ISEAL Code of Good Practice v1 - 0 PDF
ISEAL Code of Good Practice v1 - 0 PDF
The ISEAL Code of Good Practice for Sustainability Systems (‘the ISEAL Code’) was approved by the ISEAL Board
on 29 November 2023, following recommendation for approval by the ISEAL Technical Committee. This
document contains the agreed version of the ISEAL Code (v1.0), which when reviewed alongside the summary
of feedback received during the consultation period, shows the result of how input during the consultation has
been taken into account. Summaries from each round of public consultation can be found on the Code
consultation webpage, in addition to a summary of changes made between the ISEAL Code and the original
ISEAL Codes of Good Practice, and between previous drafts of the ISEAL Code.
The formal launch of the ISEAL Code will take place in Q1 2024. During this launch, we will confirm the review
and revision frequency for the ISEAL Code, in addition to the effective date and further detail about the
transition period. For ISEAL Code Compliant Members, we encourage you to familiarise yourself with the
content of the ISEAL Code, and to identify opportunities in any upcoming review and revision of scheme
components and/or workplans to ensure sufficient provisions to support the 18-month transition period for
meeting the desired outcomes of all clauses in the ISEAL Code. Further resources to support understanding of
the ISEAL Code and interpretation of clauses will be made available throughout 2024.
Contents
Section 5: Scheme performance and continual improvement (monitoring, evaluation, and learning) ............ 13
Section 7: Assurance........................................................................................................................................... 23
Section 8: Claims................................................................................................................................................. 30
Definitions .......................................................................................................................................................... 33
Introduction and Scope
Introduction
Sustainability systems or schemes use verification of sustainability standards and performance measures to
communicate progress or sustainability status. They can be effective market-based tools for catalysing
improvements on critical sustainability issues. The ISEAL Code of Good Practice lays the foundation for
sustainability systems to strengthen that effectiveness. It provides a holistic picture of all the components of a
credible sustainability system and how they fit together.
The ISEAL Code sets requirements for good practice by the scheme owner who is responsible for the
sustainability system or scheme. The Code is structured around eight related functions, each presented in a
separate section. The dependencies and interactions between these components highlight the holistic nature of
the Code and are indicated in the Code by cross-referencing between clauses.
Section 1 on strategy grounds a scheme in defined sustainability outcomes and strategies that are likely to be
most effective for the context in which the scheme is applied. Section 2 on governance ensures that the scheme
has good governance practices in place, including appropriate policies, personnel competencies, and risk
management. Section 3 on stakeholder engagement recognises that stakeholders have critical roles to play in
implementation of a scheme, and supports scheme owners to define when and how stakeholders can engage.
Section 4 on data and information management provides a framework for scheme owners to manage their data
holistically across the scheme to derive more and better insights.
Section 5 on monitoring, evaluation, and learning (MEL) ensures that the scheme owner understands how well
their scheme is working and how well they are delivering on their sustainability outcomes and impacts. Section
6 lays out good practices for setting and revising sustainability standards or performance requirements. Section
7 includes the components necessary for the effective functioning of an assurance system, including defining
the assurance models appropriate for the scheme and ensuring effective oversight of how the assurance system
is being implemented. Section 8 introduces requirements around claims management and traceability (where
applicable) to ensure that claims and communications made about the scheme and its results are clear,
accurate and reliable.
Scope
The ISEAL Code of Good Practice for Sustainability Systems (‘the ISEAL Code’) applies to the owner of any
sustainability system or scheme (‘the scheme owner’) that:
• enables measurement, monitoring or verification of performance and progress against these requirements;
and
A scheme owner can operate multiple sustainability systems or schemes, each one differentiated by a distinct
standard or set of performance measures. The ISEAL Code applies to all schemes managed by the scheme
owner and to the full geographic and sectoral scope of these schemes.
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The ISEAL Code supports scheme owners to develop and manage sustainability systems or schemes that deliver
meaningful sustainability impacts and credible claims. The requirements in the Code apply to all scheme
components and strategies that contribute to or result in the scheme’s defined sustainability outcomes or that
back up the scheme’s controlled claims and communications about the results. This includes the core
components of a sustainability system: standard-setting; monitoring, evaluation, and learning (MEL); assurance;
and claims. It can also include complementary strategies such as capacity building or company partnerships that
are needed to deliver on the scheme’s intended sustainability outcomes and impacts.
It is the responsibility of the scheme owner to define the full range of strategies that fall within this scope, in
addition to the core components. The scheme owner or its parent organisation may deliver other strategies
that are not intended to deliver on the sustainability outcomes defined in a scheme. These strategies are not
considered part of a sustainability system or scheme and are not included in the scope of this Code.
Disclaimer
ISEAL Alliance does not assume any responsibility towards any person or organisation choosing to rely on any
aspect of the ISEAL Code or ISEAL’s evaluation of ISEAL members’ schemes, except if and to the extent expressly
agreed in writing by ISEAL.
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Section 1: Strategy for enabling impact
1.1 Intended sustainability impacts and strategies
Desired outcome: The scheme owner is clear on what it intends to achieve and how.
1) the desired short, medium, and long-term sustainability outcomes and impacts it aims to achieve
2) the scheme components and strategies it will use to achieve those outcomes and impacts, or to back-
up the claims it makes or allows clients of the scheme to make
3) the causal pathways through which its scheme components and related activities and strategies are
expected to contribute to intended outcomes and impacts
In documenting the causal pathways, the scheme owner identifies major assumptions inherent in these
pathways.
[Guidance: A theory of change is recommended for meeting the requirements of this clause, though other
approaches can also be effective.]
[Guidance: Scheme owners are encouraged to define outcomes, impacts, strategies, and causal pathways from
an organisational perspective, including activities beyond the scope of the ISEAL Code, if relevant.]
[Guidance: The definition of scheme components and strategies is the scheme owner's declaration of the full
range of its operations, including the core scheme components and supporting strategies, that contribute to its
intended sustainability outcomes and impacts and that, therefore, fall within the scope of the ISEAL Code (See
Scope).]
Desired outcome: The scheme owner makes informed decisions about how to focus its work to maximise its
potential sustainability impacts.
To inform its decisions on sustainability outcomes, impacts, and strategies, the scheme owner assesses:
1) the most important sustainability issues within its geographic and sectoral scope
In assessing the possible unintended negative effects of its scheme, the scheme owner seeks input from
stakeholders who have an interest in or could be affected by the scheme, and documents the results of this
consultation.
[Guidance: This assessment can draw on the scheme owner's learning and insights from MEL activities; from risk
management activities; and from stakeholder input and feedback, including from subject matter experts.]
[Guidance: It is recommended that the scheme owner includes an assessment of gender-related trends and risks
within its background assessment to support the development of strategies with the potential to deliver positive
gender outcomes.]
