Dirty Laundry - 全球服裝品牌的中國水污染調查 - EN - 11-07-13
Dirty Laundry - 全球服裝品牌的中國水污染調查 - EN - 11-07-13
Dirty Laundry - 全球服裝品牌的中國水污染調查 - EN - 11-07-13
image Wastewater being discharged from a pipe from the Youngor textiles factory, in Yinzhou district, Ningbo. Youngor is a major apparel and textiles brand in China.
Contents
Executive Summary
Section 1 Introduction: Water crisis, toxic pollution and the textile industry Section 2 Polluters and their customers the chain of evidence Case Study 1: Youngor Textile Complex, Yangtze River Delta Case Study 2: Well Dyeing Factory, Pearl River Delta Section 3 The need for corporate responsibility Section 4 Championing a toxic-free future: Prospects and recommendations Appendix 1 1) Main brands that have a business relationship with Youngor Textile Complex 2) Main brands that have a business relationship with Well Dyeing Factory Limited 3) The global market shares of sportwear companies Appendix 2 Profiles of other brands linked with Youngor Textile Complex Appendix 3 Background information on the hazardous chemicals found in the sampling References 92
Published by
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For more information contact: [email protected] Acknowledgements: We would like to thank the following people who contributed to the creation of this report. If we have forgotten anyone, they know that that our gratitude is also extended to them: Jamie Choi, Madeleine Cobbing, Tommy Crawford, Steve Erwood, Marietta Harjono, Martin Hojsk, Zhang Kai, Li Yifang, Tony Sadownichik, Melissa Shinn, Daniel Simons, Ilze Smit, Ma Tianjie, Diana Guio Torres, Vivien Yau, Yue Yihua, Zheng Yu, Lai Yun, Lei Yuting Designed by: Atomo Design
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Cover photograph: Pipe on the north side of the Youngor factory has finished dumping wastewater. The black polluted discharge is clearly visible Greenpeace / Qiu Bo
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GREENPEACE /QIU BO
The problem and the solution are not only a cause of local concern. This is truly a global issue.
Dirty Laundry: Unravelling the corporate connections to toxic water pollution in China
image Opposite the discharge pipe is the high-end housing development Vanke Golden Banks. The Fenghua River is hardly ever golden these days, but rather turbid, black or red depending on the wastewater dumped from the pipe.
A recent survey of 15,000 people in 15 countries, across both northern and southern hemispheres, found that water scarcity and water pollution are the two top environmental concerns of the worlds population.
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Dirty Laundry: Unravelling the corporate connections to toxic water pollution in China
GREENPEACE / QIU BO
Greenpeace International
Dirty Laundry Unravelling the corporate connections to toxic water pollution in China
Executive Summary
Executive Summary
Dirty Laundry The toxic secret behind global textile brands
Unravelling the toxic threads
Building upon Greenpeaces recent investigations, Dirty Laundry profiles the problem of toxic water pollution that results from the release of hazardous chemicals by the textile industry in China. This water pollution poses serious and immediate threats to both our precious ecosystems and to human health. Urgent and transparent action is needed in order to eliminate the use and release of these hazardous chemicals.
Leading clothing brands source many of their products from suppliers in China. Although some of these brands have Corporate Responsibility programmes which partly address the environmental impact of their supply chain, none of the brands featured in this report have an effective strategy in place to deal with the problem of water pollution caused by industrial discharges containing hazardous substances. At best, the majority of these programmes are limited to ensuring that suppliers comply with local standards most of which rarely consider the discharge of the hazardous and persistent chemicals highlighted in this report. It is clear that these leading brands have not yet made a significant effort to tackle the problem of eliminating the release of hazardous chemicals during the production process. brands were also undertaken. The results from these samples are indicative of a much wider problem. The scientific analysis of the samples found that both manufacturing facilities were discharging a range of hazardous chemicals into the Yangtze and Pearl River deltas. Significantly, hazardous and persistent chemicals with hormone-disrupting properties were found in the samples. Alkylphenols (including nonylphenol) were found in wastewater samples from both facilities, and perfluorinated chemicals (PFCs), in particular perfluorooctanoic acid (PFOA) and perfluorooctane sulphonate (PFOS), were present in the wastewater from the Youngor Textile Complex. This was despite the presence of a modern wastewater treatment plant at the Youngor facility. The alkylphenols and PFCs found in the samples are a cause for serious concern, as these chemicals are known hormone disruptors and can be hazardous even at very low levels. Many of the substances within these groups are regulated in the Global North, for example by the EU or by international conventions. Our investigations further revealed that the companies behind the two facilities have commercial relationships (as suppliers) with a range of major brands, including Abercrombie & Fitch, Adidas, Bauer Hockey, Calvin Klein, Converse, Cortefiel, H&M, Lacoste, Li Ning, Meters/bonwe, Nike, Phillips-Van Heusen Corporation (PVH Corp), Puma and Youngor, and have also been linked with a number of other Chinese and international brands. When confirming their commercial relationship with the Youngor Group, Bauer Hockey, Converse, Cortefiel, H&M, Nike and Puma informed Greenpeace that they make no use of the wet processes of the Youngor Group for the production of their garments.
The investigations that form the basis of this report focus on wastewater discharges from two facilities in China. The first facility, the Youngor Textile Complex, is located on the Yangtze River Delta. The second, Well Dyeing Factory Limited, is located on a tributary of the Pearl However, regardless of what the aforementioned brands River Delta. Additional investigations into the supply use these facilities for, none of these brands have in chains that tie these facilities to national and international place comprehensive chemicals management policies
Dirty Laundry: Unravelling the corporate connections to toxic water pollution in China
that would allow them to have a complete overview of the hazardous chemicals used and released across their entire supply chain and to act on this information. As brand owners, they are in the best position to influence the environmental impacts of production and to work together with their suppliers to eliminate the releases of all hazardous chemicals from the production process and their products. These brands need to take responsibility for the use and release of persistent, hormone-disrupting chemicals into our critical and life-sustaining waterways. A commitment to zero discharge of hazardous chemicals along with a plan on how to achieve this is urgently needed in order to prevent the further accumulation of hazardous substances in the aquatic environment, and the resulting build-up in people and wildlife.
release point via ocean currents, atmospheric deposition and food chains. Some are even transported to remote locations, such as the polar regions, where they can accumulate. The problem and the solution are therefore not only a cause of local concern. This is a truly global issue.
A persistent problem
The dangers associated with the use and release of persistent hazardous chemicals have been recognised, in part, by many countries in the Global North. There, policies to reduce the use and release of some priority hazardous chemicals have been implemented. Attempts to clean up some of the worst effects of decades of toxic pollution are underway, despite the very high expense of restoration programmes and the impossibility of total decontamination. By comparison, less progress has been made in many parts of the Global South to reduce the use and release of hazardous chemicals. Subsequently, lower costs and simpler regulation is something that many global brands have taken advantage of, by locating production facilities in these areas or purchasing goods from facilities located in the Global South. Among the numerous chemicals used and released by industry, persistent substances such as heavy metals and some hazardous organic chemicals are a source of particularly high concern. These hazardous chemicals pose long-term threats to human health and the environment. What makes many of these chemicals so dangerous is that they are not only persistent (meaning that they do not readily break down in the environment), but also bioaccumulative (meaning that they can build up in the food chain and can have serious, long-term effects on the organisms that ingest them). Some are able to interfere with hormone systems in people and wildlife, even at very low doses, while others are carcinogenic or reprotoxic. Furthermore, the effects of such persistent and bioaccumulative substances are not confined to local or regional areas. Many can be transported far beyond their
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Dirty Laundry: Unravelling the corporate connections to toxic water pollution in China
Greenpeace International
Dirty Laundry Unravelling the corporate connections to toxic water pollution in China
Executive Summary
e held Factories will b d liable responsible an damage for all loss and MA, suffered by PU rdous should any haza found substances be , in the materials r final components o products.
dbook of PUMASafe: Han 6 andards 2009 Environmental St
We also collaborate with factories to improve efficiency in order to avoid borrowing more water than is need ed and to be able to return it as clean, or cleaner, than it was found.
P.38, NIKE Inc Corporate Responsibility Report FY 07 08 098
Dirty Laundry: Unravelling the corporate connections to toxic water pollution in China
Sust
We a prec pply the autio nary in ou pr r work environm inciple a e a pre nd have ntal vent adop ative with ted th a haza e substi pproach tutio rdou n s ch emic of H&M als. Co
nsc ainab ious Act io ility R epor ns t 201 9 0
We recognise that our supply chain processes impact the environment. While we do not have direct control over our suppliers, vendors and service providers, we [] seek to have our suppliers and vendors meet our environmental requirements with respect to wastewater treatment, hazardous chemicals, air quality and recycling.
Phillips-Van Heusen, Environmental Statement10
Dirty Laundry: Unravelling the corporate connections to toxic water pollution in China
Greenpeace International
Dirty Laundry Unravelling the corporate connections to toxic water pollution in China
Executive Summary
However, despite the urgent need for leadership and real action on the ground from innovative brands seeking first-mover advantage, if the shift to a toxic-free future is to be effective it will also need to be enforced throughout the industry. There is therefore also a need for governments to put in place comprehensive chemical management policies to facilitate the shift from hazardous to non-hazardous chemicals.
the current approach to hazardous chemicals. Every brand and supplier has the responsibility to know when and where hazardous chemicals are being used and released up and down their supply chain and to strive to eliminate them. It will therefore be through their actions, not their words, that these brands can become agents of positive change.
image The flow of wastewater from this discharge pipe increases at dusk; the pipe leads into the Huangsha Channel, and is located northeast of the Well Dyeing Factory Ltd. A Greenpeace campaigner is investigating.
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Dirty Laundry: Corporate connections to hazardous chemical water pollution by the textile industry in China
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GREENPEACE /QIU BO
Greenpeace International
Dirty Laundry Unravelling the corporate connections to toxic water pollution in China
Section one
01
Introduction: Water crisis, toxic pollution and the textile industry
A vital resource under threat
Clean water is both essential to the planets ecosystems and fundamental to peoples well being. It is a basic human right. As well as providing a range of critical habitats for wildlife, waterways such as rivers and lakes supply communities with vital resources including drinking water, water for crop irrigation and foods such as fish and shellfish. These waterways also serve as a support system for industrial activity, providing water for many manufacturing and cooling processes. However, such industrial activities can affect water quality and thereby jeopardise the other resources that the rivers and lakes provide.
A recent survey of 15,000 people in 15 countries, across both northern and southern hemispheres, found that water scarcity and water pollution are the two top environmental concerns of the worlds population.1,2 Globally, water resources are being degraded by the increasing pressure of human activities. Economic and population growth places ever-greater demands on water supplies, reducing the quantity and quality of water available for wildlife, ecosystem function and human consumption. The severity of these impacts is summarised by the UN as follows:
f tion o pollu d nd ins an tion a deple t river bas ond reas ortan e bey h a me a In so ically imp have gon it ing w onom d aquifers , and cop urces ec o rn ciate er res parts -retu asso of no liable wat oint ect in the p out re eal prosp h r e wit futur s is now a m 3 syste orld. w of the
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image Yellow scum left behind on the mud by the flow of wastewater from Pipe 1 at the Youngor Textile complex.
Important waterways in the Global South are also increasingly threatened by the build-up of hazardous substances, which are impairing their ecological health and their capacity to provide vital resources.
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Greenpeace International
Dirty Laundry Unravelling the corporate connections to toxic water pollution in China
Section one
Nitrate and other nutrient pollution from agricultural runoff and sewage have the most obvious and visible effect on waterways, as they lead to the growth of algal blooms, which in turn deplete oxygen supplies in water.
Important waterways in the Global South are also increasingly threatened by the build-up of hazardous substances, which are impairing their ecological health and their capacity to provide vital resources. Examples Hazardous chemicals can be released into waterways either of threatened waterways include the Chao Phraya in directly (from industrial facilities) or indirectly (through the use Thailand, the Neva in Russia, the Marilao river system in of industrys products in agriculture or by consumers). Some the Philippines and the Riachuelo in Argentina. Coastal and marine environments and resources also suffer knock-on of these chemicals can persist in the environment, build up in waterways and enter the food chain impacting adversely effects from pollutants discharged by these waterways. upon both wildlife and human health. According to the United Nations Environment Programme, worldwide, it is estimated that industry The Global North has many heavily industrialised freshwater is responsible for dumping 300500 million tons of and estuarine systems such as the Rhine-Meuse-Scheldt Delta in Belgium and the Netherlands, and the Great Lakes in heavy metals, solvents, toxic sludge and other waste into waters each year.5 North America where decades of pollution with persistent hazardous chemicals have led to high concentrations of contaminants in the sediments of rivers and harbours. In many cases, this contamination has caused long-term, irreversible damage to people, the environment and the wider economy, which is a major cause of concern for local communities, governments and industry.4 In high-income countries, industrial pollution is said to be stabilising or decreasing. The Organisation for Economic Co-operation and Development reports that since the 1970s, high-income countries have reduced industrial discharges of heavy metals and other persistent chemicals by 70% to 90% or more in most instances.6 However, this is not the case for economies in the Global South, where pollution is expected to increase along with economic and industrial development.7
Dirty Laundry: Corporate connections to hazardous chemical water pollution by the textile industry in China
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China has some of the worst water pollution in the world9, with as much as 70% of its rivers, lakes and reservoirs being affected.10 Chinas existing water shortage problem is worsening due to spiralling demand and the growing effects of climate change. Water pollution is further exacerbating the situation, with a quarter of the countrys population having no access to clean drinking water.11 Severe water shortfalls are predicted for many regions across China if no action is taken to tackle the problem.
According to a nationwide survey, industry accounted for nearly 20% of organic pollutants (expressed as Chemical Oxygen Demand)12 discharged into water in 2007.13 In many cases, the factories polluting critical water sources are producing goods for the US and European markets, with research indicating that about 20% to 30% of Chinas water pollution comes from manufacturing goods for export.14 Industrial discharge of hazardous substances shows no sign of abating, despite the fact that water pollution is recognised by the Chinese authorities as a cause for serious concern.15
The head of the State Environmental Protection Administration (SEPA)16 acknowledged as long ago as 2006 that in some places, environmental problems have affected peoples health and social stability, and damaged our international image.17 Many people in China who have provided resistance to the polluting industry share this concern. According to the Ministry of Environmental Protection, anti-pollution protests have been increasing by a third every year.18 A 2008 study of Chinese industry reports that: Sometimes not-in-my-backyard protests force the government to move factories into less populated areas, where there will be fewer people to complain. While water pollution has severe impacts on the environment, it also has direct economic consequences for industry itself. The nationwide annual cost to industry of using polluted water was estimated in a 2007 SEPA/World Bank report at 50bn yuan ($7.5bn US dollars).19 According to the same source, the use of polluted water for agricultural irrigation in designated wastewater irrigation zones has an impact on yields and product quality that was estimated at 7bn yuan ($1bn) in 2003. The produce in these zones is likely to contain heavy metals such as mercury, cadmium, lead, copper, chromium and arsenic. Human health impacts, which are harder to assess, were not considered in this study.
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Dirty Laundry: Unravelling the corporate connections to toxic water pollution in China
image A Greenpeace campaigner takes a sample of yellowcoloured wastewater from the discharge pipe of the Youngor Textille Complex.
Greenpeace International
Dirty Laundry Unravelling the corporate connections to toxic water pollution in China
GREENPEACE /QIU BO
Dirty Laundry: Corporate connections to hazardous chemical water pollution by the textile industry in China
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et the ons Since rm as refo l of Chin he Pear mme, t ic progra Econom r Delta Rive e been th one has Z g -growin fastest fastest n of the in portio ovince wing pr gro wing est-gro the the fast omy in ge econ lar world.
Invest H K30
Abundant water resources from the Pearl River and its tributaries have long supported the regions industrialisation, to the extent that it is known as the worlds factory.24 The 2009 report Poisoning the Pearl based on seven The Pearl River basin also serves as a source of drinking months of fieldwork in the Pearl River Delta by Greenpeace water for the regions 47 million inhabitants, including the China offered a snapshot of industrial water pollution populations of Guangzhou and Hong Kong.25,26 with hazardous chemicals.31 The report focused on five However, the water quality has deteriorated sharply since separate facilities and/or industrial areas and found that the regions remarkable economic growth began in the late all were discharging chemicals known or suspected to be 1970s, with more than 60% of its waterways now designated hazardous. Alarmingly, discharges from three of the five as polluted.27 Between 2003 and 2007, industrial facilities contained concentrations that exceeded the limits wastewater discharges into the Pearl River Delta increased by set by Guangdong province. Of even greater concern 52%, from 1.6bn tonnes to 2.4bn tonnes.28 By 2007, industry was that several of the facilities were discharging various was responsible for 75% of all the wastewater discharged into hazardous chemicals that are not monitored or regulated the Pearl River Delta.29 under Guangdongs effluent standards.
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Dirty Laundry: Unravelling the corporate connections to toxic water pollution in China
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Dirty Laundry Unravelling the corporate connections to toxic water pollution in China
Section one
image Contaminated land in the Pearl River Delta region. Dirty Laundry: Unravelling the corporate connections to toxic water pollution in China
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image Heaps of trash on the banks of he Fenghua River; the wastewater from Youngor Textile Complex is also discharged into this river.
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Dirty Laundry: Unravelling the corporate connections to toxic water pollution in China
Greenpeace International
Dirty Laundry Unravelling the corporate connections to toxic water pollution in China
Section one
GREENPEACE / QIU BO
Water quality has deteriorated sharply since the regions remarkable economic growth began in the late 1970s, with more than 60% of its waterways now designated as polluted.
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While a variety of chemicals are discharged into the river by industry, perhaps the most insidious are the PBTs (see Box 1.1). In the Yangtze River, PBTs are likely to be discharged from industries such as textiles, chemicals, plastics, and non-ferrous smelting and mining. A range of organic pollutants, including persistent substances, can already be found in the Yangtze.39 Among the many industrial chemicals entering the food chain are the persistent hormone disruptors known as alkylphenols and perfluorinated chemicals which are widely used in the textile industry. Figure 1.140 shows how substances in these two chemical groups are present in the Yangtze River ecosystem and are bioaccumulating in fish species. This has potential consequences for humans, given that the two species sampled are on the daily menu of local communities.41
2) Among the many industrial chemicals entering the food chain in the Yangtze are the persistent and hormone-disrupting pollutants alkylphenols (APs) and perfluorinated chemicals (PFCs), widely used in the textile industry.
3) Two alkylphenols (4-nonylphenol (4-NP) and nonylphenol ethoxylate (NPEO)) were found in water samples from the Yangtze River near the city of Chongqing.
4) Greenpeace samples of popular edible fish, from locations near four major cities along the Yangtze, found APs in the livers of all but one fish; the PFC perfluoroctane sulfonate (PFOS), was also detected in almost all the samples.
5) Sediments collected from the Yangtze River estuary have yielded some of the highest PFOS concentrations ever recorded.
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Dirty Laundry: Unravelling the corporate connections to toxic water pollution in China
image Water highly contaminated by industrial discharge; this tributary shows no sign of life.
Greenpeace International
Dirty Laundry Unravelling the corporate connections to toxic water pollution in China
The river water smells here - you cannot even use it for bathing, or else youll itch all over and break out in spots all over your body. Dont even think about drinking this stuff.
Xie Chunlin, fisherman, Jiangsu Province42
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Dirty Laundry: Unravelling the corporate connections to toxic water pollution in China
image Women workers at the Youngor textiles factory in Yinzhou district, Ningbo.
Throughout Chinas long history, the Yangtze River basin has been a centre of cultural and industrial activity. Today, the area contributes around 40% of the nations GDP, the equivalent of $1.5 trillion US dollars.
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Dirty Laundry Unravelling the corporate connections to toxic water pollution in China
Section one
GREENPEACE / QIU BO
Dirty Laundry: Unravelling the corporate connections to toxic water pollution in China
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Figure 1.2 shows the different stages of textile and garment production, with a focus on the wet processing stage, where the hazardous chemicals highlighted in this report are used.
Yarn formation
Fabric formation
cutting sewing
Products
Natural fibres
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Dirty Laundry Unravelling the corporate connections to toxic water pollution in China
Section one
GREENPEACE /QIU BO
image Coils and bundles of cloth in a production chamber of the Well Dyeing Factory Ltd. Dirty Laundry: Unravelling the corporate connections to toxic water pollution in China
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Greenpeace International
Dirty Laundry Unravelling the corporate connections to toxic water pollution in China
Section one
image Top Dragon Textile factory located in Taihe Industry complex, in Qingyuan City, Guang Dong Province. It discharges waste water into the Pearl River Delta.
ack s bl . It i e pipe. ay th ry d eve out of an see ut is th abo mes ou c ike ter l en it co days; y d flying hether wa wh r an rge ndy t ww cha ungen s on wi d wate t kno s that is i on ge nk dp ey d Th lour an age sti ischar ses. I d o know dare u d e e Id ill o in c ntire v om the our ho all. All this. W re mer e t a to e fr a e in lik Our rising r. W ater ven is? ells am here, e ts its w nd sm e powe top th fo trea looks a ey hav do to s ryw eve actory ut e th ibly f es o ecaus e poss 65 his t om n, b c w ant hat n pl uld lai o p w co rag com hat pD not ers. W e To f th g ur o villa hbo ig
M an r Ch ,an e
Dirty Laundry: Unravelling the corporate connections to toxic water pollution in China
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image Wastewater discharged from a denim washing factory in Xintang, Zengcheng, where the economy is centred around textile production.
LU GUANG / GREENPEACE
Its n o want t that we d them o to ma nt a pro fit. M ke y also has t family o rely sewin on g a livin jeans to m g a prod . However ke uctio , the np must be cl rocess ea not p ollute n and t envir onme he nt.
ym),
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Dirty Laundry: Unravelling the corporate connections to toxic water pollution in China
Greenpeace International
Dirty Laundry Unravelling the corporate connections to toxic water pollution in China
Section one
Dirty Laundry: Unravelling the corporate connections to toxic water pollution in China
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GREENPEACE / QIU BO
image Yellow wastewater from Pipe 1 flows into the Fenghua River. The pipe belongs to the Youngor textiles factory.
Corporations and their suppliers have no right to treat water bodies as their private sewers.
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Greenpeace International
Dirty Laundry Unravelling the corporate connections to toxic water pollution in China
Section one
The following section examines wastewater discharges from two textile facilities in China, painting a more accurate picture of the kinds of hazardous substances There is evidence that the textile industry is responsible routinely discharged by some factories in a businessfor a large proportion of the water pollution problem in as-usual scenario. It also outlines the product chains China, with its use and discharge of hazardous chemicals linking these facilities to well-known multinational contributing to the chemical load in the important Pearl and clothing corporations and brands which must ultimately Yangtze river systems. take responsibility for the discharges and subsequent contamination of our waterways.
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image The Youngor factory discharges its wastewater into the Fenghua River. A black ribbon of polluted wastewater can be seen in the water.
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Greenpeace International
Dirty Laundry Unravelling the corporate connections to toxic water pollution in China
Section two
GREENPEACE / QIU BO
02
Polluters and their customers the chain of evidence
Toxic discharges from two textile manufacturers
In 2010 and 2011, Greenpeace International undertook an investigation to assess whether hazardous chemicals were present in wastewaters discharged from two textilemanufacturing facilities in China, and to provide an indication of the types of chemicals currently being used and released by such facilities1,2. The first facility, the Youngor Textile Complex, is located on and discharges wastewaters into the Yangtze River Delta, while the second facility, Well Dyeing Factory Limited, is located on and discharges wastewaters into a tributary of the Pearl River Delta.
The two sites were visited in June 2010 and samples of discharged wastewaters and river sediments were collected. In March 2011, further samples were collected from the Youngor Textile Complex, to give more insight into the quantities of hazardous chemicals identified. The sampling process was co-ordinated by the Greenpeace International Research Laboratories at Exeter University in the UK. The samples collected in June 2010 were analysed by the Greenpeace International Research Laboratories; those collected in March 2011 were sent for analysis to Omegam Laboratoria in the Netherlands. In addition, in order to understand the full chain of evidence, Greenpeace undertook investigations to find out which brands sourced clothing from these facilities. The results presented in this report represent the key findings of what was a detailed investigation; fuller data on all the samples taken and a technical discussion are provided in the Greenpeace Research Laboratories Technical Note.3
Dirty Laundry: Unravelling the corporate connections to toxic water pollution in China
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Greenpeace International
Dirty Laundry Unravelling the corporate connections to toxic water pollution in China
Section two
China has some of the worst water pollution in the world, with as much as 70% of its rivers, lakes and reservoirs being affected.
Dirty Laundry: Unravelling the corporate connections to toxic water pollution in China
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GREENPEACE / QIU BO
In 2003, Youngor Group Co Ltd invested 1bn yuan ($147m US dollars) to build the Youngor Textile Complex in Ningbo, which includes a large-scale production facility for items such as high-quality dyed yarn cloth, wool fabric, printed fabric, dyed fabric and knitwear6. It is now one of the major production facilities in China for high-end clothing and textiles. The companys headquarters at the complex has a research centre, a warehouse and a showroom in addition to the production facility. The Youngor Textile Complex houses a number of individual manufacturing plants, including those of the subsidiaries Youngor Sunrise Textile Dyeing & Finishing Co, Ltd (yarn dyeing, weaving, printing and finishing),
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Dirty Laundry: Unravelling the corporate connections to toxic water pollution in China
Greenpeace International
Dirty Laundry Unravelling the corporate connections to toxic water pollution in China
Section two
Ningbo Youngor Pants Co, Ltd (main product lines are casual and formal trousers and sportswear)7, Ningbo Youngor Fashion Co, Ltd (five product lines, the most important of which is casual sportswear) and Ningbo Youngor Worsted Spinning, Weaving & Dyeing Co, Ltd (dyeing, spinning, weaving and finishing of worsted wool fabric), as well as a wastewater treatment plant (WWTP). Youngor Group Co Ltd states that it spent 3m yuan ($441,176) to purchase a sewage treatment system from Japan which uses advanced processing technology to reduce emissions to safe levels, recycle water, and conserve resources.8
This large industrial complex occupies approximately three kilometres of the Fenghua river frontage. The Fenghua River, which flows into the Yangtze River Delta, is tidal at this location. There are no other industrial facilities with wastewater discharges into the river within the vicinity of the Youngor Textile Complex discharge pipe, which is connected to the WWTP (referred to by Greenpeace as Pipe 1).
Fenghua River
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become a Our strategy is to mpany by: zero-emissions co ronmental Embedding envi erything best practice in ev we do ronmental Maximising envi efficiency gains harnessing Supporting and ion for a our peoples pass greener planet
10 Adidas website
Although the Converse website does not refer to the environment or sustainability, the Converse brand is owned by Nike and is covered by the same corporate responsibility report. Likewise, the Calvin Klein brand is owned by Phillips-Van Heusen and is covered by the same environmental statement. The Bauer website does not mention the environment or sustainability. (See Appendix 1 for details of all the above companies and their responses to the evidence presented in this report.)
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Section two
The clean production concept is playing an increasingly important role in Youngors cost-control. Youngors management is now fully aware of the importance of environmentally friendly production techniques. Youngor Sunrise Textile and Garment Company is presently applying for the Clean Production Company licence from Chinas National Cleaner Production Center. The company is taking this opportunity to further promote cleaner production and the use of green energy.
Youngor website11
Factories are responsible for harmful substances free production. Factories will be held responsible and liable for all loss and damage suffered by PUMA, should any hazardous substances be found in the materials, components or final products.
Puma Handbook of Environmen tal Standards12
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Respect fo r the environmen t: It must b e ensured co mpliance w ith the environ mental law s and regulati ons applica ble in each cas e, adopting a behaviour p rinciple of a responsible and respec tful attitude tow ards the environmen t.
Grupo Cort efiel, Extern al Code of Conduct 13
h aborate wit We coll improve factories to order to efficiency in wing more avoid borro nd is needed a water than return it as to be able to it aner, than clean, or cle was found.
ty
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Greenpeace International
Dirty Laundry Unravelling the corporate connections to toxic water pollution in China
Section two
Lacoste does not have a statement of CSR policy but supports crocodile conservation projects: Using for over 78 years a crocodile as a logo, the LACOSTE brand actively support projects selected by the GEF to safeguard or protect certain species of crocodiles, alligators, caiman or gavials now in danger s of extinction and whose the los l would jeopardize the biologica as. balance of their habitat are
Lacoste Press Kit
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We apply the precautionary principle in our environmental work and have adopted a preventative approach with the substitution of hazardous chemicals.
H&M Conscious Actions Sustainability Report 201016
We recognis e that our su pply chain proces ses impact th e environment. While we do not have direct c ontrol over o ur suppliers, ve ndors and se rvice providers, w e [] seek to have our suppliers and vendors meet our env ironmental requirements with respect to wastewate r treatment, hazardous c hemicals, air quality and re cycling.
Phillips-Van H eusen, Enviro nmental Statement 17
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Which other firms are linked to Youngor Group Co Ltd by this chain of evidence?
Greenpeace also has evidence that the major brands Blazek, Nautica, Macys, the Oxford Apparel Group and Ralph Lauren have had a business relationship with the Youngor Group Co Ltd in the recent past, but these companies did not respond to a request for comment. Peerless Clothing confirmed a recent business relationship that it indicates has now ended.
Oxford
Apparel
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Section two
The levels found in the samples may appear to be low, but they are similar to levels that have been found in wastewater treatment plants receiving industrial effluent, and are above background concentrations in surface waters.18
A chemical cocktail
A diverse array of other chemicals at low concentrations was found in the samples taken in March 2011, indicating that this wastewater is a source of a range of hazardous substances to the local aquatic environment. This chemical cocktail could be a result either of the deliberate use of these chemicals in the textile processing, or of the washing out of chemical residues from yarn or textile products, from manufacturers located elsewhere, that have been brought to the site for processing. It presents an unknown hazard, as it is impossible to predict the risks posed by such complex mixtures of chemicals.
The further samples of wastewater taken in March 2011 were collected on three separate occasions on 8 and 9 March, within a total period of around 15 hours. During this Chemicals found in the quantitative analysis included: period the colour and the temperature of the wastewater amines aniline, 2-chloroaniline, methylaniline, was observed to vary considerably over time. The chemical ethylaniline and diethylaniline were quantified, as well analysis found a variety of hazardous substances, including as the carcinogenic o-anisidine; the persistent chemicals nonylphenol and perfluorinated the chlorinated volatile compounds dichloroethane, chemicals, despite the presence of a modern wastewater trichloromethane (chloroform) and tetrachloroethene; treatment plant. and
Nonylphenol
The qualitative analysis of the sample taken in June 2010 detected 53 organic chemicals, though it was only possible to positively identify 12 of these. The substances identified included a trialkyl phosphate (tributyl phosphate (TBP)), as well as an anthraquinone derivative. Fewer Its presence in one of the three samples collected in March organic chemicals were isolated from the second sample 2011 indicates that the Youngor Textile Complex is, at collected the following morning, when the rate of discharge least periodically, acting as a source of this hazardous from the pipe was visibly greater. Nonetheless, of the four chemical to the Fenghua River. compounds that were identified, all were also present in the sample collected the previous evening. These findings Perfluorinated chemicals (PFCs) highlight the potential for variability in the composition of The presence of several PFCs was also confirmed wastewaters discharged from single point sources over in the samples collected on all three occasions in time. (See Appendix 3 for a list of the substances identified March 2011; the highest concentrations were of and their effects.) perfluorooctanoic acid (PFOA) at between 0.13 and 0.14g/l. Lower concentrations of other PFCs were also found (perfluorocarboxylic acids at 0.0130.031g/l and perfluorooctane sulphonate (PFOS) at still lower levels (0.00310.0087g/l)). PFCs are manmade chemicals that are known for their long persistence in the environment; they can cause adverse effects on the liver and act as hormone disruptors (see Box 2.1).
The most significant finding was the presence of nonylphenol at a concentration of 14g/l in one of the samples, collected at 11am on 8 March 2011. Nonylphenol is a persistent, manmade substance that can build up in the food chain and is known to be a hormone disruptor.
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Bioaccumulation
Unlike many persistent organic pollutants (POPs), PFOS accumulates in the bodies of animals by binding to proteins in the blood, thereby building up to particularly high levels in liver tissue.29,30,31 Numerous studies have reported PFCs in tissues of amphibians, sh, birds and mammals (from mice to far larger mammals including whales and polar bears,32,33 as well as red and giant pandas from zoos and wildlife parks in China34. In the aquatic environment, PFCs have been reported in organisms at all levels of food webs.35
Health impacts
Studies of laboratory animals indicate that PFCs can cause adverse impacts during both development and adulthood. PFOS and PFOA have both been reported to have adverse effects on the liver in rodents and monkeys.40,41,42,43 PFCs have also been shown to act as hormone disruptors44 in humans as well as other animals; for example, high combined levels of PFOA and PFOS in the blood of men in Denmark were found to be associated with a reduced count of normal sperm.45
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Section two
Regulation
In China there are currently no regulations governing the manufacture and use of PFCs. However, PFOS has recently been included among the POPs regulated by the Stockholm Convention, a global treaty to protect human health and the environment from the effects of POPs. Contracting parties to the Convention (including China) are required to take measures to restrict the production and use of PFOS, although a wide range of uses are currently exempt.46 China is a contracting party to the Stockholm Convention, although it hasnt ratified the more recent amendment addressing PFOS.47 The marketing and use of PFOS have also been prohibited for certain applications within the EU48 and in Canada49, although many exemptions exist to those under the Stockholm Convention. Moreover, none of these restrictions apply to PFCAs and other PFCs. Furthermore, even when all uses are discontinued, the high persistence of PFOS and other PFCs will inevitably mean that they continue to be in the environment for a long period.
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Case study 2: Well Dyeing Factory Limited, Zhongshan, Pearl River Delta
image Main Entrance, Well Dying Complex
GREENPEACE / QIU BO
The Well Dyeing complex is bordered to the west by the Shiji River and to the east by the Gaosha River. These two small rivers are both tributaries of the far larger Huangshali Channel, a part of the Pearl River Delta, which ultimately flows into the South China Sea (see Figure 2.2). The river system is tidal at this location, though the Shiji River is connected to the Huangshali channel by a sluice gate, which controls the flow of water. Other facilities unconnected to Well Dyeing are located nearby, and some of these also appear to discharge wastewaters into the Shiji River. Greenpeace investigations revealed Pipe 1 discharging within the small channel right up to the Well Dyeing complexs perimeter wall, and on the other side of the wall within 2 metres of its wastewater treatment plant. Discharge water was sampled at a time when there was no rain (or standing surface water) for several hours preceding the sampling. This pipe discharges wastewater sporadically into the small channel, and was only observed to be discharging during the night. Our investigations indicate the discharge source of this pipe is exclusive to the Well Dyeing facility.
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an Hu
gsh
h li C
ann
el
Well Dyeing
Pipe 1
Road
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image These pools store wastewater produced from the dyeing process; they are part of the wastewater treatment plant of the Well Dyeing Factory Ltd.
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Which other firms are linked to Well Dyeing Factory Limited by this chain of evidence?
Greenpeace also has evidence that the major brands Carters, JC Penny, Kohls, Semir and Yishion have recently been supplied by the same complex, but these companies did not respond to a request for comment. American Eagle, GAP and Uniqlo have confirmed a recent business relationship that they indicate has ended.
is a Sustainability that we global initiative bout at feel strongly a & Fitch Abercrombie by our and we stand mitment continued com tal to environmen and sustainability 54 fforts. compliance e
Abercrombie & Fitch
The company sees environmental protecti on as an important part of its sustainable development strategy and aims to guide its environmental protecti on and sustainable development strategy with reference to international standards.55
Meters/bonwe
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image At low tide, the discharge pipes buried deeply in the banks of the Huangsha Channel are revealed. Greenpeace campaigners take samples to investigate water pollution.
GREENPEACE / QIU BO
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Hormone disruptors
The most widely recognised hazard associated with NPs and OPs is their ability to mimic natural oestrogen hormones. This can lead to altered sexual development in some organisms, most notably the feminisation of fish.73,74 Exposure to OPs caused adverse effects on male and female reproductive systems in rodents, including lower sperm production and an increase in sperm abnormalities75,76,77, as well as DNA damage in human lymphocytes78. Impacts on immune system cells in vitro have also been described.79
Existing controls
The manufacture, use and release of NPs, OPs and their ethoxylates is not currently regulated in China. However, NPs and NPEs have very recently been included on the List of toxic chemicals severely restricted for import and export in China, which means that their import or export now requires prior permission.80 Outside China, regulations addressing the manufacture, use and release of NPs, OPs and their ethoxylates do exist in some regions, for example the EU. In Europe, for most of their former uses APEs have now been replaced by alcohol ethoxylates. In 1992 parties to the OSPAR Convention81 decided to phase out NPEs in cleaning agents, starting with use in household products.82 In 1998 the OSPAR Commission agreed on the target of ending discharges, emissions and losses of all hazardous substances to the marine environment by 2020. NPs and NPEs were included on the first list of chemicals for priority action towards achieving this target.83 NPs have also been included as priority hazardous substances under the EU Water Framework Directive.84 Furthermore, within the EU, products containing greater than 0.1% of NPs or NPEs may no longer be placed on the market since January 2005, with some minor exceptions principally for closedloop industrial systems.85
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Conclusions
The investigations conducted by Greenpeace and the evidence presented in this section have demonstrated that two textile manufacturers have been polluting the Yangtze and Pearl River deltas with hazardous chemicals. It has been confirmed that these suppliers have commercial relationships with a range of major brands, including Abercrombie & Fitch, Adidas, Bauer Hockey, Calvin Klein, Converse, Cortefiel, H&M, Lacoste, Li Ning, Meters/bonwe, Nike, Phillips-Van Heusen Corporation (PVH Corp), Puma and Youngor. These suppliers have also been linked with many other Chinese and international brands. The pollution of local water supplies recorded at these facilities is occurring despite the fact that some of the above-named brands have policy statements that support the principle of zero emissions. When confirming their commercial relationship with the Youngor Group, Bauer Hockey, Converse, Cortefiel, H&M, Nike and Puma informed Greenpeace that they make no use of the wet processing of the Youngor Group for the production of their garments. However, regardless of what they use these facilities for, none of the brands found to have commercial links with these two facilities have in place comprehensive chemicals management policies that would allow them to have a complete overview of the hazardous chemicals used and released across their entire supply chain, and to act on this information. As brand owners, they are in the best position to influence the environmental impacts of production and to work together with their suppliers to eliminate the releases of all hazardous chemicals from the production process and products. Many of the substances identified in the wastewater samples from the two facilities are soluble in water, enabling them to remain relatively mobile within the river systems to which they are released. This means they are likely to be transported downstream, at which point it would be impossible to trace them back to the source. Some of these substances are known to be highly persistent within aquatic environments and/or able to accumulate within organisms. The ongoing release of such substances is therefore likely to lead to ever-increasing levels in the receiving environment, where in some cases they will remain for a long period of time even after legislation may have prohibited their release. The alkylphenols and perfluorinated chemicals found in the samples are a cause for serious concern; these substances are known hormone disruptors and can be hazardous at very low levels. Not enough is known about some of the other chemicals found, in terms of their toxicology or their potential impacts following release to the environment. However, in such cases the burden of proof should lie with the polluter to prove that the substances released are safe, in line with the precautionary principle that requires that action be taken to prevent damage to the environment even when there is scientific uncertainty (see Section 4). Our investigations have also highlighted instances of the composition of discharged wastewater varying significantly over time, and of active discharge occurring sporadically and during the night. Effectively monitoring discharges from any facilities with either of these types of discharge pattern would be extremely difficult. As noted in Section 1, Chinese national and provincial legislation does set controls on the discharge of certain chemical pollutants in wastewater, including some of those identified at the facilities we investigated; for example the heavy metals chromium, copper and nickel. However, the regulations do not absolutely prohibit the discharge of these hazardous chemicals; rather, they set maximum permissible levels for the substances listed. In other words, textile complexes such as the two we investigated get a licence to pollute as a result of the current legislative system. What is more, the regulations simply do not address the majority of substances that we identified in wastewater.
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image A young boy stands in front of a heavily polluted pond in Gurao, Shantou, where the economy is centered around textile production.
The use of end-of-pipe measures, including conventional wastewater treatment plants, cannot effectively address the presence of many hazardous substances in wastewater. In fact, our investigation showed that investment in a modern wastewater treatment plant at the Youngor Textile Complex has not prevented the release of a range of complex organic chemicals. Clearly, our investigations could not attempt to encompass all sources of hazardous chemical discharges into the Pearl River and Yangtze River deltas. However, the documentation of hazardous chemicals discharged in the wastewater from the two industrial complexes investigated provides a clear indication of the potential for discharges to occur at other textile facilities. The problem requires much more extensive investigation, both by government authorities and by companies outsourcing their products with a view to ending the discharge of hazardous substances. Critical to this aim will be increased transparency and disclosure of all releases of hazardous chemicals from such facilities. The following section analyses in more detail the way in which responsibility for discharges of hazardous substances extends down the supply chain, sets out the need for clothing brands to assume their share of that responsibility, and suggests how they might begin to go about this.
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The need for corporate responsibility
The textile industry: a dirty past, a cleaner future?
The investigations outlined in Section 2 prove that hazardous chemicals have been discharged from two major Chinese textilemanufacturing facilities. The connections between these facilities and many major brands that use them as suppliers have also been highlighted.
The use of rivers as a dumping ground for wastewater containing hazardous chemicals is likely to be common across China, whether the wastewater is discharged directly into a river untreated or after passing through a wastewater treatment plant that cannot deal effectively with persistent hazardous chemicals. However, China is not the first place to suffer from textile industry pollution of this kind.
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Figure 3.1: Production of textiles for global markets began to shift from North America and Western Europe to Asia from the 1950s onwards.
1950s WESTERN EUROPE 1950s NORTH AMERICA PRESENT+1980s WESTERN CHINA PRESENT +1980s SOUTHERN CHINA 1990s THAILAND PRESENT+1990s SRI LANKA PRESENT+1990s MALAYSIA 1990s SOUTH AMERICA PRESENT+1990s INDONESIA 1980s KOREA 1960s JAPAN 1970s TAIWAN 1970s HONG KONG PRESENT+1990s THE PHILIPPINES
1950s
NORTH AMERICA WESTERN EUROPE
1960s
JAPAN
1970s
TAIWAN HONG KONG
1980s
WESTERN CHINA SOUTHERN CHINA
1990s
SRI LANKA MALAYSIA THAILAND INDONESIA THE PHILIPPINES SOUTH AMERICA
PRESENT
SRI LANKA MALAYSIA THAILAND INDONESIA THE PHILIPPINES SOUTH AMERICA WESTERN CHINA SOUTHERN CHINA
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The role that stricter environmental controls in the Global North played in the growth of the textile industry in China has been relatively minor compared to other factors such as the availability of cheap labour.10 However, when the pressure to cut costs is overwhelming, in part due to demand for cheap clothing from discount retail chains, investment in measures to protect the environment is easily bypassed. For example, it is reported that prices of clothing imported to the US have fallen 25% in real terms since 199511, leading to a constant need to slash costs, which in turn has encouraged some textile factories in China to discharge wastewater directly into rivers. Treatment of contaminated wastewater which can address some types of pollution, although ineffective against many persistent hazardous substances (see Section 1) costs around $0.13 US dollars a tonne. Factories can increase profit margins substantially by sending wastewater directly into rivers, in violation of Chinas water-pollution laws.12 Nevertheless, environmental costs can be overestimated because it is assumed that traditional pollution control methods will be necessary. In North Carolina in the 1980s (see Box 3.1), the future of the textile industry was
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threatened by the prohibitive cost of treatment that would remove alkylphenol ethoxylates (APEs) from wastewater effectively enough to comply with environmental standards. However, when the companies concerned replaced APEs in their manufacturing process with safer alternatives, these costs were avoided. As a result, the North Carolina textile industry was able to continue into the 1990s, before eventually relocating to India and China. Unfortunately, in the process of migrating to China, India and other developing countries, the textile industry continues to rely on persistent hazardous chemicals in its processing, using wastewater treatment plants to treat discharges or dumping waste directly into rivers, instead of replacing these chemicals with safer alternatives, as was the case in North America. Despite the lesson from industrialised countries that the use of many hazardous chemicals can be avoided in textile processing, the concern is that they will continue to be used in China and other countries where the textile industry is expanding, such as India, Pakistan, Vietnam, Cambodia and Bangladesh.13
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Multinational chemical industry and/or local suppliers provide dye-stuff and chemical inputs
Yarn formation
fibre preparation texturising spinning
Fabric formation
warping slashing weaving knitting
Fabrication
cutting sewing
Products
Natural fibres
Textile producers
Clothing manufacturers
Clothing retailers
Farmers and growers Multinational chemical industry and/or local suppliers - pesticides, fertilisers and seeds
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While developing countries produce half of the worlds textile exports and nearly three-quarters of the worlds clothing exports21, the majority of the major clothing brands are based in the Global North. Market-leading clothing and footwear brands globally include H&M, Nike, Agiocur (Inditex) Zara, C&A and Adidas22, while major US clothing manufacturers include Levi Strauss, Phillips-Van Heusen, VF Corporation and Warnaco23. In general, the textile and clothing industry is highly fragmented, with the involvement of many different brands in the US, the 50 largest brands generated less than 40% of revenue24, while in the EU more than 60 companies generate about 25% of revenue25. The complexities of the supply chain inevitably make for a lack of transparency about the various steps involved in the manufacture of products and the potential environmental impacts.
The actor in a position to demand all information on the various supply chain steps is the brand owner, although manufacturers and trade agents can also take a co-ordinating role.26 However, brands do not usually disclose details of all their suppliers, in particular subcontractors or those several steps down the supply chain. To complicate the situation further, suppliers often contract with more than one brand, and contracts can be short-term as a result of short product cycles and volatile trends. This report focuses on wet processing, including dyeing, finishing and printing. Of all of the finishing operations, this is where the majority of hazardous substances are used and discharged to surface water.27 The responsibility for pollution from wet processing lies both with the textile producers themselves and with the brands that they supply with their products.
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local laws or the brands own very general water pollution parameters.42 Notably, there is no evidence that any of the three aforementioned brands implement measures to restrict the release of most hazardous substances into water via their suppliers wastewater discharges. This is despite the fact that they all have policy statements supporting the elimination of toxic emissions (which must logically include emissions to water) throughout a products life cycle to a greater or lesser extent. Nikes North Star concept, was developed to define what sustainable products and a sustainable company would look like. Healthy Chemistry, with the objective being to minimise the impact of product ingredients throughout the life cycle, is a key part of this, as is Water Stewardship, where Nikes aim is to collaborate with factories to improve efficiency in order to avoid borrowing more water than is needed and to be able to return it as clean, or cleaner, than it was found.43
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However, there is no publicly available information about the measures that Nike takes to guarantee that this objective will be implemented in practice. Key information, such as the companys suppliers guide and data on its water program, is not publicly accessible. This is despite the fact that Nikes chemicals programme has some progressive elements, such as its use of the Principles of Green Chemistry as an approach for replacing hazardous substances.44 Adidass Environmental Strategy is to manage environmental effects throughout the value chain. The focus will always be on the following: Sustainable use of resources Avoidance of and reduction in emissions Limiting risks and chemical hazards.45 Under the heading Green Company on its website46, Adidas also states that Our strategy is to become a zero-emissions company by:
Despite a relatively sophisticated system of supply chain management, including auditing and third party verification, Adidass overall approach lacks detail on hazardous substances. For example, there are no clear criteria for the selection of hazardous substances to be prioritised for phase-out, with clear target dates. Some hazardous substances are already restricted in products, but although Adidas does require its suppliers to avoid the use of the substances listed in its RSL, there is no implementation plan on how to achieve this, apart from some limits on the discharge of heavy metals.48 Pumas overall approach to sustainability is to drive our business towards cleaner, greener, safer and more sustainable systems and practices.49 More specifically, it states Factories are responsible for harmful substances free production. Factories will be held responsible and liable for all loss and damage suffered by PUMA, should any hazardous substances be found in the materials, components or final products.50
Harmful substances free production appears to refer to the manufacturing process and emissions from it; Embedding environmental best practice in however, in Pumas Handbook on Environmental everything we do Standards51 the use and emission of hazardous Maximising environmental efficiency gains substances is not addressed among the specific steps Supporting and harnessing our peoples passion for to be taken to reduce and prevent environmental impact. Hazardous substances are considered when they are a greener planet. found in materials, components or final products, but not However, the use of the term zero emissions is when released to the environment, with little attention misleading, as the strategy is focused only on the firms given to production-related environmental standards. own production sites and does not include its supply chain. Nor is the elimination of discharges of hazardous substances mentioned among the strategys targets. The targets that are mentioned, such as cutting relative47 energy use and reducing paper use, are unambitious.
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How far do the brands restrictions on alkylphenols, PFOS and PFOA go?
Scope of restriction Nike53 Product Manufacturing Wastewater Product Manufacturing Wastewater Product Manufacturing Wastewater Product Manufacturing Wastewater yes no no yes no no yes no no no no no Alkylphenols and ethyoxylates** Additional chemicals of concern for future restriction* PFOS** Yes limit of 1g/m2 PFOA Yes limit of 1g/m2 Yes limit of 1g/m2 No
Adidas54
Sum of NP, OP and NPE is 1000 ppm; Yes limit of 100 ppm for NP as single parameter*** 1g/m2 sum of NP, NPE, APE, OP does not exceed 1,000 mg/kg*** No Yes 1g/m2
Puma55
Li Ning
No
No
* In Nikes list of restricted substances for finished products. APEs (NPs, NPEs, OPs, OPEs) are on Nikes list of Additional Chemicals of Concern: These chemicals are currently the focus of governmental, academic, or NGO research and may in the future be legally regulated or appear on the Nike RSL. Suppliers are asked to determine whether these substances are used, state what their function is, and avoid them if possible. However, there is no evidence as to how this very weak requirement is to be implemented, or whether discharge to wastewater is considered. ** Restricted by legislation56 *** NP = nonylphenols, OP = octylphenols, APE = alkylphenol ethoxylates, NPE = nonylphenol ethoxylates
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Conclusion
When a less hazardous substitute is available and already being used by the textile industry in some locations, substances such as NPs should not be used in textile manufacturing anywhere in the world. However, given the major differences in regulations and enforcement from country to country and particularly between advanced and emerging economies and developing countries achieving this objective by legislative means could be a slow and difficult process. On the other hand, multinational corporations such as the brands highlighted in this report have the power to persuade their suppliers to phase out these substances. This goal is achievable in the short term, until legislative changes can catch up. The feasibility of rapid change in an industrial sector has been demonstrated by companies in the electronics industry with the phase-out of PVC and BFRs in their products, currently being implemented through their supply chains.91 Until recently, many in that industry would have considered this development impossible; in fact, the availability of substitutes has increased in response to demand from the electronics brands.92 There is a need for rapid intervention to instigate a global phase-out of hazardous chemicals, starting with some that have already been regulated in certain markets (see Section 4 for a list of 11 priority chemicals for phase-out). Owing to their market share and high profile sportswear brands are in a unique position to take a lead within the textile industry, setting a deadline and developing a substitution plan. Provided that enough resources are used to develop alternatives, substitutes will begin to emerge. However, the need to take action on this issue is not limited to the brands outlined in this report. All clothing brands have a duty to influence their supply chains to phase out the use and discharge of hazardous substances. Section 4 outlines the steps needed for both companies and governments to implement this phase out plan.
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04
Championing a toxic-free future: Prospects and recommendations
A turning point for the textile industry
Greenpeace investigations have revealed that two textile manufacturers have been discharging persistent and hazardous chemicals into rivers in China. Whilst the findings documented in this report offer a snapshot of the kind of toxic chemicals being released into our waterways, such discharges are likely to be the tip of the iceberg, given the scale of the textile manufacturing industry in China and elsewhere.
Our investigations have also linked the two facilities involved with several major brands, including sportswear companies, other clothing brands and retailers. Notably, the international brands Abercrombie & Fitch, Adidas, Bauer Hockey, Calvin Klein, Converse, Cortefiel, H&M, Lacoste, Nike, Phillips-Van Heusen Corporation (PVH Corp) and Puma, and the Chinese brands Li Ning, Meters/bonwe and Youngor, have all had products manufactured at one or the other of the facilities. The textile industry is playing an important role in the industrialisation and development of many countries in the Global South, China in particular. Major brands with supply chains in these countries are in a unique position to work with their commercial partners to reduce the environmental impacts of textile manufacturing, and in the process help lead the shift away from hazardous and environmentally damaging chemicals, which needs to happen across all industries.
SJOLANDER / GREENPEACE
Just as some electronics brands have recently taken the lead by phasing out hazardous substances in their products, so the major clothing brands must now take responsibility for ensuring that their suppliers phase out the use and discharge of hazardous substances during the wet processing of textiles where many hazardous substances are used and discharged into water. Part of a companys responsibility is to tackle the discharge of persistent hazardous chemicals and to avoid the serious and often far-reaching impacts these hazardous chemicals can have on the environment and on peoples livelihoods. However, to respond to this challenge effectively, a change in our whole approach to the problem of water pollution is needed. As our investigations have shown, modern wastewater treatment plants do not prevent the discharge of some hazardous, persistent chemicals into our waterways. A new strategy is therefore needed to prevent such chemicals being used in the first place, bringing about an end to their use altogether and their replacement with non-hazardous alternatives.
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To this end, Greenpeace is calling on the brands and the suppliers identified in this investigation to become champions for a toxic-free future, by eliminating all releases and uses of hazardous chemicals from across their supply chains and products. Specifically, this entails establishing clear company and supplier policies that commit their entire supply chain to shift from hazardous to safer chemicals, accompanied by a plan of action that is matched with clear and realistic timelines. Proper policies to eliminate the releases of all hazardous chemicals across a companys entire supply chain should be based on a precautionary approach to chemicals management (see Box 4.1), and account for the whole product lifecycle and releases via all pathways. To be credible, these policies need to be accompanied by a plan of implementation, with clear timelines, and be matched with real and substantial action on the ground. Knowing what hazardous chemicals their suppliers use and release and making this data publicly available will be fundamental to the brands shift towards championing
a toxic-free future (see Box 4.2). Transparency will also be crucial with regard to showing progress made to eliminate the release and use of hazardous chemicals. Due to the urgency of the situation, brands need to work quickly to identify the most dangerous chemicals and eliminate these as a priority. Full public accountability for, and disclosure of, what they and their suppliers are discharging into public waterways will play a key role in this work. Above all, these brands need to act as leaders and innovators. The problems associated with the use and release of hazardous chemicals within the textile industry will not be fixed by severing ties with one or two polluting suppliers. The solutions are to be found in working together with their suppliers to bring about systematic change in the way brands and businesses create their products. Such action requires vision, commitment and a desire to improve upon the current approach to hazardous chemicals. Every brand and supplier has the responsibility to know when and where hazardous chemicals are being used and released up and down their supply chain and to strive to eliminate them. It will therefore be through their actions, not their words, that these brands can become agents of positive change.
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image A resident of Gaoping village in Sanjiao Town, Zhongshan City , sits on a tree by the river. On the opposite bank, they are busy building another new factory..
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Section four
To this end, Greenpeace is calling for governments to adopt a political commitment to zero discharge7 Leading brands and product manufacturers are in a of all hazardous substances within one generation8, position to take immediate steps to eliminate hazardous based on the precautionary principle and a chemicals. In order for this shift to be enforced preventive approach to chemicals management, throughout the industry and to reduce the risk of rogue with the substitution principle at its core and producer companies continuing to pollute, it is also necessary for responsibility9 to drive elimination of hazardous governments to put in place comprehensive chemical substances. management policies. Legislative measures can To implement this commitment, policies and plans are strengthen company policies by ensuring that they evolve needed that establish a dynamic10 priority hazardous as new information on hazardous chemicals becomes substance list11 (to be acted on immediately), intermediate available. Legislation also creates a level playing field, enabling safer alternatives to gain a stronger foothold in the targets to meet the one generation goal and a publicly available register of data about discharges, emissions and market, which in turn makes them more cost-effective. losses of hazardous substances. The most effective strategy is therefore to prevent the Governments, as well as all brands and suppliers, should release of hazardous chemicals through eliminating use embark on the steps outlined above as a matter of at source and, as already noted, brands are best placed urgency, beginning with a commitment to zero discharges to take immediate action. In recognition of this, policy of hazardous chemicals and a plan to implement this. It is makers are taking the approach of increasing producer still possible to prevent further damage to the environment responsibility, shifting the burden of proof of safety and and the risk to populations from hazardous and persistent the responsibility to provide information on the impacts of chemicals, and to avert the need for costly clean-ups, but hazardous chemicals away from governments and wider action needs to be taken now. society and towards those who make and sell chemicals and the businesses that use these chemicals in their products and manufacturing processes.5 In the EU, the responsibility for information on the hazards of chemicals used for production and in products has now been placed with chemical producers and manufacturers of products containing chemicals.6 All companies (both manufacturers and brands) therefore need to be fully aware of the chemicals used by their suppliers, their presence in products, their impacts and any discharges; including those into water. Starting from this principle of producer responsibility, comprehensive chemicals management frameworks should be devised as a matter of urgency, to prevent ongoing releases into the environment that may require future clean-up and have serious impacts on the environment and on peoples health and livelihoods, especially in the Global South.
As global citizens, we can collectively influence brands to act responsibly on behalf of the planet and its people. The need for companies to make the right choices and protect future generations has never been greater than it is today. Please join with us and support Greenpeace in calling on these brands to champion a post-toxic world where our water supplies are no longer polluted with hazardous, persistent and hormone-disrupting chemicals by industry. Together we can demand that they act NOW to detox our rivers, detox our planet and, ultimately, detox our future. A post-toxic world is not only desirable, its possible. Together we can create it.
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4) Azo dyes
Azo dyes are one of the main types of dye used by the textile industry. However, some azo dyes break down during use and release chemicals known as aromatic amines, some of which can cause cancer.23 The EU has banned the use of these azo dyes that release cancercausing amines in any textiles that come into contact with human skin.24
5) Organotin compounds
Organotin compounds are used in biocides and as antifungal agents in a range of consumer products. Within the textile industry they have been used in products such as socks, shoes and sport clothes to prevent odour caused by the breakdown of sweat. One of the best-known organotin compounds is tributyltin (TBT). One of its main uses was in antifouling paints for ships, until evidence emerged that it persists in the environment, builds up in the body and can affect immune and reproductive systems.25 Its use as an antifouling paint is now largely banned. TBT has also been used in textiles. TBT is listed as a priority hazardous substance under EU regulations that require measures to be taken to eliminate its pollution of surface waters in Europe.26 From July 2010 and January 2012 products (including consumer products) containing more than 0.1% of certain types of organotin compounds will be banned across the EU.27
2) Phthalates
Phthalates are a group of chemicals most commonly used to soften PVC (the plastic polyvinyl chloride). In the textile industry they are used in artificial leather, rubber and PVC and in some dyes. There are substantial concerns about the toxicity of phthalates such as DEHP (Bis(2-ethylhexyl) phthalate), which is reprotoxic in mammals, as it can interfere with development of the testes in early life.16 The phthalates DEHP and DBP (Dibutyl phthalate) are classed as toxic to reproduction in Europe17 and their use restricted. Under EU REACH legislation the phthalates DEHP, BBP (Benzyl butyl phthalate) and DBP are due to be banned by 2015.18
6) Perfluorinated chemicals
Perfluorinated chemicals (PFCs) are manmade chemicals widely used by industry for their non-stick and water-repellent properties. In the textile industry they are used to make textile and leather products both water and stain-proof. Evidence shows that many PFCs persist in the environment and can accumulate in body tissue and biomagnify (increasing in levels) through the food chain.28,29 Once in the body some have been shown to affect the liver as well as acting as hormone disruptors, altering levels of growth and reproductive hormones.30,31 The best known of the PFCs is perfluorooctane sulphonate (PFOS), a compound highly resistant to degradation; it is expected to persist for very long periods in the environment.32 PFOS is one of the persistent organic pollutants restricted under the Stockholm Convention, a global treaty to protect human health and the environment, and PFOS is also prohibited within Europe33 and in Canada34 for certain uses.
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Section four
7) Chlorobenzenes
Chlorobenzenes are persistent and bioaccumulative chemicals that have been used as solvents and biocides, in the manufacture of dyes and as chemical intermediaries. The effects of exposure depend on the type of chlorobenzene; however, they commonly affect the liver, thyroid and central nervous system. Hexachlorobenzene (HCB), the most toxic and persistent chemical of this group, is also a hormone disruptor.35 Within the EU, pentachlorobenzene and HCB are classified as priority hazardous substances under regulations that require measures to be taken to eliminate their pollution of surface waters in Europe.36 They are also listed as persistent organic pollutants for global restriction under the Stockholm Convention, and in line with this they are prohibited or scheduled for reduction and eventual elimination in Europe.37
8) Chlorinated solvents
Chlorinated solvents - such as trichloroethane (TCE) - are used by textile manufacturers to dissolve other substances during manufacturing and to clean fabrics. TCE is an ozone-depleting substance that can persist in the environment. It is also known to affect the central nervous system, liver and kidneys.38 Since 2008 the EU has severely restricted the use of TCE in both products and fabric cleaning.39
9) Chlorophenols
Chlorophenols are a group of chemicals used as biocides in a wide range of applications, from pesticides to wood preservatives and textiles. Pentachlorophenol (PCP) and its derivatives are used as biocides in the textile industry. PCP is highly toxic to humans and can affect many organs in the body. It is also highly toxic to aquatic organisms.40 The EU banned production of PCP-containing products in 1991 and now also heavily restricts the sale and use of all goods that contain the chemical.41
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Contents
All companies mentioned in this report received a letter prior to the report launching outlining the evidence found. Where companies responded before the stated deadline with responses deemed to be relevant, extracts from these responses are included at the end of their respective brand profile.
Appendix 1
1) Main brands that have a business relationship with Youngor Textile Complex 1.1 Adidas 1.2 Bauer Hockey 1.3 Cortefiel 1.4 H&M 1.5 Lacoste) 1.6 Phillips-Van Heusen Corporation (PVH Corp) 1.7 Nike 1.8 Puma 1.9 Youngor (for Calvin Klein and Converse, see PVH Corp and Nike, respectively) 2) Main brands that have a business relationship with Well Dyeing Factory Limited 2.1 Abercrombie & Fitch 2.2 Meters/bonwe 2.3 Phillips-Van Heusen Corporation (PVH Corp) 2.4 Li Ning 3) The global market shares of sportwear companies
Appendix 2
Profiles of other brands linked with Youngor Textile Complex
Appendix 3
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Appendix 1
1) Main brands that have a business relationship with Youngor Textile Complex
Net sales concentrated on Europe (42%) and the Americas (33%) in 2009, while Asia accounted for 25% of total sales. Adidas has put a lot of effort into retail within the last five years. At the end of 2009 the Adidas Group retail for the brands Adidas and Reebok increased to 2,212 stores. The biggest Adidas retail outlet the Adidas Brand Center is located in Beijing. To minimise production costs Adidas outsources 95% of its production to independent third party suppliers, primarily located in Asia. We strive to be a sustainable company, one that recognises its responsibilities towards the environment, our employees and the people who make our products.3
Adidas started out as a sport shoe factory, which is still one of its main scopes. However, it has also expanded into sports apparel, equipment and accessories, as well as producing sport-inspired fashion.
...At the end of the manufacturing process for Adidas goods there is a washing process, but the possibility that high concentrations of the chemicals you mentioned can occur is very low... Adidas response to Dirty Laundry
Americas 18%
46% China
Rest of Asia 30%
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The business strategy of Bauer Performance Sports is to continue to develop and bring to market high performing products that improve the performance of athletes at all levels.5 Bauer Hockey was founded in Kitchener, Ontario in 1927. Bauer Hockey was owned for 12 years by Nike Inc. from 1995 to 2008, when it sold Bauer Hockey to an investor group led by Kohlberg & Company and Canadian businessman W. Graeme Roustan for $200m in cash.6 In 2011, Bauer announced its intention to become a public company, Bauer Performance Sports Ltd.7 Bauer makes and markets equipment and clothing under the brands Bauer Hockey, Mission Roller Hockey and Maverik Lacrosse.8 The companys aims include: increasing its share of the Ice and Roller Hockey market; targeting emerging and underdeveloped consumer segments; growing apparel across all sports categories, capitalising on the rapidly growing lacrosse market and pursuing strategic acquisitions. The company does not refer to CSR, the environment or sustainability; the only announcement on the website is under the heading: Corporate Governance. Bauer Performance Sports Ltd.s Board of Directors considers good corporate governance to be an integral part of the effective and efficient operation of the company and essential to the enhancement of long-term shareholder value. Bauer Performance Sports Ltd. is committed to full and fair disclosure and providing timely, accurate and complete compliance with the corporate governance standards of Canadian securities regulators and the Toronto Stock Exchange. Bauer Performance Sports Ltd.s governance system incorporates transparency and high standards of ethics and discipline that embrace best practices in corporate governance for our shareholders. 9
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Playing an active role in forming the Sustainable Apparel Coalition, working to create a universal index to show the environmental impact and fair labour practices for clothing and footwear production. A global ban on sand-blasting for all its products. Saving 50 million litres of water in denim production relative to previous production methods.
We welcome your campaign as it deals with an important topic, and we fully share your ambitions and efforts to eliminate discharges of hazardous chemicals. Any aim to put light on the effects of industrial water pollution, wherever it might appear, should be encouraged and is something we all benefit from. Ningbo Youngor Yinchen Uniform produces blazers and trousers for H&M, but the very fabric used for these garments comes from fabric suppliers/textile mills outside of the Youngor Garment city. H&Ms response to Dirty Laundry
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In 2010, 35% of global sales were in North America, 20% in Western Europe, 11% in emerging markets and 9% in Greater China. Nike lists 612 contract factories in its 2009 Corporate Responsibility report.32 Our commitment is to create extraordinary performance products for athletes while managing our business within natures limits.
We are continuously working toward improving water usage and management of water in our supply chain and welcome Greenpeaces stewardship in this area. We hope this can be the beginning of a dialogue that will lead to raising industry standards in this area. Nike Inc currently sources from two factories in the Youngor Group Co, Ningbo Youngor Knitting and Underwear and Ningbo Youngor Sportswear in Zhejiang Province.These factories are cut-and-sew facilities. They do not have manufacturing processes that include use of the chemicals called out in your letter. In addition, neither factory sources materials from the Youngor Dye House. Nikes response to Dirty Laundry
Japan 4%
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Youngor Knittings website states that it is now supplying Lacoste, Abercrombie&Fitch, Polo Ralph Lauren, Adidas, Youngor, Perry Ellis, Calvin Klein and other world-renowned clients with 8,000 tons of knitted fabrics and 1.2 million dozens of T-shirts, casualwear items, and sportswear items.39 Further famous brands with links to Youngor subsidiaries are Nike, Puma and Hummel.40 In 2008, Youngor acquired Smart Shirts Limited, the former menswear division of Kellwood, one of the top five companies in the US clothing industry, and the Xin Ma Group, one of the top three garment manufacturers in Hong Kong.41 Currently, Youngor has more than 100 branches, 400 exclusive shops and 2,000 retail outlets in China.42 In 2001, Youngor opened its giant flagship store, the largest of its kind in China, in Shanghais Nanjing Road Chinas first commercial street.43 Through Smart Shirts it has access to outlets in hundreds of US department stores.44
Youngor is the worlds largest menswear manufacturer, with a production capacity of 80 million clothing items a Youngor Sunrise Textile and Garment Company is year. In 2009 it was ranked first by the National Garment Association as the company with the highest sales revenue presently applying for the Clean Production Company licence from Chinas National Cleaner Production Centre. and sales profit.36 The company is taking this opportunity to further promote Youngors product line includes shirts, suits, trousers, cleaner production and the use of green energy.45 casual jackets, ties and T-shirts, all officially recognised as leading national brands. In future, Youngor aims to promote its brand image with three branch styles: casual-fashion We take the problem which Greenpeace raised wear (GY - Green Youngor); business wear (Youngor CEO); seriously and we will work with Greenpeace to and officials wear (MAYOR & YOUNGOR).37 find a solution. 31% of sales revenues are generated on the domestic Chinese market, with 69% coming from international markets, mainly the US, Europe and Japan.38 The company is not only a brand it is also a supplier. Youngor has established 156 subsidiaries nationwide to offer pre-sales, sales, and post-sales customer service. Youngors response to Dirty Laundry
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Appendix 1 (continued)
2) Main brands that have a business relationship with Well Dyeing Factory Ltd.
2.3 Philips van Heusen Corporation (PVH Corp), New York, USA
(see 1.6 above)
Abercrombie & Fitch is a member of the Apparel Mills and Sundries Program through Business for Social Responsibility (BSR) ... The onus on this issue is shared with the Well Dyeing Factory to accept the initiative and become a participant in the BSR program. Abercrombie & Fitchs response to Dirty Laundry
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an abundant supply of contract manufacturers in the PRC and we will continue to focus on product development and brand management, we have no intention to expand our manufacturing operations in the foreseeable future.
In 2009, Li Ning published its first CSR report, which was also the first in the Chinese sporting goods industry.62 The report ...sets out the requirements for suppliers in Li Ning is engaged in brand marketing, research and performing their social responsibilities in respect of labour, development, design, manufacturing, distribution and retail safety and environmental protection, which are used by of footwear, apparel, accessories and equipment for sport the Group as one of the criteria in identifying new suppliers and leisure under its own Li-Ning brand and five others, in and assessing the existing suppliers. Enterprises are a a multi-brand business development strategy, mainly in the part of the community and both the natural and the social Peoples Republic of China (PRC). environment are indispensable to enterprises. While creating commercial value, the Group keeps a close eye Li Nings popularity and success to date is mainly based on the harmonious coexistence of itself with the nature and on the domestic market; the Group calls itself one of the the society in pursuit of sustainable development. leading sportswear brands in China.58 In 2010 there were 7,478 Li Ning brand retail stores in China (made up of 7,004 brand franchises and 474 directly-managed retail stores in 18 provinces and municipalities).59 Li Ning has more than 30 We take the problem Greenpeace raised seriously. subsidiaries in China, one in the US, one in Germany and one Well Dyeing is our fibre supplier. We have confirmed in Spain.60 that Well Dyeing has received Greenpeaces The manufacturing of Li Ning products is undertaken by Guangdong Li Ning Sports Development Company Ltd other independent third party manufacturers.61 We will continue to engage contract manufacturers in the production of our products and contract manufacturers will remain as our major suppliers in the near future. As there is letter. We have asked them to investigate their pollutant discharge immediately and report back to us. We asked Well Dyeing to proactively contact Greenpeace and cooperate with you. Li Nings response to Dirty Laundry
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18% 31%
5% 2% 4% 5% 6% 7%
16% 6%
Sketchers Others
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Blaek Praha was established in 1992. Today it is first among apparel manufacturers in the Czech market. Its main The VF Corporation has Global Compliance Principles activity is the manufacture and sale of mens clothing.1 that include the environment: Facilities should have policies Apart from suits, shirts, ties, coats and cloaks, Blaek offers and procedures in place to ensure environmental impacts are
jackets, pullovers, t-shirts, jeans, underwear and accessories, including a whole collection of shoes and bags as well.2
Revenues from production in 2010 were 400m Czech koruna (16m), and from retail sales in 2010 350m koruna (14m). Blaek employs 98 people.3
minimised with respect to energy, air emissions, water, waste, hazardous materials and other significant environmental risks. Facilities are expected to make sustainable improvements in environmental performance and require the same of their suppliers and sub-contractors.14
Blaek does not refer to environmental issues on its Oxford Apparel Group, Atlanta, website, but focuses mainly on social topics, such as equal Georgia, USA opportunities, fair play and human potential.4 Macys, Cincinnati Ohio, USA Macys Inc has corporate offices in Cincinnati and New York and is one of the US premier retailers, with fiscal 2010 sales of $25 billion.5 Macys Inc employs approximately 166,000 people6 and is recognised as a retail industry leader in developing private brand merchandise.7
Oxford
Apparel
Oxford Apparel produces branded and private label dress shirts, suited separates, sport shirts, casual slacks, outerwear, sweaters, jeans, swimwear, western wear and golf apparel.It also sells products under the Oxford Golf and various Ely & Walker trademarks, and the Hathaway trademark.15
Oxford Apparel used to be part of Oxford Industries; in January 2011 it was sold to Li & Fung USA; Oxford Apparel generates about $220m a year.16 Oxford Apparel CSR is important for Macys self-image and outward products are sold to a variety of department stores, communication; At Macys, Inc. we believe that contributing mass merchants, speciality catalogue retailers, discount to a more sustainable environment is good business practice retailers, speciality retailers, green grass golf merchants and the right thing to do for future generations. As a leading and Internet retailers throughout the US.
national retailer with a significant workforce, we have the opportunity to make a meaningful difference in improving the environment. And we will do so by using resources more efficiently,providing eco-friendly products that meet customer expectations and striving to reduce our overall impact on the environment.8
Li & Fung Limited, the parent company of LF USA, has a large section on corporate responsibility on its website, but little information regarding the environment, of which most is climate-change related. The only statement related to suppliers or subsidiaries is: We regularly report on our
progress on various environmental measures through the annual reports of our subsidiary companies and, at the group level, through various means such as the UN Global Compact Communication on Progress Report.17
Nautica, New York USA Founded in 1983, Nautica has evolved from a collection of mens outerwear to a leading global lifestyle brand, with products ranging from mens, womens and childrens apparel and accessories to a complete home collection.9
Products including Nautica Golf, fragrances, neckware, footwear, watches, hosiery, eyewear, rainwear, leather belts, wallets, gloves, scarves, and home furnishings are also licensed across the globe in over 20 countries.10
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Appendix 2
Peerless Clothing Inc, Montreal, Quebec, Canada & New York, USA
Largest manufacturer of mens clothing in North America.18
The company does not advertise itself and generally keeps a very low profile. It produces licensed clothes for a large variety of brands. These include designer labels such as Lauren Ralph Lauren, Calvin Klein, DKNY, Tallia Orange, Sean John, Michael Kors, Joseph Abboud, Elie Tahari, Izod, Van Heusen, Bill Blas and Hickey.19
Founded in 1919, Peerless Clothing, Inc. is the largest domestic producer of mens tailored clothing in North America ... The company supplies mens tailored clothing to most every major department and specialty store retailer in the United States. 20 Peerless Clothing has doubled its revenue in the past few years21
Upon review of your letter to Peerless Clothing Inc, I would like to inform you that we no longer use Youngor Group. Peerless response to Dirty Laundry
We are familiar with Well Dyeing and understand that it has supplied fabric for our garments in the past. We have confirmed that Well Dyeing does not have any fabric programmes currently in development for our garments at this time. American Eagles response to Dirty Laundry Carters (CRI), Atlanta, Georgia, USA Carters produces casual apparel, accessories, bedding, room dcor, toys for babies, toddlers and kids. Cartersis the leading brand of childrens clothing in the US today.31 Carters CSR programme focuses almost exclusively on childrens charity. It makes the following reference to the environment in its Annual Report 2010: We are
subject to various federal, state, and local laws that govern activities or operations that may have adverse environmental effects. Noncompliance with these laws and regulations can result in significant liabilities, penalties, and costs. Generally, compliance with environmental laws has not had a material impact on our operations, but there can be no assurance that future compliance with such laws will not have a material adverse effect on our operations.32
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Ralph Lauren contracts to over 400 different manufacturers worldwide. In fiscal 2010, over 98% of Ralph Lauren products (by dollar volume) were produced outside the US, primarily in Asia, Europe and South America.24 None of the manufacturers we use produce our
products exclusively.25
No CSR or statements on the environment from Polo Ralph Lauren could be found.
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Appendix 2 (continued)
GAP, San Francisco, California, USA Gap Inc is one of the worlds largest speciality retailers, with more than 3,000 stores. In the long term, Gap plans on expanding their international operations from their current base of 332 stores (as of May 2010) in Europe and Asia. Its international operations are split between the Gap and Banana Republic - Old Navy does not have stores outside of North America.33 Gap currently has franchise agreements in place for 24 countries on four continents; 130 franchise stores are open in Asia, Europe, Latin America and the Middle East. In 2010 Gap plans to open stores its first stores in Australia and China.34 Apart from improving international and online sales, the company is also looking to revive its flagging sales and market share in North America.35 The CSR report is very comprehensive and centres around the mantra Embracing our responsibility.36
Around the world, were reducing waste, saving energy, and incorporating sustainable design into everything from our products to our stores.37 Clean Water Program: Were requiring special treatment of water used to launder Gap, Banana Republic, and Old Navy denim to ensure that its clean and safe when it leaves the denim laundry.38
JC Penney, Texas, USA JC Penney(JCP) produces its own private brands in addition to selling products from other companies, with a high reliance on private-label goods. Brands include Call It Spring, Bisou Bisou, Arizona, I (love) Ronson, Decree, Cindy Crawford Collection, J Ferrar, JOE, Linden Street, a.n.a. American Living, Mango, Modern Bride, Nicole, Okie Dokie, Ambrielle, Alan B Worthington, Olsenboye, One Kiss, Sephora, Stafford, St Johns Bay, Studio, Supergirl, cooks and Liz Claiborne.39 JC Penneys has 1,108 department stores. JCP has Matters of Principle in environmental responsibility that commit the company to . continually review its
operations for the purpose of assessing their potential impact on the environment or on related human health or safety issues; and develop and implement plans, programmes, and policies for eliminating or minimising significant threats to the environment or to human health or safety that may be identified.(...) 40
Kohls, Wisconsin, USA Kohls (KSS)is a US department store chain that sells a mix of items including mens and womens apparel, home decor, and accessories. The department store appeals to middle-class consumers by selling discounted branded andprivate labelclothing and home goods. It competes with other US national department stores such asJC PenneyandMacys Inc.41 As of year-end 2010, it operated 1,089 stores and also offers online shopping. It has no stores outside of the US.42 Kohls has a website on Advancing Environmental Solutions43 as well as a CSR report (2010), where it is stated: Kohls Environmental Mission: Kohls is committed
to protecting and conserving the environment by innovative solutions that encourage long-term sustainability. 44
We work hard to ensure our business is handled in a socially and environmentally responsible manner, and we take claims such as these very seriously. Gaps response to Dirty Laundry
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Semir, Wenzhou City, China The Semir Brand, established in 1996, has become a leading brand in Chinas casual clothing industry. The brand now has over 3,000 outlets across China. Its clothes are designed with a focus on vitality and fashion and are targeted at a younger audience. Semir follows the environmental policy of strictly following laws, preventing pollution, conserving resources, and continuous improvement. The company proactively develops high-quality strategic suppliers and strictly controls production according to quality assurance system procedures.45 A Semir advertisement saying Icant stopglobal warming, butat least Ilook good received criticism frommanyenvironmentalistsand net citizens.46 Uniqlo, Yamaguchi, Japan Fast Retailing is the holding company for Uniqlo, which is a retail chain operator specialising in in-house designed casual clothing for men and women of all ages. It operates 829 stores under the name of UNIQLO, mostly in Japan but with international outlets, as well as having an online store. With worldwide sales of 7.31bn in 2009, Uniqlo ranks fourth among worldwide apparel speciality stores (not including department stores).47 About 75% of its sales are from Japan.48 Fast Retailings CSR Report 2011 has statements regarding production and its supply chain: Fast Retailing
complies with environmental laws and keeps abreast of issues facing the international community and the global environment. We believe the first thing Fast Retailing can do to minimise its environmental impact is to improve management efficiency.49
Yishion, Humen DongGuan City, China Yishion sells casual wear and sports wear. It has 19 regional offices in China and over 3,000 franchised stores. Since 2003, operations have been expanded to Bahrain, Hong Kong, Iran, Jordan, Kuwait, Malaysia, Oman, Qatar, Saudi Arabia, United Arab Emirates and Vietnam.51 Yishion supported the anti-drugs campaign in China and educational programmes to help people in need. However, there is no information publicly available about the environment or sustainability.
