APSCA  
PART I AND II EXAM SYLLABUS  
More information can be accessed via  
APSCA's Resource Library  
APSCAS PART I AND II EXAM SYLLABUS  
This Document should be read in conjunction with:  
ƒ Information on APSCA’s website under Resource Library e.g.  
o Exam Guides  
o Webinars  
o Practice Exams  
INTRODUCTION AND OBJECTIVES  
This syllabus is provided as a support to Member Firms and Member Auditors to provide greater clarity about  
the contents of the APSCA Part I and Part II exams. This document has not been designed as an auditor  
training manual, but is intended for use by:  
ƒ Member Firms wishing to assess and develop their training materials for social auditors especially in  
relation to preparing them for the APSCA examinations.  
ƒ Member Auditors as an additional resource when preparing for the examinations by providing further  
clarification on the APSCA Competency Framework and helping them understand the knowledge they  
are expected to be able to demonstrate.  
As a reminder, all questions in the examination have been designed to test the knowledge and behavioral  
which remain the foundation for APSCA Members.  
For ease of use this document follows the headings in the APSCA Competency Framework.  
Everything in this document is to be read as “related to an audit” and any references to “personnel”, “workers  
or “employees” relate to auditee/ site personnel and not to those of the Audit Firm unless specifically  
mentioned otherwise.  
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EXAM PREPARATION  
This syllabus covers the topics and expectations for the APSCA Part I and Part II exams. The Part III  
exam, which provides an opportunity for Auditors to demonstrate their skills in role plays covering  
different types of interview and communication scenarios are not expressly covered in this document.  
ƒ The Part I and Part II exams test theoretical knowledge, audit skills and the ability to base judgement on  
available evidence.  
ƒ Reminders:  
o Questions may be asked to identify whether the Auditor has the appropriate theoretical and/ or  
functional knowledge and/ or understands how best to gain information to assess practices and  
document findings  
o The selection of questions is randomized so Auditors do not all get the same questions. This is one of  
the precautions taken to protect the integrity of the examination and Auditors are required to support  
this objective by not sharing information about the examination questions with colleagues or third  
parties, in person, during trainings or via social media.  
o Correct answers might include identifying positive responses or eliminating incorrect or inapplicable  
responses. The number of options to be selected is stated within each question e.g. Select all that  
apply (2) or Select all that apply (3)  
o All questions are program, country, and legislation neutral, and Auditors should not base responses  
on their local experience but take a holistic view based on international standards and expectations.  
Where data is to be evaluated against specific requirements, these requirements will be provided in  
any pre-reading or within the question itself.  
AUDITOR COMPETENCES  
A Social Compliance Audit at a minimum should include the following steps on site:  
ƒ opening meeting to explain the scope, process, confidentiality, integrity expectations and reporting.  
ƒ interviews with various levels of management, workers, and workers’ representatives (whether  
Unions or other)  
ƒ site tour to assess compliance with health and safety requirements of law and/or of the auditee’s  
client and to observe potential health and safety risks that workers may be exposed to  
ƒ documentary review including pay and hour records for the period required by the program  
(generally 12 months or local legal requirements unless the site is new and the program allows for a  
smaller sample to be taken)  
ƒ closing meeting to explain findings and gain agreement from site management.  
It should be noted that the competences are stated against the main topics in a Social Compliance Audit.  
However, these topics overlap – for example, findings against overtime may also link to issues in relation to  
forced labor or discrimination, depending on the nature of these. Auditors are expected to assess practices  
holistically and be able to decide the most appropriate way to report, rate and fully reflect all impacts.  
Auditors are expected to undertake these processes competently, triangulate evidence and assess and  
record findings while demonstrating a high level of interpersonal skills including:  
ƒ strategic and systems thinking  
ƒ professional and ethical behavior  
ƒ problem solving and analytical decision making  
ƒ communication, relationship management and conflict resolution  
ƒ self-management.  
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The APSCA Competency Framework notes the expectations in this regard, and while these are not covered  
in detail here as it is expected that such expectations will be developed through maturity and experience  
and by training provided by APSCA Member Firms and the oversight of new Auditors by experienced CSCAs  
and APSCA Member Firm management. Member Firms are expected to develop Auditors and only put those  
individuals forward for exams that are prepared and able to demonstrate a fair degree of competence and  
knowledge in this regard.  
In addition, Member Auditors are expected to understand the main objectives of APSCA, how and when they  
can use their APSCA Membership Number and how auditees can interact with APSCA to be able to verify the  
status of Auditors membership. This is explained in the “Use of APSCA Membership Number document” which  
should be shared with Auditors and explained to them in detail.  
The APSCA Competency Framework also defines expectations on functional knowledge areas and additional  
guidance on these topics and the minimum expectations of what Auditors should be able to demonstrate in  
this respect are given in the following sections.  
FUNCTIONAL KNOWLEDGE AREAS  
9.1 BUSINESS LEGITIMACY AND INTEGRITY OF RECORDS  
It is essential that the audit is conducted based on the principle of honesty and integrity, following the highest  
ethical standards so the reader of the report can trust the findings presented. This includes the actions of the  
auditee in presenting inaccurate documentation for the audit which may be found through:  
ƒ multiple sets of books (also known as double books)  
ƒ inconsistent records, e.g. management, worker testimony and/ or record are at variance which may  
be an indicator of inconsistent records  
ƒ companies without evidence of appropriate licenses and permissions to operate.  
ƒ falsified records intentionally created by the auditee to present a true picture from the real one and  
other methods of deception.  
It is also important that the behavior of the Auditor throughout the audit process (from pre-audit preparation  
through to planning, execution of the audit and issue of the report) and their behavior in their dealings with  
the APSCA Member Firm they represent and APSCA all show a high personal standard of ethical behavior that  
ensures the trust of all parties is maintained.  
APSCA Member Firms are expected to have established systems for training on these topics and to handle  
any allegations raised by Auditors, the auditee and interested third parties and it is important that Auditors are  
aware of these systems and can demonstrate this knowledge in every scenario.  
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Competency Framework  
U: Understanding P: Proficiency  
9.1 BUSINESS LEGITIMACY AND INTEGRITY OF RECORDS  
ASCA  
CSCA  
Demonstrates a detailed knowledge of business integrity standards  
U
P
Demonstrates ability to effectively collect data, analyze and draw conclusions in  
relation to:  
Business Ethics Management System  
U
U
P
P
Inconsistencies between documentary records and other data  
How is this demonstrated?  
Auditors presenting themselves for the exam should be able to evidence that they understand and can  
identify/demonstrate the following:  
ƒ next steps to take where a facility:  
o does not provide a valid business license for the activities undertaken or facility for which the audit  
was undertaken.  
o has multiple business licenses at the premises which may be sharing equipment and/or employees.  
o attempts to limit the scope of the audit in terms of activities, buildings or personnel.  
ƒ appropriate documents and records to review to establish the accuracy of records presented by  
facilities and evaluate the sporadic or system nature of inconsistencies in relation to:  
o Payroll  
o Working hours  
o Other employment records.  
ƒ appropriate course of action  
o where inconsistent records are presented by facilities  
o where worker testimony disagrees with other documents and evidence provided or observed during  
the audit.  
ƒ decide whether to raise inconsistencies in records as a finding or report as being unable to verify.  
ƒ a clear understanding of actions to be taken in the event.  
o there are suspicions that individuals assisting in the audit may be consultants.  
o that the facility offers any entertainment, gifts or inducements.  
o a threat of physical harm or detention at the site, unless audit findings are changed to suit the auditee.  
ƒ document findings clearly in a way that protects individuals and alerts report readers to the current  
situation and any risks.  
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9.2 UNDERAGE LABOR  
Underage Labor may be found in any country and industry and can take many forms. This may be current  
or historical child labor through the employment of minors (below the legal age of employment), as well as  
employment of young workers (those above legal working age but below the age of 18) where additional  
protections may be required.  
Auditors are expected to have knowledge of the applicable international conventions, local laws, and  
regulations as well as the most common requirements in Codes of Conduct and be able to demonstrate their  
understanding of the application of these in an employment context. They should also be able to evidence their  
understanding of appropriate methods to audit a site looking for evidence of compliance with the requirements.  
Competency Framework  
U: Understanding P: Proficiency  
9.2 UNDERAGE LABOR  
ASCA  
CSCA  
Identifies young appearing workers, triangulates information, reports on current and /  
or historic underage labor  
U
P
Demonstrates ability to effectively investigate, collect data, analyze and draw  
conclusions in relation to:  
Age verification system and records  
U
U
U
U
P
P
P
P
P
P
Young workers – training/apprentice student worker/internship programs  
Young workers – working hour limits, hazardous roles, night work  
Child labor remediation  
Hazardous work for young workers  
How is this demonstrated?  
Auditors should be able to demonstrate that they understand and can identify/demonstrate the following:  
ƒ specific documents to review and potential methods that include speaking to a young worker in  
an appropriate manner considering the sensitivities to identify the presence of both current and  
historical underage workers.  
ƒ analyze and draw conclusions of the presence of both current and historical underage workers  
based on empirical (factual) evidence collected.  
ƒ if young workers (aged 16-18) are permitted by law, identify documents that could be reviewed to  
identify whether the site is complying with appropriate legislation (note: as the exams are not based  
on local legislation, this question would be asked regardless of the country of residence of the auditor)  
ƒ an understanding of the controls and limitations that should be in place if young workers are present.  
ƒ best practice in documenting non-compliances relating to work by underage or young workers.  
ƒ methods to review whether apprenticeship programs for secondary school age children are being  
conducted appropriately and whether the site has systems to monitor their compliance with legal  
requirements in this respect.  
ƒ appropriate course of action  
o if current or historical underage Labor is identified  
o if children are identified on site whether working or not.  
ƒ document findings to give a clear picture of the current situation and alert report readers where  
further action is required by the facility or audit requestor.  
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9.3 DISCRIMINATION AND DISCIPLINARY PRACTICES  
Assessing discrimination and disciplinary practices is an important part of social audits and requires auditors  
to recognize best practices and potential risks and look below the surface of the documents and initial  
evidence presented to try and understand the real situation. Identifying the presence of these issues requires  
strong inter-personal skills to establish the facts and diplomatically present findings to the auditee. In this  
respect, it is important that auditors are aware of common forms of discrimination in the workplace and pay  
attention to examples of inadvertent unconscious bias that may be drivers for such behavior. Auditors should  
also be conscious of their own unintentional bias when auditing discrimination and disciplinary practices as  
this could affect the outcome of the audit.  
Discrimination in the workplace may present in many forms throughout the business’ operations and can  
relate to any part of the employment practices including, but not limited to:  
ƒ recruitment, career advancement, and termination  
ƒ treatments in communication, discipline, and evaluation  
ƒ pay and benefit  
ƒ resources and opportunities  
ƒ access to training and promotions.  
and many other aspects of the employment experience. Auditors need to understand “protected  
characteristics” to be able to assess whether any actions taken are classed as discrimination or not. Protected  
characteristics (often called “protected class”, “protected group”, or "prohibited grounds”, etc) vary depending  
on the country or region and countries may define and classify the protected characteristics. Certain groups  
are more vulnerable and are likely to be at higher risk of facing discrimination in the workplace and auditors  
need to evidence that they recognize this and can prioritize accordingly. In particular, auditors must be able to  
show that they can assess a facility’s rules and whether these are appropriate or indicators of discrimination.  
These are most commonly found in relation to:  
ƒ health checks  
ƒ age limits (both lower and upper)  
ƒ gender protections  
ƒ promotion  
ƒ access to training.  