[Guidance: When assessing where and how the scheme is well placed to exert influence, it is recommended to
consider complementarity with schemes with overlapping scopes.]
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1.3 Review of intended impacts and strategies
Desired outcome: The scheme's intended impacts, strategies, and logic remain relevant over time.
2) reviews and, where necessary, revises its intended outcomes, impacts, strategies, activities, and causal
pathways (1.1) to ensure they remain relevant and valid
[Guidance: It is recommended that the timing aligns with any major review that the scheme owner undertakes
of its organisational or scheme strategies or its standards.]
The scheme owner decides how its scheme is intended to support corporate sustainability due diligence and
publicly documents the specific supporting roles it intends to play.
As part of this decision, the scheme owner determines what role it intends to play, if any, in the remediation of
adverse impacts on human rights or environmental issues identified through implementation of its scheme,
e.g., through auditing or monitoring.
[Guidance: By publicly documenting how the scheme can be used by companies to support their due diligence
responsibilities, the scheme owner is providing clarity on the extent and limitations of its role. The scheme can
choose to play no role in due diligence but should still define and document this decision.]
The scheme owner ensures that its Board, standards committee or equivalent, executive leadership, and the
staff members responsible for each of the scheme components and related strategies have received an
orientation to the scheme’s desired outcomes and impacts, the articulation of its causal pathways, and the
background assessment informing these intended results (1.1 and 1.2).
The scheme owner ensures that all staff members have easy access to these materials.
The scheme owner makes information about its purpose and strategies publicly available and easily accessible,
including at least its desired sustainability outcomes and impacts and how its scheme is expected to achieve
those outcomes and impacts. (1.1)
[Guidance: The scheme owner is encouraged to also provide public information on its broader organisational
strategy for achieving sustainability outcomes, including activities beyond the scope of the ISEAL Code, if
relevant.]
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Section 2: Scheme integrity, governance, and operations
2.1 Governance structure
The scheme owner maintains the following records to support scheme governance and operations:
3) terms of reference for all decision-making bodies (including selection criteria for members of the
decision-making bodies)
The scheme owner has the following policies in place that apply to its governing and decision-making bodies,
staff, and consultants:
3) safeguarding policy
5) grievance policy
[Guidance: A grievance policy is intended to govern grievances raised by staff, consultants, and those serving on
its governing and decision-making bodies. The handling of grievances raised by clients and implementing
partners such as assurance providers is governed by the dispute resolution system (3.5).]
The scheme owner delineates roles and responsibilities for developing, implementing, and revising its policies
and procedures for each scheme component and related strategies.
[Guidance: Policies and procedures also include any guiding frameworks the scheme has developed to direct
work in these areas.]
1) regularly define the qualifications and competency requirements for its staff who deliver scheme
components and related strategies, and for personnel of implementing partners, e.g., assessors; for
personnel of assurance providers and oversight bodies, these qualifications include in-depth knowledge
of the scheme's standard(s) and assurance requirements
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2) regularly evaluate staff against these competency requirements and require this also of implementing
partners; for implementing partners, this includes witnessing of assessment personnel carrying out
assessments
1) identifies threats to the impartiality and integrity of each component of its scheme and related
strategies
2) quantifies risk associated with those threats, based, where feasible, on data analysis
3) outlines preventive or mitigating measures appropriate to the scale and severity of each of the most
significant threats identified
4) includes a review and revision schedule that is responsive to new threats arising or changes to risk
ratings
[Guidance: The quantification of a risk involves assessing the likelihood of a threat occurring and the severity of
the impact if it does, in order to derive a risk rating. Risk quantification can be informed by findings from
assurance and MEL activities as well as other data sources.]
[Guidance: The scheme owner can choose to outsource its risk management for assurance to oversight bodies, in
line with this clause, but retains responsibility for the integrity of the scheme as a whole.]
The scheme owner has systems in place to assess and manage the risks of associating with its existing and
proposed business partners, and incorporates these in its risk management plan.
[Guidance: Business partners include implementing partners (e.g., assurance providers, oversight bodies) and
corporate partners (e.g., certified clients, members, licensees, parent companies of certified sites, etc.).]
[Guidance: The scheme owner needs to assess the level and type of risks it could be exposed to through
interaction and association with a business partner, e.g., links to fraudulent or illegal activity or business
practices contrary to the scheme’s intended sustainability impacts.]
[Guidance: As measures to mitigate identified risks of association, a scheme can choose to use tools such as a
policy of association or a code of conduct requiring business partners to commit to corporate due diligence as
laid out in frameworks such as the OECD Due Diligence Guidance for Responsible Business Conduct and UN
Guiding Principles on Business and Human Rights.]
The scheme owner establishes legally enforceable contracts with implementing partners that include control
measures for all delegated functions, as well as clear expectations for good data management, confidentiality
and sharing of data with the scheme owner.
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The scheme owner also requires its implementing partners to have legally enforceable contracts with their
respective clients, including steps to address any arising fraudulent behaviour.
The scheme owner defines and follows a schedule to review each component of its scheme at least every five
years and, where necessary, to revise that scheme component.
[Guidance: Reviews can draw on implementation experience, the data management system, learnings from risk
management, stakeholder feedback, and findings generated through MEL activities.]
The scheme owner ensures that for changes to the scheme that will affect stakeholders (e.g., changes to the
standard or scheme requirements), procedures set out when changes will come into effect, allowing adequate
time for stakeholders to comply, and how the changes will be communicated to those affected.
The scheme owner makes the following information about the scheme's governance and operations publicly
available and easily accessible:
2) the scheme's scope of operations (sector, geography, segment of the supply chain, life cycle stage, etc.)
[Guidance: Primary governance bodies include governance boards and subcommittees, key technical bodies, and
multistakeholder decision-making bodies like standards committees.]
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Section 3: Stakeholder engagement
3.1 Stakeholder identification
Desired outcome: The scheme owner understands who its stakeholders are.
The scheme owner defines categories of stakeholders who may have an interest in or could be affected by the
scheme.
The scheme owner retains contact information for stakeholders who have engaged with the scheme and
provides an accessible mechanism for new stakeholders to identify themselves and their interests.
The scheme owner uses these records as a resource for public consultation or engagement processes.
[Guidance: Stakeholders who may have an interest in the scheme include those who may be directly or indirectly
affected by activities within the sector or geography where the scheme intends to have an impact.]
Desired outcome: Stakeholders know how to provide feedback to the scheme owner.
The scheme owner identifies contact points for each scheme component and related strategies and makes this
information publicly available and easily accessible.
[Guidance: This can be a central contact point that directs any enquiry or input to the appropriate part of the
scheme.]
