The Toyota and Lexus vehicles and genuine parts that are distributed by TCI are the product of a corporate culture dedicated to protecting and improving the human rights of Toyota’s employees, customers, and other stakeholders. TCI acquires vehicles and most genuine parts from TMC and its North American subsidiaries.
(a) Measures Taken by TMC and its North American Subsidiaries
TMC and its North American subsidiaries have a number of measures in place to prevent and reduce the risk of forced & child labour in their supply chains. For the purposes of this portion of this Report, the term “Toyota” refers to TMC and its production facilities in Japan and North America. Such measures include the following:
(a) United Nations Guiding Principles on Business and Human Rights: Toyota refers to and respects the United Nations Guiding Principles on Business and Human Rights (UNGP), and promotes activities related to human rights based on these guidelines.
(b) Human Rights Policy: Toyota’s Human Rights Policy applies to all executives and employees at Toyota and its subsidiaries. Toyota also expects its business partners, including its suppliers, to understand and support this policy, and to work with Toyota to ensure that their business operations respect this policy. The Human Rights Policy makes clear that Toyota does not tolerate forced or child labour.
(c) Supplier Sustainability Guidelines: Toyota has implemented Supplier Sustainability Guidelines that set out Toyota’s sustainability expectations of its suppliers in the areas of business ethics, legal compliance, labour and human rights, and environmental sustainability. The Supplier Sustainability Guidelines are cascaded to first tier suppliers, and Toyota expects such suppliers to embed the Supplier Sustainability Guidelines in their own operations and to disseminate them to their own supply chain. The Supplier Sustainability Guidelines make clear that Toyota does not tolerate forced or child labour. TMC distributed Supplier Sustainability Guidelines to all primary suppliers and is collecting written confirmations of compliance with the Guidelines from suppliers with whom it has concluded basic transaction agreements. With some exceptions, almost all suppliers have completed the written confirmations. Primary suppliers were asked to ensure that the Guidelines were disseminated to secondary suppliers involved in the manufacture of Toyota’s vehicles.
(d) Toyota Code of Conduct: Toyota’s Code of Conduct makes clear that Toyota is committed to complying with international human rights obligations and applicable laws and regulations and prohibitions against forced and child labour. The Code of Conduct also includes a Global Speak Up Line where employees can raise questions or concerns.
(e) Human Rights Due Diligence: Toyota continuously identifies and assesses risks related to human rights impacts on stakeholders, while ensuring mitigation and preventative measures are implemented. Toyota also conducts continuous risk monitoring operations, which include business partner collaboration, affected stakeholder consultations, and Human Rights risk research. Toyota develops risk mitigation plans through an agreement with the affected stakeholders while also being guided by specialist external bodies.
(f) Survey Conducted for Overseas Affiliates: In March 2024, TMC conducted surveys on 25 of its overseas affiliates, focusing on priority human rights policy issues. No significant risks requiring immediate correction were identified among the 22 overseas which responded (88%). Nonetheless, based on the survey results, TMC engaged in dialogue with the overseas affiliates and requested them to implement improvement activities in order to realize more desirable human rights resources and labour management practices that take into account international trends, while reflecting the actual conditions of each country.
(g) Initiatives for Migrant Labour / Forced Labour: As part of its due diligence activities, TMC has been working with non-governmental organizations to ensure fair working conditions for migrant workers within its affiliates and suppliers, both inside and outside Japan. TMC has developed guidelines to help eliminate possible exploitation by unscrupulous employment agencies charging high recruitment fees, and to ensure freedom of movement, fair treatment, and proper employment contracts for migrant workers. A task force was assembled to conduct surveys on matters such as numbers of migrant workers, countries of migration, and possible issues in the recruitment and/or repatriation process. TMC has also visited suppliers and workplaces where foreign workers are employed and conducted engagement activities in collaboration with a third party non-governmental organization.
(h) JP-MIRAI:TMC is a founding member in the establishment of the “Japan Platform for Migrant Workers toward a Responsible and Inclusive Society (JP-MIRAI)” which has now grown to be a multi-stakeholder framework for resolving issues faced by migrant workers in Japan.
(i) Human Rights Working Group: TMC is a member of the Human Rights Working Group held by Business for Social Responsibility.
(j) Prevention of Child Labour: Toyota has undertaken an initiative to enhance due diligence activity in the high-risk sector of child labour in our business operations and supply chain.
(k) Supply Chain Initiatives:TMC has conducted a Self-Assessment Questionnaire for 980 major Tier 1 suppliers and collected responses from 814 companies in Japan. The survey assessed the existence of policies and training on human rights and responsible supply chain management. Based on the results, priority items were identified and third-party audits are being conducted for suppliers that were underperforming in those areas. Where issues are identified, TMC engages with the relevant suppliers and requests improvements.
For more information on these and other TMC initiatives, the full text of Toyota’s Human Rights Policy, Toyota’s Supplier Sustainability Guidelines, Toyota’s Code of Conduct, Toyota’s Sustainability Data Book and TMC’s Report on Toyota’s Action Taken for Forced Labour of Migrant Workers (Statement on Modern Slavery Acts) can be found here:
https://global.toyota/en/sustainability/ and https://global.toyota/pages/global_toyota/sustainability/human-rights/statement_on_the_modern_slavery_acts_en.pdf
(b) Measures Taken by TCI Independently
In 2024 and 2025, TCI:
- Created a list of all current suppliers to TCI;
- Updated the template vendor agreement for accessories suppliers with contractual language that requires vendors to take steps to prevent and reduce the risk that forced labour or child labour is used in their supply chains;
- Updated its Vendor Code of Conduct to require vendors to take steps to prevent and reduce the risk that forced labour and child labour is used in their supply chains;
- Conducted annual associate training regarding forced labour and child labour for TCI associates in the procurement, accessories, and service marketing departments;
- Updated its Code of Conduct and Ethics Policy and Speak Up Line Policy to address risks related to forced and child labour;
- Updated its RFP Supplier Questionnaire and RFQ survey for accessory vendors to specifically add forced and child labour risk assessment questions; and
- Created, updated and assessed its forward-looking compliance plan as it relates to mitigating the risks of forced and child labour.
During the fiscal year ended March 31, 2026, TCI has taken the following additional actions to further prevent and reduce the risk that forced labour or child labour is used in its activities or supply chains: