluiders. You may either make a report via our Speak Up Hotline or directly to our local reporting body Speakingup-Netherlands@freshfields.com.
For further details on the procedure regarding reports which fall within the scope of the German Supply Chain Due Diligence Act (Lieferkettensorgfaltspflichtenschutzgesetz LkSG) please click here to view in English or here to view in German.
Spain
Our internal Freshfields reporting channel is available for any reports which fall within the scope of the Spanish Ley 2/2023. You may either make a report via our Speak Up Hotline or directly to our local reporting body Speakingup-Spain@freshfields.com.
For further details on the procedure regarding reports which fall within the scope of the German Supply Chain Due Diligence Act (Lieferkettensorgfaltspflichtenschutzgesetz LkSG) please click here to view in English or here to view in German.