Desired outcome: Stakeholders have opportunities to provide input on all scheme components.
At a minimum, the scheme owner provides stakeholders the opportunity to easily provide input on the:
6) clarity, relevance, and accuracy of claims the scheme makes and allows clients to make (8.8.6)
The scheme owner informs stakeholders about these opportunities and how their input will be taken into
account. When desired by the stakeholder, the scheme owner ensures they can provide information securely
and confidentially.
Desired outcome: The scheme owner supports the contributions of under-represented stakeholders.
The scheme owner seeks to address barriers to participation and engagement faced by under-engaged and
under-represented stakeholder groups. The scheme owner proactively seeks their contributions to the
opportunities identified in 3.3.
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[Guidance: For all stakeholder categories, it is recommended that the scheme owner considers how best to seek
input from women, especially in contexts where social, cultural, or institutional structures may limit women’s
ability to fully participate in consultations or similar exercises.]
Desired outcome: The scheme owner has impartial and accessible mechanisms in place for resolving
complaints and grievances.
The scheme owner has a documented dispute resolution system that is open and accessible to all stakeholders
and that facilitates and supports the impartial handling and remediation of complaints and grievances about
clients, members, implementing partners, and the scheme itself. The procedure governing the dispute
resolution system includes timelines by which complaints and grievances are to be assessed.
At a minimum, the system accepts complaints and grievances related to standards development and
maintenance, assurance processes and decisions, codes of conduct or policies of association for clients or
members, and claims processes and controlled claims.
The scheme owner ensures that the confidentiality of a complainant is protected when requested by the
complainant or when it is otherwise prudent.
The scheme owner retains overall responsibility for management of the dispute resolution system and ensures
that implementing partners have their own dispute resolution systems that feed into the overall approach, so
that complaints and grievances are submitted and managed at the appropriate level.
[Guidance: The conditions under which it would be prudent to protect the confidentiality of complainants or
aggrieved parties even when not specifically requested to do so could be defined by the dispute resolution
system or by other organisational policies, e.g., safeguarding policy.]
The scheme owner or, where relevant, implementing partners are required by the dispute resolution system to:
1) investigate and take appropriate action regarding relevant complaints and grievances within defined
timelines
2) elevate any complaints or grievances that cannot be resolved, e.g., from assurance provider to
oversight body to scheme owner
5) keep a record for at least five years of all complaints and grievances, and resulting actions, to be made
available for internal audits and other internal review processes
6) on a regular basis, publicly report a summary of all concluded complaints and grievances, and resulting
actions, ensuring confidentiality of complainants or aggrieved parties, where requested or prudent
[Guidance: It is recommended that summaries of the number and type of complaints and grievances are used to
inform risk management and MEL activities.]
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Section 4: Data and information management
4.1 Data and information management system
Desired outcome: The scheme owner manages its data and information so that it can be used effectively.
The scheme owner has a data and information management system that facilitates analysis and use of data for,
at minimum:
1) monitoring and evaluating client performance (5.2.2), scheme sustainability performance (5.2.4) and
variations in scheme effectiveness, outcomes, and reach (5.2.6)
4) assurance (section 7)
Documentation for the data and information management system includes how internal and external data are
gathered, organised, and securely stored.
[Guidance: Data and information does not need to be managed through one integrated system across all
scheme components, though integration of data systems and alignment of data taxonomies is highly
recommended.]
Desired outcome: The scheme owner has access to sufficient data to gain insights about scheme
performance.
The scheme owner gathers data and information from different sources as needed to achieve at least the
purposes outlined in 4.1. The scheme owner maintains lists of data and information sources used for each
scheme component.
[Guidance: These data and information sources include information received from stakeholders. They also
include some of the data and information sources that feed the risk management plan and the MEL system.]
Desired outcome: The scheme owner ensures the quality and integrity of the data and information it
manages.
The scheme owner has data quality control procedures that ensure consistency and integrity for the data it
manages.
The scheme owner has measures in place to ensure that implementing partners and service providers follow
adequate data quality control procedures (including indicator protocols) to ensure data consistency and
integrity for the data they manage on the scheme owner's behalf.
Desired outcome: The scheme owner controls the integrity of documents and records.
The scheme owner has procedures that control document integrity and guide the management, distribution
and storage of scheme documents and records. Document controls include change logs to record when and
what changes are made to scheme documents.
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4.5 Data governance
The scheme owner defines who owns different types of data within the scheme scope and what data is
available to whom and under what conditions. For data that is available externally, the scheme owner makes
this information publicly available.
Desired outcome: The scheme owner complies with legal requirements for working with data and
information.
The scheme owner has measures in place to ensure compliance with applicable legal requirements for the
gathering, storage, and use of data relevant to the implementation of its scheme. This includes procedures to
protect and securely store confidential and proprietary data.
[Guidance: It is recommended that the scheme owner regularly verifies that its procedures align with applicable
legislation on data privacy.]
Desired outcome: The scheme owner has access to the data it needs to support effective implementation of
its scheme.
The scheme owner takes steps to address any barriers preventing its access to, or use of data required for
implementation of its scheme, e.g., through contracts with implementing partners. This includes having the
necessary permissions from data owners for the use of their data.
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Section 5: Scheme performance and continual
improvement (monitoring, evaluation, and learning)
5.1 MEL guiding framework
Desired outcome: The scheme owner has a consistent framework to guide MEL activities that support scheme
impact and improvement.
The scheme owner defines a guiding framework for its monitoring, evaluation, and learning (MEL) activities that
includes at least:
4) how findings and learning will be used to support continual improvement of the scheme (5.6)
Desired outcome: The scheme owner plans and implements MEL activities that address priority learning
topics.
The scheme owner's MEL activities are planned to generate findings and learning on the priority topics it
defines. Over a five-year period, the MEL activities result in at least one publicly available output related to each
priority topic.
2) whether clients demonstrate improved practices and/or sustainability outcomes and impacts in
alignment with the scheme’s objectives (client performance)
4) whether the scheme contributes to its intended sustainability outcomes and impacts (scheme
sustainability performance)
6) whether there are differences in scheme effectiveness, reach, outcomes, and impacts by gender and/or
other groupings of special relevance to the scheme
At least some of the MEL activities and published outputs consider causality by employing methodologies that
help to assess the extent to which observed changes are attributable to the scheme.
[Guidance: The scheme owner determines which types of research, monitoring and data collection, and analysis
activities will best address the priority topics and related learning questions. For example, MEL activities can be
conducted by scheme staff or commissioned to independent researchers or consultants. MEL activities may
involve custom data collection; rely on data and analysis from other parts of the scheme such as assurance; or
involve a systematic review or a structured literature review of existing research. MEL activities may include but
are not limited to performance monitoring and outcome and impact evaluations.]