With regard to its business and major environmental Impacts, it lists among other things: Carrying out environmental
initiatives at factories. We introduced the FR Environmental Standards at material factories and commenced monitoring.50
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Appendix 3
Background information on the hazardous chemicals found in the sampling
This section provides further information on some of the organic chemicals found in the samples of effluent collected from Youngor Textile Complex (Pipe 1) and Well Dyeing Complex (Pipe 1) and on the heavy metals found at high concentrations in the effluent collected from Well Dyeing Complex (Pipe 1). For details of all of the chemicals found and the effects of key substances see the full technical report by the Greenpeace Research Laboratories.1
Organic Chemicals
The presence of this diverse array of chemicals at concentrations in the low or sub parts per billion range indicates that the effluent discharged from these two facilities is acting as a point source (in some cases a periodic point source) of a range of hazardous substances to the local aquatic environment. On the basis of information available, it is not possible to determine the specific sources of these various substances in the wastewater within the facilities, though they could include the deliberate use of these chemicals in processing and finishing operations on the site or the washing out of residues of such chemicals or their degradation products from yarn, fabric or textile products brought on to the site for processing from manufacturers located elsewhere. Further detailed investigations of activities taking place within the facility would be necessary in order to determine likely sources.
Well Dyeing (CN10013, effluent, Pipe 1), nonylphenol and octylphenol. Perfluorinated chemicals Youngor Textile Complex; in all 3 samples collected March 2011 (CN11001, CN11002, CN11003) perfluoroctanoic acid (PFOA) was found at concentrations between 0.13 and 0.14 g/l (130-140 ng/l). Other perfluorocarboxylic acids were also found, though at concentrations around an order of magnitude lower (0.0130.031 g/l, 13-31 ng/l), while perfluoroctane sulphonate (PFOS) was present at lower levels again (0.0031-0.0087 g/l, 3.1-8.7 ng/l).
PFCs are man-made chemicals which are not produced by natural processes and hence never occur in nature other than as a result of human activity. They are highly resistant to chemical, biological and thermal degradation5, and many are also relatively insoluble in both water and oils. PFCs bioaccumulate, including in humans and have a range of impacts on the environment and human health, for example they impact the developing immune system, and have adverse effects on the liver in mammals.6,7,8,9,10,11 Some have also been shown to act as hormone disruptors.12 See Box 2.1.
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Organic chemicals isolated in samples Trialkyl phosphates, including tributylphosphate (TBP), triethylphosphate (TEP) and tris (2-ethylhexyl) phosphate (TEHP) Quinone and di-ketone derviaties; eg. the anthraquinone (AQ) derivative aminoanthraquinone and the benzophenon derivative methyl 2-benzoylbenzoate
Manufacturing facility and sample reference where found Youngor Textile Complex TBP was found in effluent from Pipe 1 (sample CN10042. TEHP was found in effluent samples CN11001, CN11002 & CN11003. Well Dyeing: TBP and TEP were found in effluent from Pipe 1 (sample CN10013, Youngor Textile Complex aminoanthraquinone in effluent from Pipe 1 (samples CN10042 & CN10050,) Well Dyeing; the benzophenone derivative methyl 2-bezoylbenzoate in effluent from Pipe 1 (Sample CN10013).
Where and how they are used, particularly Known effects on the environment and in the textile industry human health Tributyl phosphate (TBP) is widely used in various industrial processes, including by the textile industry due to its properties as a strong wetting agent and strong polar solvent. TBP is continuously lost to the air and water during use; it degrades slowly or moderately in the environment. TBP is toxic to aquatic life, for example some protozoa species, and can have acute toxicity to fish.
Synthetic AQs are widely used in dyeing operations (second in bulk only to azo dyes13, most commonly for cotton, cellulose-based fibres and some synthetic fabrics14. The AQ derivative identified (amino-anthraquinone) is a common intermediate in the synthesis of a range of AQ dyes, many of which can degrade to release amino-anthraquinone.15 The benzophenone derivative, methyl 2-benzoylbenzoate, has uses as a photoinitiator in UV-curable inks.
Many AQ derivatives are known to be toxic to animals and/or plants (see e.g. Sendelbach 198916 for a review of early evidence); indeed, their ability to cause oxidative damage to DNA in dividing cells has led to their use in very controlled doses as anti-tumour drugs, among other medical applications.17 Amino-anthraquinone has been shown to be carcinogenic in laboratory studies, as well as damaging to the kidneys. Its degradation products are toxic to aquatic life as well as being persistent. More information on AQ and its derivatives and the toxicity of methyl 2-bezoylbenzoate is given in Box D in the Technical Note.18 Anilines are an important class of environmental water pollutants due to their wide usage and high solubility in water. The release of anilines into the environment within industrial effluents has been previously reported, including within effluents from the textile sector.21,22 Aniline and its chlorinated derivatives, including mono-, di- and trichlorinated isomers, are toxic to a wide range of aquatic organisms.23
Amines from the breakdown of Azo dyes, including aniline, chlorinated anilines such as dichloroaniline (DCA or 2-chloroaniline), methylaniline, ethylaniline and diethylaniline as well as o-anisidine
Youngor Textile Complex; in all 3 effluent samples collected March 2011 (CN11001, CN11002, CN11003), aniline, 2-chloroaniline, methylaniline, ethylaniline and diethylaniline were found (at concentrations ranging from 0.1-2.1 g/l)k, as well as the carcinogenic form o-anisidine (at 0.07-0.08 g/l). Well Dyeing (CN10013, Pipe 1) dichloroaniline (DCA)
Azo dyes are one of the main types of dye used by the textile industry. However, some azo dyes break down during use and release chemicals known as aromatic amines, some of which can cause cancer.19 The EU has restricted the use of azo dyes that release cancer-causing amines in any textiles that come into contact with human skin.20
Youngor Textile Complex: di-, triChlorophenols and pentachlorophenols in effluent - di-, tri- and pentachlorophenols from samples CN11001, CN11002 & CN11003) in the range of 0.030.06 g/l
Chlorophenols are a group of chemicals used as biocides in a wide range of applications, from pesticides to wood preservatives and textiles. The EU banned production of PCPcontaining products in 1991 and now also heavily restricts the sale and use of all goods that contain the chemical.24 Chlorinated solvents, such as trichloroethane (TCE), are used by textile manufacturers to dissolve other substances during manufacturing and to clean fabrics. Since 2008 the EU has severely restricted the use of TCE in both products and fabric cleaning.26
PCP is highly toxic to humans and can affect many organs in the body. It is also highly toxic to aquatic organisms.25
Chorinated solvents (dichloroethane, trichloromethane & tetrachloroethene) were present at low concentrations.
Youngor Textile Complex: dichloroethane (0.9 g/l in CN11003), trichloromethane/ chloroform (all three samples at 0.9-4.8 g/l) and tetrachloroethene (0.4 g/l in CN11002 and CN11003),
Chlorinated solvents are volatile compounds, some of which are persistent and resist biodegradation.. For example, TCE is an ozone-depleting substance that can persist in the environment. It is also known to affect the central nervous system, liver and kidneys.27,28
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Heavy Metals
In addition to the organic chemicals identified, the wastewater sample from Well Dyeing Complex pipe 1 (CN10013) also contained concentrations of dissolved chromium (42 g/l), copper (24 g/l) and nickel (37 g/l) at levels that were slightly elevated (2-4 times higher) above levels typically found in uncontaminated surface waters. Background surface waters concentrations of dissolved chromium and copper are both typically below 10g/l, and often far lower, while those of nickel are generally below 20g/l.29,30,31,32 The levels of dissolved chromium, copper and nickel in these samples were considerably lower than their maximum allowable concentrations under the Guangdong effluent standard33 and effluent standards specific to the textile industry.34 Far higher total concentrations (dissolved forms plus those bound to suspended particulates) were found for most metals in the whole (unfiltered) sample from pipe 1 (CN10013) total chromium (2820 g/l), copper (13400 g/l) and nickel (2800 g/l). These metals were present almost exclusively (99% or more) in particulate-bound forms.
image: A Greenpeace campaigner takes a sample from a wastewater discharge pipe.
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Dirty Laundry Corporate connections to hazardous chemical water pollution by the textile industry in China
Appendix 3
Metals
Chromium (Cr) is primarily used in the metallurgical industry (in stainless steel and other alloys), as well as in various industrial processes including leather tanning and certain textile processes.35,36 Hexavalent chromium compounds are used in metal finishing (chrome plating), and also in certain textile manufacturing processes, in wood preservatives and as corrosion inhibitors.37,38 Chromium normally exists in the environment in trivalent Cr(III) forms which generally have very low solubility in water and tend to rapidly precipitate or adsorb onto suspended particles and bottom sediments; hexavalent Cr(VI) forms can exist, though far less frequently, and these compounds are usually converted rapidly to trivalent Cr(III) compounds by reducing compounds. Hexavalent forms tend to be readily soluble in water and therefore can be highly mobile in aquatic environments.39,40,41 Uncontaminated surface water typically contains less than 10 g/l of chromium, and concentrations in uncontaminated freshwater sediments are typically below 100 mg/kg.42,43 Chromium (III) is an essential nutrient for animals and plants, though large doses may be harmful. In contrast, hexavalent chromium is highly toxic even at low concentrations, including for many aquatic organisms.44 Hexavalent chromium compounds are also corrosive, and in humans allergic skin reactions readily occur following exposure, independent of dose.45 Furthermore, hexavalent chromium is a known human carcinogen under some circumstances.46 The Chinese national wastewater discharge standard and the equivalent Guangdong Province standard set the same maximum permissible concentrations of 1500 g/l (1.5 mg/L) total chromium, and of 500 g/l (0.5 mg/L) hexavalent chromium.47.48 Copper (Cu) is a widely used metal, primarily as a pure metal or as part of mixtures (alloys) with other metals, though there are also many other uses of copper compounds, including within metal finishing processes and textile manufacturing, including dyeing processes.49 The manufacture of plumbing materials is one of the main uses of main uses of copper metal and alloys, in part due to the malleability and thermal conductivity of copper.50 Levels of copper in the environment are typically quite low, commonly less than 50 mg/kg in uncontaminated freshwater sediments.51 Background concentration of dissolved copper in uncontaminated surface waters can vary significantly, but levels are typically below 10 g/l, and often far lower.52,53 Copper is an important element for humans and animals in low doses. However, exposure to high levels of bioavailable copper can lead to bioaccumulation and toxic effects.54 Releases of copper to aquatic systems are of particular concern as many aquatic organisms are extremely sensitive to copper, particularly in soluble forms which are generally far more bioavailable and toxic to a wide range of aquatic plants and animals55,56 with some effects occurring even at very low concentrations57. The Chinese national wastewater discharge standard and the equivalent Guangdong Province standard set the same maximum permissible concentrations of copper of between 500 and 2000 g/l (0.5 - 2.0 mg/L) depending on how the receiving water body is used.58,59,60 Nickel as a metal and its alloys, as well as nickel compounds, has many industrial uses, including in metal plating, the manufacture of plumbing and electronic devices, in catalysts, batteries, pigments and ceramics.61,62 Nickel is also used in certain textile dyes (eg phthalocyanine dyes), but to a lesser extent than other metals such as copper and chromium.63 Levels of nickel in the environment are typically low, with uncontaminated freshwater sediments generally containing below 60 mg/kg nickel and concentrations in uncontaminated surface waters typically below 20 g/l.64,65,66 Although nickel bound to sediments and soils is generally persistent, water-soluble nickel compounds can be quite mobile. Very small amounts of nickel are essential for normal growth and reproduction in most animals and plants, and this is most likely also true for humans.67 However, toxic and carcinogenic effects can result from exposure to higher concentrations for a wide range of life forms, including gastrointestinal and cardiac effects.68,69 In humans, a significant proportion of the population (2-5%) are also nickel sensitive, and effects can occur in sensitised individuals at far lower concentrations.70 For some aquatic organisms, impacts can occur at very low nickel concentrations.71 Furthermore, some nickel compounds have been classified as carcinogenic to humans, and there is also evidence of carcinogenicity in animals.72,73 The Chinese national wastewater discharge standard and the equivalent Guangdong Province standard set the same maximum permissible concentrations of nickel of 1000 g/l (1.0 mg/L) .74,75
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image: At 5am in the morning, large quantities of polluted water pour out from the discharge pipe of the Youngor textiles factory, in Yinzhou district, Ningbo. The discharge pipe flows directly into the Fenghua River.
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References
Executive Summary
1 Measured as chemical oxygen demand. TheChemical Oxygen Demand(COD) test is commonly used to indirectly measure the quantity oforganic compoundsinwastewater or surface water(e.g.lakesandrivers), making COD a useful measure ofwater quality. 2 For all information: http://www.greenpeace.org/international/en/ publications/reports/Swimming-in-Chemicals/ 3 Yarns and Fibers Exchange (2011). Chinas textiles exports growth regains momentum in 2010. 8 March 2011.| http://www.yarnsandfibers.com/news/index_fullstory.php3?id=24553 4 Converse does not have its own CSR policy but adheres to Nikes policy. 5 Dow Jones Sustainability Index (2010). Sector overview: TEX clothing, accessories and footwear. http://www.sustainability-index.com/djsi_protected/Review2010/ SectorOverviews_10/DJSI_TEX_11_1.pdf 6 Puma (2009) PUMASafe: Handbook of Environmental Standards 2009 http://safe.puma.com/us/en/category/pumasafe/ 7 http://www.adidas-group.com/en/sustainability/Environment/green_ company/default.aspx 8 http://www.nikebiz.com/crreport/content/pdf/documents/en-US/fullreport.pdf 9 http://www.hm.com/filearea/corporate/fileobjects/pdf/en/CSR_ REPORT2010_PDF_1302846254219.pdf 10 http://www.pvh.com/pdf/environmental_policy.pdf 9 Karasov C (2000). On a different scale; putting Chinas environmental Crisis in perspective, October 2000, Volume 108, Number 10, Environmental Health Perspectives. http://www.ncbi.nlm.nih.gov/pmc/articles/PMC1240140/pdf/ ehp0108-a00452.pdf 10 China Institute of Geo-Environment Monitoring (2005). Seventy per cent of Rivers and lakes in China are polluted as a result of eight major causes (Chinese text). http://www.cigem.gov.cn/readnews.asp?newsid=5002 11 National Development and Reform Commission (2011). Development and Reform Commission reports that of Chinas residents have no clean drinking water, 9 March 2011, Economic Information Daily. http://politics.people.com.cn/GB/1027/14096289.html 12 20% represents over 5.6m tons of Chemical Oxygen Demand out of a total of just over 30m tons. The Chemical Oxygen Demand (COD) test is commonly used to indirectly measure the quantity of organic compounds in wastewater or surface water (eg lakes and Rivers), making COD a useful measure of water quality. 13 China.org.cn (2010). 1st national census on pollution sources completed, 9 February. http://www.china.org.cn/china/2010-02/09/content_19394384.htm 14 Spencer J (2007). China pays steep price as textile exports boom. Suppliers to US stores accused of dumping dyes to slash their costs, Wall Street Journal, 22 August. http://online.wsj.com/article/SB118580938555882301.html 15 State Environmental Protection Administration, PR China and World Bank Rural Development, Natural Resources and Environment Management Unit (2007). Cost of pollution in China: Economic estimates of physical damages, p. xvi. http://web.worldbank.org/WBSITE/EXTERNAL/COUNTRIES/ EASTASIAPACIFICEXT/EXTEAPREGTOPENVIRONMENT/0,,contentMDK:2 1252897~pagePK:34004173~piPK:34003707~theSitePK:502886,00.html 16 Now the Ministry of Environmental Protection. 17 Agence France Press (2006). Chinas environment reaches critical point: Industrialization moving too rapidly increases pollution, Vancouver Sun, 14 November, cited in Harney Alexandra (2008), op cit p94. 18 Responsible Research (2010). Water in China: Issues for responsible investors, February 2010, p46. http://www.asiawaterproject.org/wp-content/uploads/2009/12/WATERIN-CHINA-Issues-for-Responsible-Investors-FEB2010.pdf 19 State Environmental Protection Administration and World Bank (2007) op cit. 20 The Stockholm Convention is a global treaty to protect human health and the environment from the effects of Persistent Organic Pollutants (POPs), also known as the POPs Convention, and POPs treaty. It was adopted on 23 May 2001 and entered into force on 17 May 2004. It requires Parties to take measures to eliminate or reduce the release of POPs into the environment. Initially, 12 POPs were given priority (the dirty dozen); those listed in Annex A are to be prohibited/eliminated EXCEPT as allowed by Annex A, including the chemicals Aldrin, Chlordane, Dieldrin, Endrin, Heptachlor, Hexachlorobenzene, Mirex, Toxophene, and PCBs. The production and use of DDT, is to be restricted rather than eliminated. The requirement for POPs which are byproducts (dioxins, furans, hexachlorobenzene and PCBs) are that each Party shall, at a minimum reduce the total releases derived from anthropogenic sources of each of the chemicals with the goal of their continuing minimization and, where feasible, ultimate elimination. The Convention text was amended in 2009 to include nine new POPs added to its Annexes A, B and C, including perfluorooctane sulfonic acid (PFOS) and two brominated flame retardants. The Convention is administered by the United Nations Environment Programme and is based in Geneva, Switzerland. For full text of the convention see: http://chm.pops.int/Convention/tabid/54/language/ en-US/Default.aspx .
