CSDDD Due Diligence Evidence
- Tier-1 and tier-2 supplier mapping with worker headcount evidence
- Working-hours and wages reconciled against payroll database
- Grievance mechanism existence and use evidenced

For EU Importers
EU regulators do not accept supplier self-declarations. We collect defensible CSDDD, CBAM and REACH evidence on the floor of your Chinese supplier — and hand you a dossier that survives a regulator's review.
Why EU buyers are exposed
CSDDD makes the EU buyer accountable for human-rights and environmental violations in the supply chain — including at tier-2 and tier-3. CBAM requires verified Scope 1–2 emissions data on imported steel, aluminium, cement, fertiliser, hydrogen and electricity. REACH and SVHC additions move every six months.
None of this is solvable by asking the supplier for a PDF. Regulators expect primary evidence: payroll extracts, energy-meter data, environmental permits, and traceability back to the actual production site.
We collect that evidence on the ground in China and deliver it to you in a CSDDD-ready dossier. One audit. One file. Defensible at a regulator review.
What we cover for EU importers
What you get
Primary documents, geotagged photos and worker interviews — not supplier self-declarations.
Scope 1–2 emissions in the EU template format, indexed to the audit visit.
Sub-tier mapping for high-risk inputs (cotton, polysilicon, batteries, aluminium).
CSDDD, CBAM, REACH and CE evidence captured in the same audit cycle.
Free download
What CSDDD, CBAM and REACH actually require from your Chinese supplier — in one 25-point audit-ready checklist.