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[Guidance: 'Groupings of special relevance to the scheme' could include potentially marginalised individuals or
client types (e.g., smallholders), or geographies or industry segments that have a critical role in achieving the
outcomes and impacts of the scheme.]
The scheme owner takes measures to ensure that the MEL activities it implements or commissions produce
accurate, reliable, and relevant findings. At minimum, this includes:
1) defining the specific research and learning question(s) to be answered through each MEL activity
2) ensuring that research methodologies and approaches to data analysis are appropriate for answering
the research and learning questions
3) maintaining indicator, data collection, and analysis protocols to guide consistent implementation of any
MEL activities that will be repeated on a regular basis
4) ensuring that each published MEL output includes a clear description of both positive and negative
findings, the methodology and data sources behind the analysis, any possible limitations to the
analysis, and any recommendations for improvement
[Guidance: Many other forms of quality assurance measures are possible and valuable for scheme owners to
implement, including but not limited to: following recognised guidelines for evaluation quality; subjecting work
to peer review; ensuring that evaluators understand the context in which the evaluation takes place as well as
the scheme's intended change and strategies; and checking interpretations by presenting evaluation results to
those who participated in the evaluation and to local stakeholders before finalising the study.]
Desired outcome: The scheme owner defines the scope of application of its MEL activities.
The scheme owner aims to carry out MEL activities that address all scheme components and strategies, and
that cover the full product, sectoral, and geographic scope of its scheme.
Where this is not feasible, the scheme owner has a clear rationale for any exclusion from the MEL scope and has
a plan to address and mitigate any associated risks and to expand the scope over time.
[Guidance: A scheme owner will want to include all its scheme components and strategies in MEL activities to
understand their effectiveness. However, a mature scheme with many strategies and a wide scope may choose
to exclude some strategies or activities or some of its product, sectoral or geographic scope from the scope of
the MEL system. It may also not be feasible for a newer scheme to have MEL activities that cover the full scope
of its scheme. Similarly, when a scheme adds new strategies or expands its scope, there may be little value in
immediately implementing additional MEL activities if uptake is still very low.]
Desired outcome: MEL activities respect the subjects of the monitoring or research.
The scheme owner defines and applies ethics guidelines to govern any MEL activities that study or involve
individuals.
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[Guidance: Ethics guidelines could require consideration of risk for subjects involved in research or evaluations;
research or evaluation burden and fatigue; data privacy related risks; guidelines on reporting of legal or
standards breaches; and other related factors.]
[Guidance: The scheme owner may develop scheme-specific ethics guidelines; adopt existing guidelines
developed by reputable organisations; and/or review and approve guidelines of the researchers or consulting
firms it commissions to undertake MEL activities.]
Desired outcome: The scheme owner uses outputs from MEL activities to improve the effectiveness and
impact of its scheme.
The scheme owner uses the outputs and learning from its MEL activities to inform review and improvement of
its standards (6.14) and other scheme components (2.8) and strategies, and its risk management plan and
activities (2.5).
To facilitate this, the scheme owner shares at least annually with its Board, executive leadership, standards
committee or equivalent, and staff members responsible for risk management and all scheme components, the
findings, learning, and recommendations from its MEL activities within the scheme.
Desired outcome: Stakeholders have access to information about the MEL system and its findings.
The scheme owner makes the following information about its MEL system publicly available and easily
accessible:
In addition, at least once every two years, the scheme owner makes publicly available to stakeholders a
summary of the findings, learning, and recommendations from MEL activities, and a management response that
includes an explanation of the changes and improvements that have been and will be made as a result.
[Guidance: In sharing the list of indicators, the scheme owner is encouraged to add value for scheme users by:
(1) informing stakeholders about how these indicators align with published indicator frameworks or reporting
initiatives and (2) publicly reporting on progress against these indicators.]
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Section 6: Standards development and maintenance
6.1 Standards policies and procedures
Desired outcome: Development and revision of standards follows a consistent and robust process.
The scheme owner's procedures for standards development and maintenance address at least:
1) the processes for developing, reviewing, and revising standards, including the processes for stakeholder
engagement (6.5 to 6.8)
2) decision-making roles, responsibilities, and procedures where these are not addressed elsewhere (6.9
and 6.10)
3) the conditions and process for urgent substantive revisions, if the scheme allows for these (6.12)
4) the conditions and process for non-substantive changes to the standard, e.g., to clarify language (6.11)
5) protocols for changes in the standard, including timelines by which changes come into effect and
mechanisms to communicate those changes to affected stakeholders
Procedures for standards development and maintenance apply to all of a scheme's standards that are applied to
its clients or members.
[Guidance: The scope of the procedures is intended to include the scheme's sustainability standards and any
other requirements applied to clients in support of scheme integrity, e.g., chain of custody requirements, etc.
Assurance protocols or procedures are not included in scope.]
[Guidance: Standards development and revision processes can vary in intensity for each standard in relation to
the complexity of the standard and level of stakeholder interest, so long as the relevant procedures reflect this.]
Desired outcome: The scheme owner seeks synergies through alignment with other standards.
At the outset of a standard's development or revision, the scheme owner identifies external standards with
overlapping scopes and assesses whether there are opportunities to strengthen alignment or complementarity.
[Guidance: Seeking alignment and complementarity can support efforts to increase value and reduce
unnecessary costs for clients, and to strengthen the combined influence of existing schemes.]
Desired outcome: The scheme owner has clearly articulated what the standard aims to achieve and why it is
needed.
At the outset of a standard's development or revision, the scheme owner defines the objectives of the
development or revision process. These objectives are consistent with the scheme's intended impacts and
strategies.
The scheme owner also develops or updates a terms of reference for the standard that includes at least:
2) the intended sustainability outcomes of the standard, consistent with the scheme's sustainability
impacts and strategies (1.1)
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3) a justification of the need for the standard, including how the standard complements existing external
standards with overlapping scopes
4) the intended sustainability claims that the standard will substantiate (8.1.3)
[Guidance: 6.3.2 is not applicable where the standard does not have sustainability outcomes, e.g., chain of
custody standards.]
Desired outcome: Stakeholders have the information they need to determine whether and how to
participate.
During a standard development or revision process, the scheme owner makes a summary of the process easily
accessible to stakeholders, that includes:
1) a summary of the terms of reference for the standard, including its proposed scope and intended
sustainability outcomes (6.3)
3) an outline of the steps in the process, including timelines and clearly identified opportunities for
contributing (6.5)
4) an overview of the decision-making procedures, including how decisions are made and by whom (6.9
and 6.10)
Desired outcome: Stakeholders have sufficient time and opportunity to contribute to the standard's
development and revision.
Stakeholders are informed in a timely manner of opportunities to engage. Each round is of sufficient length and
format to provide stakeholders adequate time and opportunity to review material and submit comments.