Section 1
1 Circle of Blue (2009). Water tops climate change as global priority, 18 August. http://www.circleofblue.org/waternews/2009/world/waterviews-watertops-climate-change-as-global-priority/ 2 Circle of Blue/GlobeScan (2009). Water Issues Research. http://www.circleofblue.org/waternews/wp-content/uploads/2009/08/ circle_of_blue_globescan.pdf 3 World Water Assessment Programme (2009). The United Nations World Water Development Report 3: Water in a changing world, Paris: UNESCO Publishing and London: Earthscan. http://www.unesco.org/water/wwap/wwdr/wwdr3/ 4 For more examples of the costs of industrial pollution on people, planet and the wider economy, please refer to: Greenpeace International (2011). Hidden Consequences. The costs of industrial water pollution on people, planet and profit. http://www.greenpeace.org/international/en/publications/reports/HiddenConsequences/ 5 UNIDO (2003). The United Nations World Water Development Report: Water for people water for life. http://portal.unesco.org/en/ev.php-URL_ID=10064&URL_DO=DO_ TOPIC&URL_SECTION=201.htm 6 OECD (2006). Water: The experience in OECD countries, p.39. http://www.oecd.org/dataoecd/18/47/36225960.pdf 7 World Water Assessment Programme (2009) op cit, p143. http:// www.unesco.org/water/wwap/wwdr/wwdr3/pdf/WWDR3_Water_ in_a_Changing_World.pdf 8 Powell B (2002). Its All Made in China Now, Fortune, 4 March, p.121, quoted in Harney, Alexandra (2008) The China price; The true cost of Chinese competitive advantage, London: Penguin Press
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References
21 Greenpeace International (2006). What are Persistent Organic Pollutants?, 10 April http://www.greenpeace.org/international/campaigns/toxics/toxichotspots/what-are-persistent-organic-po/ 22 Greenpeace International (2006), op cit. 23 Guangdong Statistical Yearbook 2008 statistics, cited in Hong Kong Trade Development Council (2008). Market Profiles on Chinese Cities and Provinces http://info.hktdc.com/mktprof/china/prd.htm 24 China Digital Times (2009). China Revamping its Key Southern Factory Region, 9 January 2009. http://chinadigitaltimes.net/2009/01/china-revamping-its-key-southernfactory-region/ 25 Xinhua (2008). City water supply resumes after pollution scare, China Daily, 18 February. http://www.chinadaily.com.cn/china/2008-02/18/content_6461086.htm 26 southcn.com (2003). Planning scheme for water protection areas of drinking water for the Pearl River Delta (Chinese text), 10 October. http://www.southcn.com/news/gdnews/minxin/qw/200310100867.htm 27 Ministry of Water Resources, data released between 2000 and 2007 (Chinese text). http://www.pearlwater.gov.cn/xxcx/szygg/index.htm 28 Statistics Bureau of Guangdong Province (2000 08). GD Statistics, data compiled for the 200008 Guangdong Statistical Yearbooks 29 Statistics Bureau of Guangdong Province (2008) 2008 Guangdong Statistical Yearbook 30 Enright MJ, Scott EE, Invest Hong Kong (2005). The Greater Pearl River Delta, p6. http://www.investhk.gov.hk/doc/InvestHK_GPRD_Booklet_English571.pdf 31 Greenpeace (2010). Poisoning the Pearl: An investigation into industrial water pollution in the Pearl River Delta, 2nd edition. http://www.greenpeace.org/raw/content/eastasia/press/reports/pearlriver-report-2.pdf 32 Yang G, Weng L & Li L (2007). Yangtze Conservation and Development Report 2007, Wuhan: Changjiang Press. 33 Yang G, Ma C & Chang S (2009). Yangtze Conservation and Development Report, Wuhan: Changjiang Press 34 Yang G, Weng L & Li L (2007) op cit. 35 2005 data in Li and Fung Research Centre (2006). Industrial clusters in Yangtze River Delta (YRD). http://www.idsgroup.com/profile/pdf/industry_series/LFIndustrial3.pdf 36 China Daily (2006). Yangtze River cancerous with pollution, 30 May. http://www.chinadaily.com.cn/china/2006-05/30/content_604228.htm 37 Wang Qian, He Dan (2010). Clean-up bid for Yangtze set to begin, China Daily, 1 September. http://www.chinadaily.com.cn/usa/2010-09/01/content_11239709.htm 38 Ministry of Environmental Protection (2009). 2008 China Statistical Yearbook on the Environment, China Statistics Press, ISBN: 9787503758461 39 Wu B, Zhang X, Yasun A, Zhang Y, Zhao D, Ford T & Cheng S (2009). Semi-volatile organic compounds and trace elements in the Yangtze River source of drinking water, Ecotoxicology, vol 18, pp707-714 40 The information in Figure 1 is taken from Brigden K, Allsop M & Santillo D (2010). Swimming in chemicals: Perfluorinated chemicals, alkylphenols and metals in fish from the upper, middle and lower sections of the Yangtze River, China, Amsterdam: Greenpeace International (http://www.
greenpeace.to/publications/swimming-in-chemicals.pdf) as follows: (1) For PFOS see: Wang T et al (2009). Perspective on the Inclusion of Perflourooctane Sulfonate into the Stockholm Convention of Persistent Organic Pollutants, Environ. Sci. Technol. 2009, 43, 5171 5175: and POPRC (2008). Consideration of new information on perfluorooctane sulfonate (PFOS); UNEP/POPS/POPRC.4/INF/17; Stockholm Convention on Persistent Organic Pollutants, August 2008. For alkylphenols see: Brigden K et al (2010) op cit; and Zhang Ri-xin, Zhang Xiao-dong (2008). Supply and Demand of Phenol and Development in China.Chemical Industry. 26(6). (2) Brigden K et al (2010) op cit. (3) Shao et al (2005) op cit. (4) Brigden K et al (2010) op cit. (5) Pan G & You C (2010). Sediment-water distribution of peruorooctane sulfonate (PFOS) in Yangtze River Estuary. Environmental Pollution 158(5): 1363-136 (6) Jin YH, Liu W, Sato I, Nakayama SF, Sasaki K, Saito N & Tsuda S (2009). PFOS and PFOA in environmental and tap water in China. Chemosphere 77(5): 605-61; and Mak YL, Taniyasu S, Yeung LWY, Lu G, Jin L, Yang Y, Lam PKS, Kannan K & Yamashita N (2009). Perfluorinated compounds in tap water from China and several other countries. Environmental Science & Technology 43(13): 48244829 41 Brigden K et al (2010) p3 op cit. 42 Xie Chunlin in an interview conducted by Greenpeace Southeast Asia on 10 July, 2010. at Yanglingang, Fuqiao, Taicang, Jiangsu province. 43 Lacasse K & Baumann W (2004). Textile chemicals: Environmental data and facts, Berlin, London: Springer, p81. 44 Greer L, Keane SE & Lin X (2010). NRDCs ten best practices for textile mills to save money and reduce pollution: A practical guide for responsible sourcing, New York: Natural Resources Defense Council, p3. http://www.nrdc.org/international/cleanbydesign/files/rsifullguide.pdf 45 Swedish Chemical Agency (1997). Chemical in Textiles. Solna, Swedish Chemical Agency, p.19. http://www.kemi.se/upload/Trycksaker/Pdf/Rapporter/Report_5_97_ Chemicals_in_textiles.pdf 46 Section 3 gives examples hazardous substances used in textile processing. 47 Swedish Chemical Agency (1997). Chemical in Textiles. Solna, Swedish Chemical Agency, p19. http://www.kemi.se/upload/Trycksaker/Pdf/Rapporter/Report_5_97_ Chemicals_in_textiles.pdf 48 Based on Figure 3 in Zhang Y (2009) op cit. 49 Greer L, Keane SE & Lin X (2010) p3 op cit. 50 Yarns and Fibers Exchange (2011). Chinas textiles exports growth regains momentum in 2010. 8 March 2011.| http://www.yarnsandfibers.com/news/index_fullstory.php3?id=24553 51 Zhang Y (2009) p19 op cit. 52 Business for Social Responsibility (2008) p2 op cit. 53 China Textile City Hangzhou, Zeijang textile industry overview. http://www.qfcrf.com/html/english/Protection.html (accessed June 2011)
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References (continued)
54 China Textile Magazine (2010). Expansion of textile industrial cluster in China, 5 March. http://chinatextile.360fashion.net/2010/03/expansion-of-textile-industria. php 55 China Textile Magazine (2010) op cit. 56 Li Fung Research Centre (2010). Update on Industrial Clusters, June, Issue 6. Industrial Cluster Series http://www.lifunggroup.com/eng/knowledge/research. php?report=industrial 57 Finnish Environment Institute (2010). Releases from the use of products, Case Study 10, Releases from the use phase of textile and leather products p4, Finnish Environment Institute, Centre for Sustainable Consumption and Production, Environmental Performance Unit. http://www.ymparisto.fi/download.asp?contentid=124343&lan=fi 58 Li Fung Research Centre (2010). Chinas apparel market 2010, Industry Series, October, Issue 16. http://www.lifunggroup.com/eng/knowledge/research.php?report=industry 59 Swedish Chemical Agency (1997) op cit p18. 60 Business for Social Responsibility (2008). Water management in Chinas apparel and textile factories, p2. http://www.bsr.org/en/our-insights/report-view/water-management-inchinas-apparel-and-textile-factories 61 Responsible Research (2010) op cit p80. 62 Greenpeace (2010), Poisoning the Pearl, op cit. 63 See Section 2 Box 2.1 for details on nonylphenol and Appendix 3, Quinone and di-ketone derivatives for information on benzophenone derivatives. 64 Xinhua Net Guangdong (2008). Qingxin achieved production growth without increasing pollution (Chinese text), 5 March. http://www.gd.xinhuanet.com/sungov/2008-03/05/content_12619360. htm 65 Personal communication to Greenpeace, May 2009 published in Greenpeace 2010, Poisoning the Pearl, page 7 op cit. 66 Personal conversation to Greenpeace, May 2010. Published in Greenpeace East Asia (2010). The dirty secret behind jeans and bras, December 2010. http://www.greenpeace.org/eastasia/news/textile-pollution-xintang-gurao. 67 Law of the Peoples Republic of China on Prevention and Control of Water Pollution, 87th Order of Chinese President. The latest version was approved on 28 February 2008 by National Peoples Congress (NPC) Standing Committee and came into force on 1 June 2008. http://www.gov.cn/flfg/2008-02/28/content_905050.htm 68 There is a cleaner production standard for the textile industry HJ/T 185-2006 Cleaner Production Standard Textile Industry (dyeing and finishing of cotton), published by MEP. There is also a list of key hazardous substances for clean production auditing, which list some hazardous wastes, such as dyes and paints waste; for each hazardous substance/waste, there are related industries. In addition, the Ministry of Industry and Information Technology (MIIT) has published a Clean Production Technology promotion plan for Textile, Dyeing and Finishing industry, which suggests several technologies to save the use of chemicals or water. However, none of the above measures is mandatory and although general reference to hazardous chemicals is made, there are no specific lists of chemicals to be avoided or eliminated. The State Council has also asked the Textile industry to eliminate some outdated technologies. 69 Greenpeace (2010) pp37 40 op cit. 70 Allsopp M, Costner P & Johnston P (2001). Incineration and human health: State of knowledge of the impacts of waste incinerators on human health, Amsterdam: Greenpeace International http://www.greenpeace.to/publications/euincin.pdf 71 Labunska I, Brigden K, Santillo D, Kiselev A & Johnston P (2010). Russian Refuse 2: An update on PBDEs and other contaminants detected in St-Petersburg area, Russia, Technical Note 04/2010, Exeter: Greenpeace Research Laboratories. http://www.greenpeace.to/publications/russian-refuse-2english%5B1%5D.pdf 72 Greenpeace (2011). Hidden Consequences, op cit.
Section 2
1 In our research we also sampled 7 other suppliers for which a chain of evidence could not be completed. Therefore, the outcome of this research is not relevant to this publication. 2 Brigden K, Labunska I, Pearson M, Santillo D & Johnston P (2011). Investigation into hazardous chemicals discharged from two textile manufacturing facilities, China, 2011, Technical Note 01/2011, Exeter: Greenpeace Research Laboratories http://www.greenpeace.org/international/Global/international/publications/ climate/2011/TextileManufacture_China.pdf. 3 Brigden et al (2011) op cit. 4 Youngor Group Co Ltd is known as the brand name Youngor and as the supplier name Youngor Textile Complex. 5 http://www.youngor.com/ 6 Youngor Group Ltd (2008). Branded garments business review http://en.youngor.com/business.do?action=info&pid=2008111909502715 40&cid=200811211010001550 7 http://www.youngor.com/youngor_sub/index. do?sid=200903130340424300 8 Youngor Group Ltd (2008) Environmental protection http://en.youngor.com/responsibility.do?action=display& cid=200811190221474000 9 Brigden et al (2011) op cit. 10 Adidas Group (2011) Green company. http://www.adidas-group.com/en/sustainability/Environment/green_ company/default.aspx 11 Youngor Group Ltd (2008) Environmental protection. http://en.youngor.com/responsibility.do?action=display& cid=200811190221474000 12 Puma (2009) PUMASafe: Handbook of environmental standards, p12. http://images.puma.com/BLOG_CONTENT/puma_safe/2009-08_ handbook_Environmental.pdf 13 Grupo Cortefiel (2010). External Code of Conduct. http://www.grupocortefiel.com/files/assets/0000/6142/CC_External_ Code_Conduct_GrupoCortefiel_Feb2010.pdf 14 Nike Inc Corporate Responsibility Report FY 07 08 09, p38. http://www.nikebiz.com/crreport/content/pdf/documents/en-US/fullreport.pdf 15 Lacoste Press Kit. http://www.lacoste.com/library/download/pdf/LACOSTE_presskit_en.pdf
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16 H&M Conscious Actions Sustainability Report (2010). http://www.hm.com/filearea/corporate/fileobjects/pdf/en/CSR_ REPORT2010_PDF_1302846254219.pdf 17 Phillips-Van Heusen, Environmental Statement. http://www.pvh.com/pdf/environmental_policy.pdf 18 Brigden K et.al (2011) op cit. See discussion on the presence of nonylphenols and perflourinated chemicals in samples results from Pipe 1 (CN11001, CN11002, CN11003) Youngor Textile Complex. 19 So MK, Miyake Y, Yeung WY, Ho YM, Taniyasu S, Rostkowski P, Yamashita N, Zhou BS, Shi XJ, Wang JX, Giesy JP, Yu H & Lam PKS (2007). Peruorinated compounds in the Pearl River and Yangtze River of China, Chemosphere, vol 68, no 11, pp20852095. 20 OECD (2002). Hazard assessment of peruorooctane sulfonate (PFOS) and its salts, Organisation for Economic Co-operation and Development, Joint meeting of the chemicals committee and The working party on chemicals, pesticides and biotechnology ENV/JM/RD(2002)17/ FINAL,JT0013560 http://www.oecd.org/dataoecd/23/18/2382880.pdf 21 Hekster FM, Laane RWPM & De Voogt P (2003). Environmental and toxicity effects of peruoroalkylated substances, Reviews of Environmental Contamination and Toxicology, vol 179, pp99-121 22 OSPAR (2006). Hazardous Substances Series: OSPAR Background Document on Perfluorooctane Sulphonate (PFOS), 2006 Update, publ. OSPAR Commission, ISBN 1- 905859-03-1, Publication Number 269/2006: 46 pp.
32 Giesy JP & Kannan K (2001) op cit. 33 Houde M, Martin JW, Letcher RJ, Solomon KR & Muir DCG (2006). Biological monitoring of polyuoroalkyl substances: a review, Environmental Science & Technology, vol 40, no 11, pp34633473 34 Dai J, Li M, Jin Y, Saito N, Xu M & Wei F (2006). Peruorooctanesulfonate and peruorooctanoate in red panda and giant panda from China, Environmental Science & Technology, vol 40, no 18, pp56475652 35 Houde M et al (2006) op cit. 36 Calafat AM, Wong L-Y, Kuklenyik Z, Reidy JA & Needham LL (2007). Peruoroalkyl chemicals in the U.S population: data from the National Health and Nutrition Examination Survey (NHANES) 20032004 and comparisons with NHANES 19992000, Environmental Health Perspectives, vol 115, no 11, pp15961602 http://www.ncbi.nlm.nih.gov/pmc/articles/PMC2072821/ 37 Jin Y, Saito N, Harada KH, Inoue K & Koizumi A (2007). Historical trends in human serum levels of perfluorooctanoate and perfluorooctane sulfonate in Shenyang, China. Tohoku J. Exp. Med. 212: 63-70. 38 Zhang T, Sun HW, Wu Q, Zhang XZ, Yun SH.& Kannan K (2010). Peruorochemicals in meat, eggs and indoor dust in China: Assessment of sources and pathways of human exposure to peruorochemcials, Environmental Science & Technology, vol 44, no 9, pp3572-3579 39 Zhang T, Wu Q, Sun HW, Zhang XZ, Yun SH & Kannan K (2010). Peruorinated compounds in whole blood samples from infants, children, and adults in China, Environmental Science & Technology, vol 44, no 11, pp43414347
23 Dinglasan-Panlilio MJA, Ye Y, Edwards EA & Mabury SA (2004). Fluorotelomer alcohol biodegradation yields poly and peruorinated acids, 40 Kawashima Y, Kobayashi H, Miura H & Kozuka H (1995). Environmental Science & Technology, vol 38, no 10, pp2857-2864 Characterization of hepatic responses of rat to administration of peruorooctanoic and peruorodecanoic acids at low levels, Toxicology, 24 Key BD, Howell RD & Criddle CS (1997). Fluorinated organics in the biosphere, Environmental Science & Technology, vol 31, no 9, pp2445-2454 vol 99, pp169-178 25 Kannan K, Corsolini S, Falandysz J, Oehme G, Focardi S & Giesy JP (2002). Peruorooctanesulfonate and related uorinated hydrocarbons in marine mammals, shes, and birds from coasts of the Baltic and the Mediterranean Seas, Environmental Science & Technology, vol 36, no 15, pp3210-3216 26 So MK et al (2007) op cit. 27 Jin YH, Liu W, Sato I, Nakayama SF, Sasaki K, Saito N & Tsuda S (2009). PFOS and PFOA in environmental and tap water in China, Chemosphere, vol 77, no 5, pp605-611
41 Adinehzadeh M, Reo NV, Jarnot BM, Taylor CA & Mattie DR (1999). Dose-response hepatotoxicity of the peroxisome proliferator, peruorodecanoic acid and the relationship to phospholipid metabolism in rats, Toxicology, vol 134 pp179-195 42 Berthiaume J & Wallace KB (2002). Peruorooctanoate, peruorooctanesulfonate, and N-ethylperuorooctanesulfonamido ethanol; peroxisome proliferation and mitochondrial biogenesis, Toxicology Letters, vol 129, pp23-32 43 Lau C, Anitole K, Hodes C, Lai D, Pfahles-Hutchens A & Seed J (2007). Peruoroalkyl acids: A review of monitoring and toxicological ndings, Toxicological Sciences, vol 99, no 2, pp366-394
28 Lien NPH (2007). Study on distribution and behavior of PFOS and PFOA in water environment, PhD Thesis, Urban and Environment Engineering, Kyoto University, cited in Kunacheva C, Boontanon SK, Fujii S, 44 Jensen A & Leffers H (2008). Emerging endocrine disrupters: peruoroalkyated substances, International Journal of Andrology, vol 31, Tanaka S, Musirat C, Artsalee C & Wongwattana T (2009). Contamination of peruorinated compounds (PFCs) in Chao Phraya River and Bangpakong pp161-169 River, Thailand, Water Science & Technology, vol 60, no 4, pp975982 45 Joensen U, Bossi R, Leffers H, Jensen A & Skakkebaek N (2009). Do peruoroalkyl compounds impair human semen quality?, Environmental 29 Giesy JP & Kannan K (2001). Global distribution of peruorooctane Health Perspectives, vol 117, no 6, pp923-927 sulfonate in wildlife, Environmental Science & Technology, vol 35, no 7, pp13391342 46 UNEP (2009). Adoption of amendments to Annexes A, B and C of the Stockholm Convention on Persistent Organic Pollutants under the United 30 Martin JW, Mabury SA, Solomon KR & Muir DCG (2003). Bioconcentration and tissue distribution of peruorinated acids in rainbow Nations Environment Programme (UNEP). http://chm.pops.int/Programmes/New%20POPs/The%209%20new%20 trout (Oncorhynchus mykiss), Environmental Toxicology & Chemistry, vol POPs/tabid/672/language/en-US/Default.aspx 22, no 1, pp196204 31 Martin JW, Mabury SA, Solomon KR & Muir DCG (2003). Dietary accumulation of peruorinated acids in juvenile rainbow trout (Oncorhynchus mykiss), Environmental Toxicology & Chemistry, vol 22, no 1, pp189-195 47 UNEP (2011). Status of ratification of the Stockholm Convention on Persistent Organic Pollutants, 19 April 2011, p7 UNEP/POPS/COP.5/ INF/32.
