Compliance

Modern Slavery Statement

Draft for board approval Current financial year Section 54, UK Modern Slavery Act 2015

Status: draft under board review. This statement sets out the standard the Fontana group commits to. It will be formally approved by the board of Fontana Trading Europe, Sociedade Unipessoal Lda. and re-issued as the finalised statement for the current financial year. Where a specific control described below is under implementation, this will be disclosed in the finalised statement.

This statement is made pursuant to section 54 of the United Kingdom's Modern Slavery Act 2015 and constitutes the slavery and human trafficking statement of the Fontana group for the current financial year. It is published voluntarily; the group's UK turnover for the current period does not yet trigger the mandatory £36m threshold, but Fontana adopts the section 54 framework as a matter of good governance and to give buyers, banks and counterparties visibility on our supply-chain due diligence.

1. Our structure and business

Fontana Trading Europe, Sociedade Unipessoal Lda. (NIPC 519 541 227) is the parent company of the Fontana group, headquartered in Lisbon, Portugal. The group holds two wholly-owned subsidiaries:

The group buys grain from Brazilian farms and cooperatives, contracts logistics through Brazilian ports (Santos, Paranaguá, Itaqui, Barcarena), and sells to importers, crushers, biofuel producers and feed manufacturers across the European Union, the United Kingdom, China, North Africa and other destinations.

2. Our supply chain

The parts of our supply chain most relevant to modern slavery risk are:

3. Policies

Our commitment to preventing modern slavery is expressed through the following policies:

4. Due diligence in Brazilian origination

Every farm from which the group originates grain is checked against the following public and private data sources at onboarding and at least annually thereafter:

A positive finding on any of the above triggers a hold on future origination from the farm, an in-person or remote follow-up with the counterparty, and formal review by the Head of Compliance. Reinstatement requires evidence of remediation and, where the "Lista Suja" is involved, removal from the list.

5. Due diligence in logistics and shipping

Trucking contractors and driver cooperatives providing farm-to-port road transport are required, through terms in the freight contract, to comply with Brazilian driver-hours legislation (Lei nº 13.103/2015). Terminal operators are contracted through group agreements with the major Brazilian ports and are subject to Brazilian labour law and port-authority collective agreements.

For international shipping, Fontana's charter-party clauses require the vessel and its operator to be Maritime Labour Convention 2006 compliant, to hold a valid Maritime Labour Certificate, and to maintain a P&I club entry. Vessels flagged in jurisdictions associated with elevated labour risk are declined or subject to additional documentary checks before fixture, consistent with the vessel due diligence described in the Sanctions Policy.

6. Training

All group employees complete modern-slavery awareness training as part of onboarding and every 24 months thereafter. Staff with direct origination or commercial responsibilities receive extended training covering identification of red flags in the Brazilian rural context (payment of workers, housing conditions, freedom of movement, document retention, recruitment fees).

7. Reporting

Anyone with information about actual or suspected modern slavery within Fontana's operations or supply chain is asked to report through:

Reports are received by the Head of Compliance. Retaliation against any person making a good-faith report is a dismissible offence. Where a report indicates a criminal offence, the group cooperates with the competent authority in the relevant jurisdiction.

8. Measuring effectiveness

The group tracks the following indicators annually and reviews them at CEO level:

9. Approval

This draft statement will be formally approved by the board of Fontana Trading Europe, Sociedade Unipessoal Lda. and signed by a director before publication as the group's finalised section 54 statement. It will thereafter be reviewed and republished annually. The signed and dated version will replace this draft at the same URL.

UK Modern Slavery Act reference. This statement is prepared with reference to section 54 of the UK Modern Slavery Act 2015 and Home Office guidance on transparency in supply chains. It will be updated for each financial year and remain accessible at this URL. Historical versions are available on request from compliance@fontana.trade.