Where substantive, unresolved issues persist after the consultation rounds, or where insufficient feedback was
received in total or from specific stakeholder groups, the scheme owner carries out additional public and/or
targeted consultation, as necessary.
[Guidance: 60 days and 30 days have generally been considered adequate time to submit comments in first and
second rounds of consultation, respectively.]
Desired outcome: Consultation processes enable participation from a broad cross-section of stakeholders.
2) aims to gather input from a balanced and diverse group of stakeholders with an interest in the subject
matter and geographic scope of the standard, or who are affected by its implementation
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3) addresses barriers faced by stakeholder groups who are under-engaged or under-represented and
proactively seeks their contributions
[Guidance: The goals of seeking input from a balanced and diverse group are that revisions are informed by a
diversity of feedback and that all relevant and affected stakeholders feel that their views are represented in
consultation.]
Desired outcome: Stakeholders can see what input was received and how it has been considered.
1) makes publicly available all comments received during the consultation or, at a minimum, accurate
summaries of these comments, along with an explanation of how each material issue was considered
2) notifies all parties who submitted comments (and who opted to receive further communications) that
the comments and explanations are available
[Guidance: The scheme owner does not need to respond to each individual comment. Each material issue means
the scheme owner can group comments received under clauses and respond to these as a group.]
[Guidance: The scheme owner can redact comments when there are reasonable grounds to do so, e.g., when
there is a misuse of the public consultation (e.g., submission of hateful comments), or if it is necessary to protect
personal data or other confidential information.]
Desired outcome: Proposed standards are auditable and feasible to comply with.
The scheme owner assesses the feasibility and auditability of the proposed standard as part of the standards
development process, and when there are significant changes introduced during standards revisions.
[Guidance: Significant changes include changes in scope or objectives or in the design of the standard. A basic
feasibility assessment would include asking auditors to review the standard for auditability, though ideally the
assessment also looks at applicability or relevance of the requirements in the field.]
Desired outcome: Stakeholders can see that their views are represented in decision-making about the
standard.
The scheme owner ensures that there is a governance body responsible for making decisions on the content of
the standard and that this body:
2) constitutes a balanced and diverse group of stakeholders, including those that are directly affected by
implementation of the scheme or by the sector the scheme seeks to impact
[Guidance: The goal of engaging a balanced and diverse group in decision-making is so that stakeholders feel
that their voice is represented in those decisions. The aim is for all major stakeholder groups to be represented
and gender balance to be considered, to help ensure that no one stakeholder group or set of interests can
control decisions.]
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6.10 Consensus decision-making
Desired outcome: Decision-making processes about the content of the standard are transparent and aim for
consensus.
2) defines alternative decision-making procedures in advance and criteria for when these should come
into effect in the event that consensus cannot be achieved
Procedures include decision-making thresholds that ensure no one stakeholder group can control decision-
making.
Desired outcome: The scheme owner can easily make non-substantive changes to the standard.
The scheme owner has mechanisms that allow for non-substantive changes to the standard (e.g., to clarify
language).
The scheme owner ensures that stakeholders are made aware during the next full review and revision process
of any non-substantive changes made in the intervening period.
If the scheme owner allows for urgent substantive revisions to the content of the standard outside a full review
and revision process, it has a procedure in place that defines the conditions for triggering these urgent
revisions.
If the procedure allows for decisions on urgent revisions to be made without public consultation, the scheme
owner ensures that the level of urgency is justified and publicly documented and includes the revisions for
consultation in the next review and revision process.
[Guidance: Urgent substantive revisions specifically address identified unintended negative effects of the
standard. An example of an unintended negative effect for which an urgent standards revision would be justified
is that by restricting use of certain pesticides, farmers turn to more dangerous alternatives that have not yet
been included on the scheme’s prohibited list. Another example is that a specific health and safety requirement
is found to be discriminating unintentionally against female workers.]
Desired outcome: The scheme owner is responsive to stakeholder input on the standard.
The scheme owner has a process for stakeholders to submit comments and feedback or to seek clarifications on
the standard at any time. The scheme owner documents and acknowledges receipt of this feedback and
considers it as input in any subsequent review process.
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6.14 Standards review and revision
The scheme owner reviews each standard covered by the ISEAL Code at least every five years, drawing on
relevant data and information (6.15) to assess:
1) continued relevance of the standard's sustainability outcomes against the scheme's intended
sustainability outcomes and impacts (1.1)
If the review determines that a revision is necessary, the scheme owner updates the standard's objectives as
necessary and then revises the standard in a timely manner, in line with the relevant requirements in the ISEAL
Code.
If the review determines that a revision is not necessary, the scheme owner reaffirms the standard,
communicates publicly about the decision and rationale, and establishes the date for the next review.
[Guidance: As part of the review process, it is recommended that the scheme owner assesses how other scheme
components (e.g., its claims policy or assurance protocols) are likely to be impacted by potential changes in the
standard, prompting consideration of whether the other system components also need to be included in the
revision process.]
Desired outcome: The scheme owner understands the effectiveness of the standard and how it could be
improved.
As input to the standard's review and revision, the scheme owner compiles and analyses relevant data and
information, including at least learning since the last revision from:
1) MEL activities, including assessments of the effectiveness of the standard (5.2.1), client sustainability
performance (5.2.2), and occurrence of unintended negative effects (5.2.3)
3) analysis of feedback received from clients, assessment personnel and other stakeholders, particularly
with respect to the standard's effectiveness, implementation, and scope (3.3)
4) any urgent substantive revisions implemented since the last revision of the standard (6.12)
5) external research and industry best practices, including assessments of emerging sustainability risks
and opportunities (1.2)
[Guidance: To stay informed on relevant legislation, the scheme owner can ask its assurance providers to
provide updates on any new legislation or applicable changes to existing legislation.]
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6.16 Standards structure and content
Desired outcome: The standard is designed to achieve its intended sustainability outcomes.
The scheme owner ensures the standard is structured to meet its intended sustainability outcomes and to be
consistently interpreted and applied. This includes ensuring that the content of its standard meets the following
requirements:
1) the requirements in the standard are auditable, verifiable, or measurable, and easily understood
2) the standard contains requirements that address all of the standard’s intended sustainability outcomes
3) only requirements that are relevant to meeting these outcomes are included, and administrative
requirements related to assurance, claims or labels or other matters not connected to sustainability
outcomes are presented separately
4) requirements are at least as stringent as existing regulatory requirements in the countries where the
standard is applied
[Guidance: Requirements that are auditable, verifiable, or measurable are written in such a way that they are
clear, direct, and precise and will result in accurate and uniform interpretation. They should also be stated
unambiguously using wording that is objective, logical, valid, and specific (ISO/IEC 17007).]