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Genotoxicity and cytotoxicity of 4-nonylphenol ethoxylate on lymphocytes as assessed by the COMET assay, International Journal of Environmental Analytical Chemistry, vol 82, no 6, pp395-401 79 Iwata M, Eshima Y, Kagechika H & Miyaura H (2004). The endocrine disruptors nonylphenol and octylphenol exert direct effects on T cells to suppress Th1 development and enhance Th2 development, Immunology Letters, vol 94, nos 1-2, pp135-139 80 Ministry of Environmental Protection (2011). List of Toxic Chemicals Severely Restricted for Import and Export in China. http://www.crc-mep.org.cn/news/NEWS_DP.aspx?TitID=267&T0=10000& LanguageType=CH&Sub=125 81 The Contracting Parties to the Oslo and Paris Conventions are Belgium, Denmark, the European Union, Finland, France, Germany, Iceland, Ireland, the Netherlands, Norway, Portugal, Spain, Sweden and the UK. 82 PARCOM (1992). PARCOM Recommendation 92/8 on nonylphenolethoxylates, London: OSPAR Commission 83 OSPAR (1998). 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84 EU (2008). Directive 2008/105/EC Of The European Parliament And Of The Council of 16 December 2008 on environmental quality standards in the field of water policy, amending and subsequently repealing Council Directives 82/176/EEC, 83/513/EEC, 84/156/EEC, 84/491/EEC, 86/280/EEC and amending Directive 2000/60/EC, Official Journal L348, 24/12/2008, pp87-94 85 EU (2003). Directive 2003/53/EC Of The European Parliament And Of The Council Of 18 June 2003 Amending For The 26th Time Council Directive 76/769/EEC Relating To restrictions on the marketing and use of certain dangerous substances and preparations (nonylphenol, nonylphenol ethoxylate and cement) Official Journal L178/24, 17/7/2003 http://eur-lex.europa.eu/ LexUriServ/LexUriServ.do?uri=OJ:L:2003:178:0024:0027:EN:PDF
14 World Trade Organisation (2011). Regional integration and the African textile industry, part 5: Analysis of EAC textiles sector The African textiles industry under siege, WTO Updates for Business. http://www.intracen.org/BB-2011-03-07-Regional-Integration-and-theAfrican-Textile-Industry/ 15 World Trade Organisation (2010). International Trade Statistics 2010, Merchandise trade by product. http://www.wto.org/english/res_e/statis_e/its2010_e/its10_toc_e.htm, http://www.wto.org/english/res_e/statis_e/its2010_e/its10_merch_trade_ product_e.pdf 16 Finnish Environment Institute (2010). Releases from the use of products, Case Study 10, Releases from the use phase of textile and leather products p4, Finnish Environment Institute, Centre for Sustainable Consumption and Production, Environmental Performance Unit. http://www.ymparisto.fi/download.asp?contentid=124343&lan=fi 17 World Trade Organisation (2010) op cit. 18 Cao N, Zhang Z, Kin MT & Keng PN (2008). How Are Supply Chains Coordinated? An empirical observation in textile-apparel businesses, Journal of Fashion Marketing and Management, vol 12, pp384-397 19 Business for Social Responsibility (2008) op cit. 20 Adapted from UNEP, DTIE/Chemicals Branch (2011). The Chemicals in Products Project: Case study of the textile sector, January 2011. http://www.chem.unep.ch/unepsaicm/cip/Documents/CaseStudies/ CiP%20textile%20case%20study%20report_21Feb2011.pdf 21 UNEP, DTIE/Chemicals Branch (2011) op cit. 22 Euromonitor International (2010). Market Share Apparel 2003 2008 http://www.euromonitor.com/clothing-and-footwear 23 Hoovers Inc (2010). Industry profile: Apparel manufacture. http://www.hoovers.com/industry/apparel/1161-1.html Registration required. 24 Hoovers Inc (2010) op cit. 25 Euromonitor International (2010) op cit. 26 Cao N et al (2008) op cit. 27 Lacasse K & Baumann W (2004). Textile chemicals: Environmental data and facts, Berlin, London: Springer, p81 28 Euromonitor (2010) op cit. 29 Casseres BG, Petkova P, Pattabiraman S, Nike Inc. & the Athletic Footwear Industry Strategy and Competition Analysis, 19 May 2010, p15 http://www.scribd.com/doc/38643840/Nike-Strategy-Analysis-FinalJun-2010 30 Wikinvest (n.d.) Puma AG Rudolf Dassler Sport (PUM-FF), citing Dolleschal, Christoph (2008). Adidas, Equity Research, Commerzbank, 28 February. http://www.wikinvest.com/stock/Puma_AG_Rudolf_Dassler_ Sport_%28PUM-FF%29. 31 Locke RM (2003). The promise and perils of globalization: The case of Nike pp.4-5 in Kochan TA & Schmalensee R (eds.) Management: Inventing and Delivering Its Future, Cambridge, Mass.: MIT Press, 32 Now, up to 74% of its total production is produced in Asia with 308 production sites in China of a total of 675 sites, Adidas Group, 2009, Sustainability Review, p73. http://www.adidasgroup.com/en/SER2009/pdfs/adidas_online_ review_2009.pdf
Section 3
1 Arora A (1999). The chemical industry: from the 1850s until today, Business Economics, 1 October. http://www.allbusiness.com/finance/322115-1.html 2 Getliff JM & James SG (1996). The replacement of alkyl-phenol ethoxylates to improve the environmental acceptability of drilling fluid, Society of Petroleum Engineers Inc Health, Safety and Environment in Oil and Gas Exploration and Production Conference, 912 June, New Orleans. http:// www.onepetro.org/mslib/servlet/onepetropreview?id=00035982&soc=SPE 3 Hussain S (1987). A history of halogenated flame retardants, in Seymour, R.B and Deanin, R.D., History of polymer composites, Utrecht: VNU Science Press BV 4 Paul AG, Jones K & Sweetman AJ (2009). A first global production, emission, and environmental inventory for perfluorooctane sulfonate, Environmental Science & Technology, vol 43, no 2, pp386392 http://pubs.acs.org/doi/abs/10.1021/es802216n 5 Calafat AM, Wong L-Y, Kuklenyik Z, Reidy JA & Needham LL (2007). Polyfluoroalkyl Chemicals in the U.S. Population: Data from the National Health and Nutrition Examination Survey (NHANES) 20032004 and Comparisons with NHANES 19992000 Environ Health Perspect. 2007 November; 115(11): 15961602. Published online 2007 August 29. doi: 10.1289/ehp.10598. http://www.ncbi.nlm.nih.gov/pmc/articles/PMC2072821/ 6 Gereffi G & Memedovic O (2003). The global apparel value chain: What prospects for upgrading by developing countries, Sectoral Studies Series, Vienna: UNIDO 7 China Textile Magazine (2010). Expansion of Textile Industrial Clusters, 5 March 2010. http://chinatextile.360fashion.net/2010/03/expansion-of-textile-industria. php 8 Responsible Research (2010) op cit, p80 9 Responsible Research (2010) op cit, p80 10 PricewaterhouseCoopers (2008). Global Sourcing: Shifting Strategies, A Survey of Retail and Consumer Companies. http://www.pwc.com/gx/en/retail-consumer/sourcing/global-sourcingshifting-strategies.html 11 Spencer J (2007) op cit. 12 Spencer J (2007) op cit. 13 Textile Exchange (n.d.) Industry overview. http://www.teonline.com/industry-overview.html
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33 Economist (2007). In the steps of Adidas, How smaller firms can survive globalisation, Feb 8th 2007 | from the print edition. http://www.economist.com/node/8621794 34 Clean Clothes Campaign (2004). Sportswear Industry Data and Company Profiles, Background information for the Play Fair at the Olympics Campaign. March 1, 2004 p116. http://www.fairolympics.org/background/Company_Profiles.pdf 35 See for example Locke R et al (2007). Beyond corporate codes of conduct: Work organization and labour standards at Nikes suppliers, International Labour Review, vol 146, no 1, p5 36 Oxfam (2006). Offside! Labour rights and sportswear production in Asia, summary http://www.oxfam.org.uk/resources/policy/trade/downloads/offside_ sportswear_summ.pdf 37 Dow Jones Sustainability Index (2010). Sector overview: TEX clothing, accessories and footwear http://www.sustainability-index.com/djsi_protected/Review2010/ SectorOverviews_10/DJSI_TEX_11_1.pdf (requires registration) 38 However, not all companies in the sector take such a proactive approach to CSR and sustainability. Some of the brands featured in our investigation such as Li Ning, Youngor and Bauer Hockey have limited or no reporting on CSR or sustainability issues. Converse does not have its own CSR policy but adheres to Nikes policy. (See Appendix 1 for further details). 39 Nike Inc (2010). Nike restricted substances list (RSL) and sustainable chemistry guidance (SCG). http://www.nikebiz.com/responsibility/considered_design/documents/ RSL_Finished_Product.pdf 40 Adidas Group (2010) Adidas group policy for the control and monitoring of hazardous substances. http://www.adidas-group.com/en/sustainability/assets/Guidelines/ A01_Sept_2010.pdf 41 Puma (2009) PUMASafe: Handbook of Environmental Standards 2009 (includes the companys Restricted Substances List) . http://safe.puma.com/us/en/category/pumasafe/ 42 Such as limits on biological oxygen demand, chemical oxygen demand, suspended solids etc. 43 Nike Inc (2009). Corporate Responsibility Report FY 07 08 09, pp8083 http://www.nikebiz.com/crreport/content/pdf/documents/en-US/fullreport.pdf 44 Nike Inc (2010). Nike restricted substances list (RSL) and sustainable chemistry guidance (SCG), pp42-48 45 Adidas Group (2010). Environmental Statement 2010, p10. http://www.adidas-group.com/en/sustainability/assets/environmental_ statements/Environmental_Statement_2010_english.pdf 46 Adidas Group (2011). Green Company. www.adidas-group.com/en/sustainability/Environment/green_company/ default.aspx 47 Relative cuts of energy use are as a proportion of production or operations, compared to absolute cuts which set a percentage reduction of the total quantity of energy used. 48 Adidas restricts a range of heavy metals in wastewater discharges: see Adidas Group (2010). Environmental Guidelines 2010, p22. www.adidas-group.com/en/sustainability/assets/Guidelines/ Environmental_Guidelines_Jan_2010.pdf. At the end of the Environmental Guidelines (p.37) there is a section on Chemicals and Restricted Substances, which requires suppliers to avoid the use of substances listed in its Restricted Substances List (HS-A01). Group Policy and to Ensure that materials and components supplied are non-toxic in use and disposal and using them in manufacturing products does not involve toxic releases or damaging ecosystems. However, this statement does not specify preventing the discharge of hazardous substances to water; in addition, there is no implementation plan for how this is to be achieved. 49 Puma (2008). PUMA Vision Sustainability Report 2007/2008 http://images.puma.com/BLOG_CONTENT/puma_safe/PUMA_ Sustainability_Report_2007-2008.pdf 50 Puma (2009). PUMASafe: Handbook of Environmental Standards 2009, p12 51 Puma (2009). PUMASafe: Handbook of Environmental Standards 2009, p7 52 Or the use of related perfluorinated chemicals that can result in the presence of PFOS or PFOA in wastewater. 53 Nike Inc (2010). Nike restricted substances list (RSL) and sustainable chemistry guidance (SCG), pp4950 54 Adidas Group (2010). Adidas group policy for the control and monitoring of hazardous substances 55 Puma (2009). PUMASafe: Handbook of Environmental Standards 2009, op cit, which includes its Restricted Substances List 56 European Union REACH Regulation (EC) No 1907/2006 Annex XVII. Nonylphenols and nonylphenol ethoxylates are restricted to 1,000ppm preparation in products. PFOS is restricted to 1g/m2. The Canadian Environmental Protection Act 1999, Registration SOR 2008/178 prohibits the manufacture, use, sale, offer for sale and import of PFOS, as well as products containing PFOS, but does not specify a limit. 57 See for example the search for solutions through the collective industry platform International Electronics Manufacturing Initiative (iNEMI). iNEMI has published a white paper that reports progress made by its members towards removing halogenated flame retardants and PVC from desktop and laptop computers: iNEMI (2010) iNEMI timeline for HFR-free electronics and PVC-free cabling for notebook and desktop products. http://www.inemi.org/cms/newsroom/PR/2010/PR112910.html 58 Greenpeace International (2010). Electronics industry Milestones on the road to greener electronics http://www.greenpeace.org/international/Global/international/publications/ toxics/2011/Achievements%203-%20Industry%20then%20and%20now. pdf 59 European Commission (2003). Directive 2002/95/EC of the European Parliament and the Council, 27 January 2003, on the restriction of the use of certain hazardous substances in electrical and electronic equipment. http://eur-lex.europa.eu/LexUriServ/LexUriServ.do?uri=OJ:L:2003:037:00 19:0023:EN:PDF. Official Journal L037: 19-23. 60 European Commission (2003a). Directive 2002/96/EC on Waste Electrical and Electronic Equipment (WEEE), http://eur-lex.europa.eu/ LexUriServ/LexUriServ.do?uri=OJ:L:2003:037:0024:0038:en:PDF Official Journal L37/24 13.2.2003 61 One of the cornerstones of the WEEE Directive is Individual Producer Responsibility (IPR), which establishes that the producer pays for the costs, environmental and otherwise, of managing its own obsolete products, from collection to re-use, recycling and disposal. The principle is that the incentive is on the producer to redesign its products with the endof-life consequences in mind, and in particular to phase out hazardous substances that make the recycling process difficult and potentially dangerous. 62 WTO (2010). International Trade Statistics 2010 op.cit. 63 Environment Canada (2007). Progress report P2 planning and textile mills that use wet processing. http://www.ec.gc.ca/planp2-p2plan/default.asp?lang=En&n=3944D8AC-1
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64 XCG Consultants (2006). Best management practices, textiles sector: Nonylphenol and its ethoxylates and chromium, for Ministry of the Environment, Canada, 3-1474-17-03/R147170300textiles.doc http://www.cwwa.ca/pdf_files/Source%20Control%20-%20Ontario%20 textile.pdf 65 XCG Consultants (2006) op cit. 66 Ishikawa Y, Glauser J & Janshekar H (2008). Chemical Economics Handbook: Dyes, SRI Consulting in Chemical Industries Newsletter, March 2008. http://www.sriconsulting.com/nl/Public/2008Mar.pdf 67 North Carolina Department of Environmental Management (1982). Incorporating the Pollution Prevention Pays concept: A plan of action. Raleigh, NC: North Carolina Department of Environmental Management 68 Environmental Protection Agency (2010). Nonylphenol (NP) and nonylphenol ethoxylates (NPEs) action plan. http://www.epa.gov/oppt/existingchemicals/pubs/actionplans/ RIN2070-ZA09_NP-NPEs%20Action%20Plan_Final_2010-08-09.pdf 69 Personal communiciation from Sam Moore, formerly of Burlington Research Incorporated, the primary consulting firm working with the State on the project. 70 Moore SB & Ausley LW (2004). Systems thinking and green chemistry in the textile industry: concepts, technologies and benefits, Journal of Cleaner Production, 12: 596. 71 Personal communication from Sam Moore (see above), confirmed by personal communication from Gary Hunt of the NC Pollution Prevention program (August 2010). 72 Conway P et al (2003). The North Carolina Textiles Project: An Initial Report, U. NC at Chapel Hill. http://www.unc.edu/~pconway/Textiles/nctp_tatm_rev.pdf 73 For more information see Box 2.3, Section 2. 74 Environmental Working Group (2003). PFCs: Global Contaminants, executive summary: Consumers instantly recognize them as household miracles of modern chemistry Teflon, Scotchgard, Stainmaster, Gore-Tex http://www.ewg.org/reports/pfcworld 75 Environmental Working Group (2008). Credibility gap: Toxic chemicals in food packaging and DuPonts greenwashing, executive summary: How green is DuPonts replacement for Teflon chemical http://www.ewg.org/reports/teflongreenwash 76 Bao J, Liu W, Liu L, Jin Y, Ran X & Zhang Z (2010). Peruorinated compounds in urban river sediments from Guangzhou and Shanghai of China. Chemosphere 80(2): 123-13 77 Schultz P.-E & Norin H (2006). Fluorinated pollutants in all-weather clothing, Friends of the Earth Norway, Report 2/2006. http://naturvern.imaker.no/data/f/0/75/41/1_2401_0/2_Fluorinated_ pollutants_in_all-weather_clothing.pdf 78 Astrup Jensen A, Brunn Poulsen P & Bossi R (2008). Survey and environmental/health assessment of fluorinated substances in impregnated consumer products and impregnating agents, Survey of Chemical Substances in Consumer Products No 99, Copenhagen: Danish Environmental Protection Agency. http://www2.mst.dk/common/Udgivramme/Frame.asp?http://www2.mst. dk/udgiv/publications/2008/978-87-7052-845-0/html/default_eng.htm 79 Walters A & Santillo D (2006). Uses of Perfluorinated Substances, Technical Note 06/2006, Exeter: Greenpeace Research Laboratories. http://www.greenpeace.to/publications/uses-of-perfluorinated-chemicals.pdf 80 Walters A & Santillo D (2006) op cit.
81 Danish Environmental Protection Agency (2005). More environmentally friendly alternatives to PFOS-compounds and PFOA, Environmental Project No 1013. http://ww2.mst.dk/common/Udgivramme/Frame.asp?http://www2.mst. dk/udgiv/publications/2005/87-7614-668-5/html/helepubl_eng.htm 82 Astrup Jensen A, Brunn Poulsen P & Bossi, R (2008) op cit. 83 Greenpeace Germany, personal communication, April 2011. 84 TEGEWA (2009). Abwassereintrge von per/ Abwassereintrge von per/ polyfluorierten Chemikalien (PFC) in der Textilindustrie, 19June, Berlin http:// www.umweltbundesamt.de/wasser-und-gewaesserschutz/publikationen/ fgpfc/abwassereintraege_von_pfc_in_textilindustrie-schroeder.pdf 85 Rudolf Group (n.d.) Bionic-finish: The water-, oil- and soil-repellent textile impregnation. http://www.rudolf.de/products/details-brochure.htm?year=2004&ri= 200416 86 ie fluorocarbons or fluorotelomers 87 Astrup Jensen A, Brunn Poulsen P & Bossi R (2008) op cit. 88 Schultz P.-E & Norin H (2006) op cit. 89 Swedish Society for Nature Conservation (2008). T-shirts with a murky past, Report 8 9629 http://www.naturskyddsforeningen.se/upload/report-t-shirts-with-amurky-past.pdf 90 Swedish Society for Nature Conservation (2008) op cit. 91 iNEMI (2010) op cit. 92 iNEMI (2010) op cit.