Where the scheme owner develops adaptations of its standard (e.g., for national or regional relevance, scale of
enterprise, or for specific products or sectors), it does so through multistakeholder consultation processes.
The scheme owner documents the justification for any substantive differences between the adapted version
and the standard and makes this documentation publicly available.
The scheme owner prepares guidance that is detailed enough to support consistent interpretation and
implementation of the standard's requirements across its scope of application.
Desired outcome: Other standards recognised by the scheme owner are meaningfully equivalent to all or to
relevant parts of the scheme's standard.
Where the scheme owner recognises an existing standard as partially or fully equivalent to its standard, this is
based on:
2) an assessment that the existing standard is relevant and applicable to the contexts in which it is applied
[Guidance: ISEAL's good practice guidance on benchmarking is a useful resource for how to assess equivalence.]
[Guidance: The determination of equivalent performance can be based on intended performance, e.g., the
standard’s requirements; or actual performance, e.g., assessments of client performance.]
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[Guidance: This assessment of equivalence relates only to the content of the standard. Where the scheme owner
also intends to accept external assurance of compliance with this standard, the scheme owner needs to have
confidence in the results of the assurance process (7.11).]
Desired outcome: Stakeholders have access to information about the scheme's standards and supporting
information.
The scheme owner makes consultation drafts and final versions of its standards freely available and easily
accessible in the scheme’s official languages. In addition, it makes the following supporting information publicly
available:
1) date by which a standard comes into effect and planned dates of any subsequent standards review
3) procedures for standards development and revision, including decision-making roles and
responsibilities (6.1)
5) comments received during the consultations or, at a minimum, accurate summaries of these
comments, along with explanations of how the comments were considered (6.5)
7) if applicable, the justification and the details of any urgent substantive revisions made to its standards
since the last review and revision (6.12)
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Section 7: Assurance
7.1 Assurance model
Desired outcome: The scheme owner's assurance model gives confidence in the results of assurance.
The scheme owner establishes an assurance structure and assessment models consistent with:
1) the scope of the scheme and the risks inherent to its scope (e.g., sector, geography, part of value chain,
types of chain of custody, etc.)
3) strategies for how the scheme intends to create value for clients
The scheme owner documents a rationale for its choice of structure and assessment models, based on the
above characteristics. It also has a process in place for checking consistency with relevant regulatory
requirements.
[Guidance: Establishing the assurance structure includes deciding on roles and responsibilities in the assurance
system, e.g., decisions about the role of the scheme, its decision-making bodies, and external partners such as
oversight bodies and assurance providers.]
[Guidance: Examples of regulatory requirements include regulations on the type of accreditation required in a
jurisdiction, or the definition of what qualifies as a certification system.]
Desired outcome: Operating policies and procedures support consistent implementation of the assurance
system.
The scheme owner ensures policies and procedures for the assurance system include at least:
1) decision-making roles, responsibilities, and procedures where these are not addressed elsewhere
2) criteria for accepting assurance providers to the scheme and for assurance providers to remain in the
scheme, including that they are registered legal entities
4) types of assessments used in the scheme and a methodology for each (7.3)
5) types of chain of custody allowed by the scheme, where relevant, and an assessment procedure for
each (8.4)
7) procedures for regulating exceptions to the standard and exceptions to the assessment procedures,
including how stakeholders can provide input on proposed exceptions
8) requirements for the certificate/verification results (7.3) and/or claims related to assurance status of
clients (8.1.3)
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11) models of legal contracts with implementing partners and with clients, that delineate responsibilities
and obligations, including data sharing, data use and confidentiality, and repercussions for fraudulent
behaviour (2.7)
13) protocols for changes in the assurance system, including timelines by which changes come into effect
and mechanisms to communicate those changes to stakeholders
The scheme owner includes in scope of its assurance system all its standards that are implemented by its
clients.
[Guidance: The scope of the assurance system includes the scheme's sustainability standards and any other
requirements applied to clients in support of scheme integrity, e.g., chain of custody requirements, etc.]
Desired outcome: Procedures support consistent and competent implementation of each type of assessment.
The scheme owner defines requirements and procedures for each type of assessment implemented within the
assurance system, addressing at least the following:
6) sources of data and information that feed into the assessment; this includes specification of how
stakeholders are to be consulted, as one source of information
7) how data sources are to be combined to provide an understanding of sustainability performance and
risk, and how this informs the assessment process
[Guidance: The scheme owner can also choose to define the minimum evidence needed to assess criteria or
requirements.]
Desired outcome: The intensity of assurance activities is informed by the level of risk present.
Where a risk-based approach is used to determine assessment frequency, intensity, or focus in either assurance
or oversight, the scheme owner has a documented risk management procedure to assess the risk level of clients
and/or assurance providers and the resulting assessment frequency and intensity. The procedure provides
instructions on how to assess threats of non-conformity and the implications for the assessment of different
levels of risk. The scheme owner requires use of the procedure by assurance providers and/or oversight bodies.
[Guidance: Assurance providers and oversight bodies can implement their own risk assessments but the scheme
owner is responsible for ensuring overall consistency of approach.]
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7.5 Sampling protocol
Desired outcome: Sampling that is conducted during assessments is robust and consistent.
The scheme owner develops a sampling protocol for assurance providers and oversight bodies to use during
assessments that includes, at a minimum, a description of when sampling is to be employed in the assessment,
what influences the depth and intensity of sampling, and the type of sampling to be employed in each instance.
The scheme owner defines a decision-making protocol that enables consistent determination of conformity or
performance status, the severity of non-conformities, and repercussions for each level of non-conformity. The
scheme owner requires assurance providers and oversight bodies to implement this protocol.
The scheme owner requires assurance providers to provide sufficient information to clients to enable those
clients to derive insights about their performance. At a minimum, this includes detailed information about any
non-conformities.
[Guidance: This information can be provided in assessment reports or through additional information and
insights shared with clients, e.g., client performance changes over time or in relation to peers.]
The scheme owner requires assurance providers to implement a publicly available appeals procedure where
clients can appeal their assurance decisions. It also requires oversight bodies to implement this for assurance
providers.
The scheme owner defines consistent procedures for addressing non-conformities. At a minimum, the
procedures:
1) define the action required to address different types of non-conformity, and whose responsibility it is
to take that action, e.g., scheme owners have a legal obligation to report some types of non-
conformities to local authorities
2) include guidelines for determining whether corrective actions adequately address non-conformities
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7.10 Group assessment
Desired outcome: Assessment of groups and their internal management systems is robust and consistent.
Where the scheme owner allows for group assessments, it specifies requirements for assurance providers to
consistently evaluate the effectiveness of a group's internal management system in identifying and resolving
non-conformities within the group.
1) defines consequences for non-conformities detected at the level of individual group members
2) ensures that non-conformities are issued against the group as a whole when there is a systemic
problem with the group's internal management system, including when the number of non-
conformities identified within a sample of individual group members signifies a systemic failure
Where the scheme owner accepts as equivalent or partially equivalent assurance results of another scheme, it
defines the steps taken or the additional assurance activities or documentation required to have confidence in
the results of the other scheme.
[Guidance: Where the scheme owner accepts the results of another scheme it is also taking responsibility for the
quality of those assurance results. ISEAL's good practice guidance on benchmarking is a useful resource for how
to assess equivalence.]
The scheme owner requires that assurance providers and oversight bodies:
1) conduct annual internal audits of their performance relative to the requirements of the scheme
2) share the results of these internal audits and how any findings were addressed with the scheme owner
The scheme owner requires that assurance providers and oversight bodies retain:
2) responsibility for ensuring the quality and integrity of all assurance activities they outsource to other
parties
The scheme owner requires assurance providers to implement calibration activities that support consistent
interpretation of the standard by auditors and assurance personnel, including sub-contracted personnel. Where
the scheme owner works with multiple oversight bodies, it requires a similar programme of calibration for the
auditors working for these bodies.
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[Guidance: The scheme owner can support or prescribe these calibration activities to ensure greater consistency
in interpretation.]
The scheme owner requires that interpreters or technical experts contracted by assurance providers or
oversight bodies are independent of the client or assurance provider being assessed and do not have conflicts
of interest. The scheme owner can allow for exceptions due to logistical constraints such as absence of
alternative options, and in such cases, requires that exceptions are justified and recorded.
Where the scheme owner allows assessors or other assurance personnel to provide information to clients about
improving performance, the scheme owner documents the types of information that can be provided and the
steps taken to avoid conflicts of interest.
The scheme owner requires that assurance providers and oversight bodies assign competent personnel other
than the assessor or assessment team to review assessment findings and any other relevant information and
make impartial decisions about the client or assurance provider's assurance status.
The scheme owner defines an approach to oversight of assurance activities and assurance providers, ensuring
this is consistent with the scheme's assurance models (7.1). The scheme owner defines:
1) its oversight mechanism, including roles and responsibilities for different oversight functions
4) the process that oversight bodies should follow for assessing the performance of assurance providers,
including a decision-making protocol that enables levels of non-conformity to be determined
consistently
6) the requirements for oversight bodies to report back to the scheme owner
[Guidance: Defining the oversight mechanism includes taking decisions about roles and responsibilities for
oversight, e.g., decisions about the role of the scheme, its decision-making bodies, and external partners such as
oversight bodies and assurance providers.]
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7.19 Independence of oversight
Desired outcome: Oversight of assurance is independent of assurance providers.
The scheme owner ensures that its oversight mechanism, including any oversight bodies, is independent of the
assurance providers being assessed.
The scheme owner ensures that its oversight mechanism, including any oversight bodies, has responsibility and
authority to enforce actions or rules regarding non-compliance of assurance providers.
Where the scheme owner is the assurance provider, it defines measures to mitigate the conflict of interest,
ensuring that issues raised by an oversight body are addressed by the scheme owner.
[Guidance: Mechanisms to ensure that issues raised are addressed can include public reporting of the findings of
the oversight body and/or direct reporting of the findings to decision-making bodies within the scheme.]
7.21 Accreditation
Desired outcome: Accreditation bodies meet industry standards for independence, impartiality, and
competence.
Where the scheme owner relies on accreditation bodies for its oversight, it ensures that accreditation bodies
conform to the current version of ISO/IEC 17011 in addition to the requirements in the ISEAL Code that apply to
oversight bodies.
Where the scheme owner accepts an assurance provider's accreditation against other similar standards as a
proxy for the assurance provider's competence, it requires that these assurance providers carry out regular
internal audits against the scheme-specific scope and share the findings and any resulting actions with the
scheme owner.
The scheme owner takes additional measures to ensure these assurance providers meet its personnel
competence requirements (2.4).
[Guidance: In addition to requiring internal audits against the scheme’s scope, the scheme owner can employ
supplementary measures to assess the scheme-specific competence of assurance providers.]
The scheme owner makes the following information about its assurance system publicly available and easily
accessible:
1) a description of the structure of the assurance system (7.1), including the oversight mechanism (7.18)
and decision-making roles and responsibilities (7.2.1)
2) criteria and procedures for accepting assurance providers and clients to the scheme, including the
rationale behind any restrictions on access (7.2.2 and 7.2.3)
3) current list of implementing partners that are approved to work in the assurance system
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4) details on how potential clients can access information about fees for assurance
5) description of each assessment methodology: type(s) of assessment employed, how clients are
assessed, how often and by whom, and the basis for decisions (7.3)
6) description of how the scheme manages information provision (knowledge sharing) to clients by
assurance providers (7.7)
9) description of the steps the scheme has taken to have confidence in the results of other schemes
deemed equivalent or partially equivalent (7.11)
10) current list of clients, the scope of their assessments, and the expiry date of their certificate or
assurance claim (where expiry dates are used)
11) at least basic information about the results of assessments of clients and assurance providers, that
includes, at a minimum, information about the client's assurance status
12) list of past clients withdrawn from the scheme within the last five years, and the date of their
withdrawal
[Guidance: The list of current and past clients and information about their assessments can alternatively be
made publicly available by the assurance provider.]
[Guidance: For information about results of assessments, it is recommended that the scheme owner discloses
additional information about the nature of non-conformities detected and the corrective actions planned or
taken.]
[Guidance: Non-conformities that are mitigated before a decision on certification is taken do not need to be
made public.]
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Section 8: Claims
8.1 Claims policies and procedures
Desired outcome: Documented policies and procedures ensure the claims system is implemented
consistently.
The scheme owner ensures the documented claims system includes at least:
2) procedures that govern the scheme's development and substantiation of the claims it uses and the
claims it allows clients to use
3) a list of all claims that the scheme allows and, where relevant, disallows clients to use, including
sustainability claims and claims about assurance status
4) rules and procedures for client use of claims, including specifications about who is allowed to make
which types of claims and where they can appear (8.3)
8) a list of all approved users of claims (e.g., licensees/certificate holders/clients) and the specific
approvals granted
9) where relevant, procedures addressing the roles and responsibilities of implementing partners in the
claims system
[Guidance: Claims can be about a product, process, service or organisation; relate to sustainability attributes,
performance, progress and/or assurance status of a client, and/or the client's association with the scheme; be
business-to-business or business-to-consumer; and be made via a range of media including text, logos, labels,
trust marks, etc. Claims about assurance status can also include validation or verification opinions or
statements.]