Section 4
1 Lacasse K & Baumann W (2004) op cit, p81. 2 Harremoes P, Gee D, MacGarvin M et al (eds.) (2001). Late lessons from early warnings: The precautionary principle 18962000, The precautionary principle and early warnings of chemical contaminationof the Great Lakes, Michael Gilbertson ,p. 126 132, Copenhagen: European Environment Agency http://www.eea.europa.eu/publications/environmental_issue_ report_2001_22/Issue_Report_No_22.pdf 3 This principle can now be found in numerous regional treaties and global conventions. One well-known example is the Rio Declaration (UN Conference on Environment and Development (1992) Rio Declaration on Environment and Development. http://www.un.org/documents/ga/conf151/aconf15126-1annex1.htm). Principle 15 of the Rio Declaration states: Where there are threats of serious or irreversible damage, lack of full scientific certainty shall not be used as a reason for postponing cost-effective measures to prevent environmental degradation. 4 Nakachi S (2010). The Pollutant Release and Transfer Register (PRTR) in Japan and Korean Toxic Releases Inventory (TRI) an evaluation of their operation, Tokyo: Toxic Watch Network, p13. http://www.toxwatch.net/en/pdf/PRTR_JAPAN_1206.pdf 5 Greenpeace (2011). Hidden consequences, op. cit. Section 2.4 by Aldert van der Kooij 6 European Commission (2009), Commission Regulation (EC) No 552/2009 of 22 June 2009 amending Regulation (EC) No 1907/2006 of the European Parliament and of the Council on the Registration, Evaluation, Authorisation and Restriction of Chemicals (REACH) as regards Annex XVII, Official Journal L 164. 26.6.2009.
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7 Discharge refers to all discharges, emissions and losses, ie all pathways of release. 8 Typically, one generation is understood as equivalent to 20 to 25 years. 9 For example,no data, no market provisions in EU REACH Regulation (see European Commission 2009). 10 Meaning regularly revised based on latest evidence 11 Classification of hazardousness to be based on intrinsic properties such as whether it is persistent; bioaccumulative; toxic; carcinogenic, mutagenic and reprotoxic; hormone disruptive or of equivalent concern. See Greenpeace Policy Q and A - Q5 Which hazardous chemicals should we tackle first? http://www.greenpeace.org/international/Global/international/publications/ toxics/Water%202011/HCPolicy.pdf 12 OSPAR (2004). Nonylphenol/nonylphenolethoxylates, OSPAR Priority Substances Series, updated edition, London: OSPAR Commission 13 Jobling S, Reynolds T, White R et al (1995) op cit. 14 Jobling S, Sheahan D, Osborne JA et al (1996) op cit. 15 Commission Regulation (EC) No 552/2009 of 22 June 2009 amending Regulation (EC) No 1907/2006 of the European Parliament and of the Council on the Registration, Evaluation, Authorisation and Restriction of Chemicals (REACH) as regards Annex XVII, Official Journal L 164. 26.6.2009, pp7-31. http://eur-lex.europa.eu/LexUriServ/LexUriServ.do?uri=OJ:L:2009:164:00 07:0031:EN:PDF Prior to REACH, nonylphenols were restricted from 2005 under Directive 2003/53/EC of The European Parliament and of the Council of 18 June 2003 amending for the 26th time Council Directive 76/769/EEC relating to restrictions on the marketing and use of certain dangerous substances and preparations (nonylphenol, nonylphenol ethoxylate and cement), which was repealed on 1 June 2009 by Commission Regulation 552/2009 (above). 16 Howdeshell KL, Wilson VS, Furr J, Lambright CR, Rider CV, Blystone CR, Hotchkiss AK & Gray LE Jr (2008). A mixture of five phthalate esters inhibits fetal testicular testosterone production in the Sprague Dawley rat in a cumulative dose additive manner, Toxicological Sciences, vol 105, pp153165 17 European Chemicals Agency (2010). Evaluation of new scientific evidence concerning the restrictions contained in Annex XVII to regulation (EC) No 1907/2006 (REACH): Review of new available information for bis (2-ethylhexyl) phthalate (DEHP), European Chemicals Agency http://echa.europa.eu/doc/reach/restrictions/dehp_echa_review_ report_2010_6.pdf 18 Commission Regulation (EU) No 143/2011 of 17 February 2011 amending Annex XIV to Regulation (EC) No 1907/2006 of the European Parliament and of the Council on the Registration, Evaluation, Authorisation and Restriction of Chemicals (REACH), Official Journal L44 18.2.2011, pp.2-6. While the date of the definitive ban is set as February 2015 there are some exemptions (such as use in medical packaging), and companies can still apply for further exemptions until August 2013. 19 Talsness CE (2008). Overview of toxicological aspects of polybrominated diphenyl ethers: A flame-retardant additive in several consumer products, Environmental Research, vol 108, pp158167. 20 Commission Regulation (EC) No 552/2009 of 22 June 2009, op cit. (REACH). Existing restrictions set out in the Marketing and Use Directive (76/769/EEC) on the marketing and use of certain dangerous substances and preparations (pentabromodiphenyl ether, octabromodiphenyl ether) were carried over to REACH. Directive 76/769/EEC was repealed on 1 June 2009. 21 EU (2000). Directive 2000/60/EC establishing a framework for Community action in the field of water policy, Official Journal L327 22.12.2000, pp1-72 22 EU (2000). Directive 2008/105/EC of the European Parliament and of the Council of 16 December 2008 on environmental quality standards in the field of water policy, Official Journal L348 24.12.2008 pp84-97 23 Gregory P (2007). Toxicology of textile dyes, Chapter 3 in Christie, R. (ed.) Environmental aspects of textile dyeing, Woodhead Publishing. 24 Commission Regulation (EC) No 552/2009 of 22 June 2009, op cit. (REACH). Azo colourants were first restricted by the EU (2002) Directive 2002/61/EC of the European Parliament and of the Council of 19 July 2002 amending for the nineteenth time Council Directive 76/769/EEC (relating to restrictions on the marketing and use of certain dangerous substances and preparations (azocolourants), Official Journal L 243, 11.09.2002, pp.15-18). The restrictions set out in the Marketing and Use Directive (76/769/EEC) were carried over to REACH. Directive 76/769/EEC was repealed on 1 June 2009. 25 OSPAR (2004). OSPAR background document on organic tin compounds, updated edition, London: OSPAR Commission. 26 EU (2000). Directive 2000/60/EC, op cit. 27 Commission Regulation (EU) No 276/2010 of 31 March 2010 amending Regulation (EC) No 1907/2006 of the European Parliament and of the Council on the Registration, Evaluation, Authorisation and Restriction of Chemicals (REACH) as regards Annex XVII (dichloromethane, lamp oils and grill lighter fluids and organostannic compounds), Official Journal L86 1.4.2010, pp7-12 28 Giesy JP & Kannan K (2001) op cit.. 29 Kannan K, Corsolini S, Falandysz J et al (2002) op cit. 30 Lau C, Anitole K, Hodes C et al (2007) op cit. 31 Jensen A & Leffers H (2008) op cit. 32 Kannan K, Corsolini S, Falandysz J et al (2002) op cit. 33 Commission Regulation (EC) No 552/2009 of 22 June 2009, op cit. (REACH) 34 Government of Canada (2007). Chemicals Management Plan Implementation timetable. http://www.chemicalsubstanceschimiques.gc.ca/plan/table-tableau_e. html 35 Agency for Toxic Substances and Disease Registry (2002) Toxicological profile for hexachlorobenzene, United States Public Health Service, Agency for Toxic Substances and Disease Registry 36 EU (2000) Directive 2000/60/EC op cit. 37 Commission Regulation (EU) No 757/2010 of 24 August 2010 amending Regulation (EC) No 850/2004 of the European Parliament and of the Council on persistent organic pollutants as regards Annexes I and III, Official Journal L223 25.8.2010, pp.29-36 38 Agency for Toxic Substances and Disease Registry (2006, 1989) Toxicological profiles for 1,1,1-trichloroethane & 1,1,2-trichloroethane, United States Public Health Service, Agency for Toxic Substances and Disease Registry 39 The use of TCE is regulated via Entry 34 of Annex 17 of the EU chemical law (Regulation (EC) No 1907/2006 concerning the Registration, Evaluation, Authorisation and Restriction of Chemicals (REACH)) and is not to be placed on the market or used in concentrations equal to or greater than 0.1 per cent by weight of product for sale to the general public and in diffusive applications such as surface cleaning and cleaning of fabrics. Commission Regulation (EC) No 552/2009 of 22 June 2009 (REACH) op cit.
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40 OSPAR (2004). Pentachlorophenol, OSPAR Priority Substances Series 2001, updated 2004, OSPAR Convention for the Protection of the Marine Environment of the North-East Atlantic, OSPAR Commission, London, ISBN 0-946956-74: 31 pp. http://www.ospar.org/documents/dbase/publications/p00138_BD%20 on%20pentachlorophenol.pdf 41 Since 1991, all PCP-containing products sold and used in the EU have been imported (EU production was banned under Directive 76/769/EEC). Now entry number 22 of Annex 17 of the EU chemical law prohibits the marketing and use in the EU of PCP and its salts and esters in products in a concentration equal to or greater than 0.1 per cent (Commission Regulation (EC) No 552/2009 of 22 June 2009, op cit. (REACH)). 42 OSPAR (2001). Short chain chlorinated paraffins, OSPAR Hazardous Substances Series, London: OSPAR Commission, London, ISBN 0 946956 77: 18 pp. 43 Commission Regulation (EC) No 552/2009 of 22 June 2009, op cit. (REACH) 44 Agency for Toxic Substances and Disease Registry (2007, 2008). Toxicological profiles for lead and cadmium, United States Public Health Service, Agency for Toxic Substances and Disease Registry 45 United Nations Environment Programme (2002). Global mercury assessment, Geneva: UNEP. http://www.chem.unep.ch/mercury/Report/GMA-report-TOC.htm 46 National Institute of Environmental Health Sciences (2009). Report on carcinogens, eleventh edition; substance profiles, chromium hexavalent compounds, US National Institute of Environmental Health Sciences http://ntp.niehs.nih.gov/ntp/roc/eleventh/profiles/s045chro.pdf 47 Baral A, Engelken R, Stephens W, Farris J & Hannigan R (2006). Evaluation of aquatic toxicities of chromium and chromium-containing effluents in reference to chromium electroplating industries, Archives of Environmental Contamination and Toxicology, vol. 50, no. 4, 496-502 48 EU (2000) Directive 2000/60/EC op cit. 49 Commission Regulation (EC) No 552/2009 of 22 June 2009, op cit. (REACH)
10 Grupo Cortefiel, Cortefiel press dossier, n.d., 9, (accessed June 20, 2011). http://www.grupocortefiel.com/files/assets/0000/6404/Press_dossier_ GrCortefiel_28.01.11_2.pdf 11 Grupo Cortefiel, About us history http://www.grupocortefiel.com/en/about-us/history 12 Grupo Cortefiel, About us Grupo Cortefiel, n.d. http://www.grupocortefiel.com/en/about-us (). 13 Grupo Cortefiel, Corporate Responsibility Grupo Cortefiel, n.d. http://www.grupocortefiel.com/en/corporate-responsibility 14 Grupo Cortefiel, Grupo Cortefiel Sustainability Report 2009, n.d. http://www.grupocortefiel.com/en/corporate-responsibility 15 http://about.hm.com/gb/abouthm/factsabouthm/ ourbusinessconcept__ourphilo.nhtml 16 http://about.hm.com/gb/abouthm/factsabouthm__facts.nhtml 17 Fast Retailing Co Ltc. Industry Ranking | FAST RETAILING CO., LTD., 2011 04 27. http://www.fastretailing.com/eng/ir/direction/position.html 18 http://www.hm.com/filearea/corporate/fileobjects/pdf/en/CSR_ REPORT2010_PDF_1302846254219.pdf 19 Lacoste press kit, n.d., 7, http://www.lacoste.com/library/download/ pdf/LACOSTE_presskit_en.pdf. 20 Ibid 1. 21 Ibid 9. 22 http://www.pvh.com/news_release.aspx?reqid=1548045 23 http://en.wikipedia.org/wiki/Van_Heusen 24 http://www.reuters.com/finance/stocks/companyProfile?rpc=66&sym bol=PVH 25 http://www.fashion-incubator.com/archive/apparel-price-pointcategories/ 26 http://www.pvh.com/news_release.aspx?reqid=1548045
Appendix 1
1 Adidas website, accessed February 2011 |http://www.Adidas-group. com/en/sustainability/suppliers_and_workers/code_of_conduct/default. aspx 2 Adidas Group, 2010, Annual Report 2009, p. 227, accessed December 2010. http://www.Adidas-group.com/en/investorrelations/assets/pdf/annual_ reports/2009/GB_2009_En.pdf 3 Adidas Group, Sustainability, accessed December 2010 http://www.adidasgroup.com/en/sustainability/welcome.aspx 4 http://www.bauer.com/career 5 http://www.bauerir.com/site/company/growth.php 6 http://invest.nike.com/phoenix.zhtml?c=100529&p=irol-newsArticle_ print&ID=1110938&highlight= (visit 26 April 2011) 7 http://phx.corporate-ir.net/phoenix.zhtml?c=242945&p=irolnewsArticle&ID=1538093&highlight= 8 http://www.bauerir.com/site/company/brands.php(visit 26 April 2011) 9 http://phx.corporate-ir.net/phoenix.zhtml?c=242945&p=irolgovHighlights
27 http://www.pvh.com/brands.html 28 http://www.pvh.com/brands.html 29 http://www.pvh.com/responsibility.html 30 http://www.pvh.com/pdf/environmental_policy.pdf 31 Nike CRR 2007-9, accessed April 2011 http://www.nikebiz.com/crreport/content/environment/4-1-0-overview. php?cat=overview 32 Nike CRR 2007-9, accessed April 2011. http://www.nikebiz.com/crreport/content/workers-and-factories/3-11-0interactive-map.php?cat=map 33 Puma.com website, April 2011 http://vision.puma.com/us/en/ 34 Puma AG. 2010. Annual report 2009. 35 Youngor website, April 2011 http://en.youngor.com/responsibility.do?cid=200811190221102735 36 China National Garment Association, 2010, Winners of China Winner List of China Garment Industry Prize, http://www.cnga.org.cn/engl/powerful/top100.asp
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Appendix 2
1 http://www.blazek.eu/cs/o-spolecnosti.html 2 Inter Ikea Centre Group, Blaek, 2011. http://www.ostrava.avionshoppingpark.cz/en-gb/store-locator/blazek 3 http://www.blazek.eu/cs/o-spolecnosti.html 4 Ibid. 5 http://www.macysinc.com/AboutUs/ 6 http://www.macysinc.com/AboutUs/Default.aspx 7 http://www.macysinc.com/Macys/privateexclusive.aspx 8 http://www.macysinc.com/aboutus/sustainability/five-point-action-plan. aspx 9 Nautica, Nautica: Customer Service, About Nautica, n.d http://www.nautica.com/home/index.jsp 10 Advameg, Inc., Nautica Enterprises, Inc. - Company Profile, Information, Business Description, History, Background Information on Nautica Enterprises, Inc.. 11 http://www.textilwirtschaft.de 12 VF Corporation. VF Corporation - Our Brands, Our brands, n.d. http://www.vfc.com/brands 13 VF Corporation. VF Corporation 10k, n.d., 7. http://phx.corporate-ir.net/External.File?item=UGFyZW50SUQ9NDE5NjU yfENoaWxkSUQ9NDMyOTU4fFR5cGU9MQ==&t=1. 14 VF Corporation VF Corporation- Global Compliance Principles, n.d., 3. http://www.vfc.com/VF/corporation/resources/images/Content-Pages/ Corporate-Responsibility/VFC-Global-Compliance-Principles.pdf.
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15 Oxford Industries Inc., Oxford Industries - apparel company, n.d., http://www.apparelsearch.com/financial/stocks/wholesale/Oxford_ Industries.htm 16 Oxford Industries,.Oxford Apparel 10-k 2009, n.d., 7. http://www.sec.gov/Archives/edgar/data/75288/000104746910002998/ a2197649z10-k.htm 17 Li & Fung Limited, lifunggroup.com - Li & Fung Group - Sustainability > Environment, n.d.. http://www.lifunggroup.com/eng/sustainability/environment.php 18 Peerless Clothing Inc. Peerless Clothing - Home, n.d. http://www.peerless-clothing.com/home.htm 19 Peerless Clothing Inc.,Peerless Clothing - Home, n.d. http://www.peerless-clothing.com/home.htm 20 VM ware Inc. Customer Case Study Peerless Clothing, n.d. 1 http://www.vmware.com/files/pdf/customers/09Q1_cs_vmw_Peerless_ english_R2.pdf (accessed June 20, 2011). 21 Ibid. 22 Polo Ralph Lauren Corp, 10-k report 2009-2010 polo ralph lauren, n.d., 34 http://www.sec.gov/Archives/edgar/ data/1037038/000095012310055188/y81773e10vk.htm 23 Ibid., 34. 24 Polo Ralph Lauren Corp, 10-k report 2009-2010 polo ralph lauren, 16. 25 Ibid., 26. 26 http://www.wikinvest.com/wiki/American_Eagle_Outfitters_(AEO) 27 http://www.wikinvest.com/wiki/American_Eagle_ Outfitters_%28AEO%29 28 http://www.just-style.com/news/american-eagle-to-open-stores-inchina-hong-kong_id107951.aspx 29 http://news.alibaba.com/article/detail/business-in-china/100329531-1american-eagle-open-stores-hk%252C.html 30 http://www.ae.com/web/corp/responsibility.jsp?topic=environment 31 http://www.carters.com/Corporate-Site-Our-Brands-Landing-Page/ corporateOurBrands,default,pg.html 32 http://phx.corporate-ir.net/External.File?item=UGFyZW50SUQ9NDIwO DM5fENoaWxkSUQ9NDM0NDAzfFR5cGU9MQ==&t=1 33 http://www.wikinvest.com/stock/Gap_(GPS) 34 http://www.wikinvest.com/stock/Gap_(GPS) 35 http://www.rttnews.com/content/topstories.aspx?Id=1445260) 36 http://www2.gapinc.com/GapIncSubSites/csr/Utility/resources.shtml 37 http://www2.gapinc.com/GapIncSubSites/csr/Utility/resources.shtml 38 http://www2.gapinc.com/GapIncSubSites/csr/Utility/resources.shtml 39 http://www.jcpenneybrands.com/ ) 40 http://www.jcpenney.net/JCPenney/media/SiteImages/PDF%20doc/ JCPenneyMattersPrinciple.pdf 41 http://www.wikinvest.com/wiki/Kohl%27s_(KSS) 42 http://www.wikinvest.com/wiki/Kohl%27s_(KSS) 43 http://www.kohlsgreenscene.com/
44 http://www.kohlscorporation.com/PressRoom/PDFs/2009/2009Report ShareholdersSocialResponsibility.pdf 45 Zhejiang Semir Garment Co., Ltd. 2011. Responsibility. http://www. semirbiz.com/en/corporate-profile/responsibility.aspx 46 China Value. 2007. Semir, please pay attention to your responsibilities. September 2007. http://www.chinavalue.net/Article/ Archive/2007/9/18/81271.html (in Chinese). 47 Fast Retailing Co Ltd. Industry Ranking | FAST RETAILING CO., LTD., December 20, 2010 http://www.fastretailing.com/eng/ir/direction/position.html. 48 Performance by Group Operation | FAST RETAILING CO., LTD., n.d., http://www.fastretailing.com/eng/ir/financial/group.html 49 CSR Report 2011 | FAST RETAILING CO., LTD.,, http://www. fastretailing.com/eng/csr/report/ 50 Ibid. 51 Yishion. 2011. About us. http://www.yishion.com.cn/#aboutus
Appendix 3
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