[Guidance: It is recommended that rules and procedures for claims use (8.1.4) take account of and be consistent
with applicable regulatory requirements around claims making, in particular where this has implications for
liability of the scheme owner.]
[Guidance: The list of all approved users of claims could be the same as the list of all clients required under
7.23.10]
The scheme owner ensures that the claims it makes about its scheme and the claims that it allows clients to
make are clear, relevant, and accurate. At a minimum, this includes ensuring that allowed claims are consistent
with:
2) the requirements defined in its standard(s), including performance levels, where relevant (6.16)
4) the chain of custody models allowed by the scheme, where relevant (8.4)
30
5) the scope of assurance, e.g., assurance of an enterprise, product, etc.
The scheme owner defines the information that determines when each type of allowed claim can be made. The
scheme owner takes into account at least the following information:
6) findings on scheme performance, e.g., its contributions towards its intended sustainability outcomes
and impacts (5.2)
Scheme owners with improvement-focused standards and claims should also take into account client progress
over time when determining when claims can be made.
Where the scheme incorporates supply chain traceability, the scheme owner determines which types of chain
of custody are fit for purpose and appropriate for the claims the scheme enables clients to make, and
documents a rationale for its choice.
The scheme owner makes publicly available a summary of how each of the scheme's chain of custody models
works and what controls it has in place to manage their integrity.
[Guidance: Chain of custody models are fit for purpose if they are applicable in the sectoral or geographic
context in which the scheme operates, meet business expectations and regulatory requirements, and are
consistent with the types of claims that the scheme owner allows.]
The scheme owner has or delegates to implementing partners a mechanism to approve clients' use of claims
and to require clients to report on any changes that would affect their ability to make claims.
The scheme owner specifies what supporting information must accompany or be linked to approved claims and
any requirements or conditions for how this information is provided or displayed. The scheme owner ensures
that this supporting information is accessible to stakeholders and supports their understanding of the claim.
[Guidance: Supporting information can include reference to websites or other accessible sources of information.]
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8.7 Monitoring use of claims
Desired outcome: The scheme owner mitigates the misuse of claims.
The scheme owner has procedures for monitoring the use of claims that include at least:
1) steps taken to monitor the misuse of claims in the market, including a publicly available and easily
accessible mechanism for stakeholders to report misuse of claims
3) suspending and withdrawing permissions to use claims, including defining the conditions and actions
that lead to the suspension and withdrawal of permissions
[Guidance: The mechanism for stakeholders to report misuse of claims can be integrated into the scheme's
dispute resolution system (3.5). Misuse of claims includes cases of fraud or corruption. Additional steps taken to
monitor misuse can include automated monitoring (e.g., through internet searches), sample-based or risk-based
monitoring, or responding to stakeholder complaints.]
[Guidance: Monitoring activities can be undertaken by the scheme owner's implementing partners.]
[Guidance: Monitoring of suspended or former clients can be for a limited period of time.]
The scheme owner makes the following information about its claims system publicly available and easily
accessible:
1) rules and procedures for client use of claims (e.g., claims and logo use guide) (8.1)
6) opportunities for stakeholder input on the clarity, relevance, and accuracy of the scheme's allowed
claims (3.3)
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Definitions
The aim of the glossary is to support all users to understand the ISEAL Code of Good Practice, and includes
terms related to implementation of sustainability systems. It is not a definitive list of all technical terms, or the
only definition for each term.
Please note that some terms may have other contextual and legal definitions that supersede the Code
definition or inform how these activities are undertaken in different jurisdictions.
33
Causal results chain, The logical and causal relationships between Adapted from
pathway impact pathway, activities/strategies, outputs, outcomes, and Center for Theory
change pathway, impacts. of Change
change process
Chain of The custodial sequence that occurs as ownership Adapted from
custody or control of the material supply is transferred WB, WWF
from one custodian to another in the supply Alliance for Forest
chain. Conservation and
Sustainable Use,
2002
Claim(s) Promotional communications about the ISEAL Credibility
sustainability attributes of a product, process, Principles v2
service, or organisation. This includes
communications about the assurance status of a
client and/or the client's association with the
scheme.
34
Data Reinterpretable representation of information in a Adapted from
formalised manner suitable for communication, ISO/IEC 2382
interpretation or processing.
35
generated by the scheme owner, implementing Related to Due
partners, or its clients. Diligence
36
Monitoring, MEL; monitoring An ongoing set of interconnected functions, Adapted from
evaluation, and evaluation; processes and activities that involve the OECD Glossary
and learning MEL system systematic collection or collation and analysis of Key Terms in
(system) data and information to provide management and Evaluation and
other stakeholders with an indication of the Results-Based
extent of progress and improvement, Management,
achievement of intended results, the occurrence 2nd edition
of unintended effects or implementation (2022)
problems, answers to specific learning questions,
and lessons to support continual improvement.
Non- non-compliance A requirement identified as non-fulfilled during an Adapted from ISO
conformity assessment. 9000:2015
Outcomes results Short-term and medium-term results or changes Adapted from
resulting from the outputs of a scheme or part of OECD Glossary
a scheme. Key Terms in
Evaluation and
Results Based
Management,
2nd Edition
(2022)
Output results The products, capital goods, or services that result Adapted from
directly from the activities of a scheme or part of OECD Glossary
a scheme. Key Terms in
Evaluation and
Results Based
Management,
2nd Edition
(2022)
Outsourcing The contractual obtaining of goods or services ISEAL
from a third party.
Oversight Responsibility for ensuring that assurance ISEAL
providers are competent, impartial and consistent
when performing specific assurance activities.
Oversight Body that assesses the performance of assurance ISEAL
body providers.
37
Requirement criteria A need or expectation that is stated in normative Adapted from
documents such as standards or technical ISO/IEC
specifications. 17000:2020
Results outputs, The outputs, outcomes, and impacts (intended or Adapted from
outcomes, effects, unintended, positive or negative) resulting from OECD Glossary
impacts the implementation of a scheme. Key Terms in
Evaluation and
Results-Based
Management,
2nd Edition
(2022)
Review An assessment of an element of the scheme that ISEAL
determines if a revision of that element is
necessary.
38
Scheme A subset of activities (often representing a ISEAL
components system, process, or department), that contribute
to or result in the scheme’s defined sustainability
outcomes or that back up the scheme’s controlled
claims and communications about the results.
Core scheme components include: standard-
setting; monitoring, evaluation, and learning
(MEL); assurance; and claims.
Scheme standard setter The legally constituted organisation that is ISEAL
owner responsible for the standards or performance
requirements and accountable for the
effectiveness of the assurance and claims
management systems. The scheme owner
determines the objectives and scope of the
scheme, as well as the rules for how the scheme
will operate.
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