Discriminatory practices are often uncovered through observation of various indicators including verbal, visual  
and physical behaviors.  
Worker interview is a key component to identify potential discrimination. Auditors should be familiar with  
various methods to identify and investigate discrimination, including through worker interviews by utilizing  
appropriate interviewing techniques with a sensitive approach and reporting in a manner that protects  
individuals.  
Disciplinary issues may arise due to facility rules that are excessive or applied unfairly, or as a result of  
discrimination. Evidence may not always be available in documentary form and auditors will need to  
demonstrate they are alert to issues that may be implied or hidden as well as the more obvious situations.  
Disciplinary practices must comply with local legal requirements and be applied fairly. Organizations must  
provide an effective route for access to remedy and expectations of such grievance mechanisms have been  
defined in the UN Guiding Principles. Auditors must be familiar both with local legal requirements and with  
the expected controls to be included in any grievance mechanisms.  
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Additional Resources and Links  
ILO Convention 111 on Discrimination in Employment and Occupation and ILO Convention 150 on Equal  
Remuneration are key instruments that inform many Codes of Conduct. Further reading is available on the ILO  
website at this link.  
As stated above, auditors must be aware of what constitutes protected characteristics to assess whether  
actions constitute discrimination. A useful international definition can be accessed here.  
UN Guiding Principle 31 – Access to Remedy defines the key criteria in an effective grievance mechanism.  
Further information on this can be found in this link.  
U: Understanding P: Proficiency  
Competency Framework  
9.3 DISCRIMINATION AND DISCIPLINARY PRACTICES  
ASCA  
CSCA  
Investigate whether worker demographics represent industry/sector/country.  
Identify signs of policy implementation (e.g. signs posted in languages of all workers,  
workers understand their rights and the policies relating to discrimination and  
disciplinary practices)  
U
P
Demonstrates ability to effectively investigate, collect data, analyze and draw  
conclusions in relation to:  
Employment decisions and Employment Equality (based on ability)  
Non-discrimination policy  
U
U
U
U
U
U
P
P
P
P
P
P
Monetary fines and/or deductions used as a form of discipline  
Grounds for termination  
Fair employment practices  
Labor contracts (in language understood by worker)  
Vulnerable groups, such as women, ethnic minorities, LGBTIQ+ people and people  
with disabilities (including discrimination in recruiting, hiring, employment, promotion)  
U
P
How is this demonstrated?  
As a minimum, auditors should be able to evidence that they understand and can identify/demonstrate the  
following:  
ƒ characteristics that are protected from discrimination in accordance with local laws and/or  
international regulations and conventions  
ƒ practices which would or would not be considered discriminatory  
ƒ ability to assess worker testimony to identify where negative feedback relates to discrimination  
ƒ conditions under which health checks are and are not acceptable e.g., where the checks are undertaken  
for valid reasons in industries and for products where specific hygiene and safety rules would apply.  
ƒ ability to review documentation and records to assess the effectiveness of the auditees  
discrimination processes in relation to the protected characteristics such as:  
o employment practices, including recruitment, hiring, evaluation, promotion, demotion, discipline  
and termination  
o pay and working conditions  
o respect for freedom of speech  
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o Access to training and career advancement opportunities  
o Treatment of vulnerable groups including pregnant workers, migrant workers, workers with  
disabilities, minority groups, etc.  
o Inclusivity and equality.  
ƒ ability to apply appropriate sampling methods to ensure discrimination and disciplinary actions are  
targeted appropriately that includes a representative sample of the workforce  
ƒ assess disciplinary processes against legal requirements and consistency in the application of the  
process or procedure  
ƒ identify where disciplinary practices have been applied and if these are applied consistently  
and fairly  
ƒ ability to verify if grievance mechanisms meet the requirements of international standards with  
reference to UN Guiding Principle 31 on Access to remedy  
ƒ assess the implementation and effectiveness of grievance mechanisms  
ƒ apply appropriate methods for verifying information gained from worker testimony.  
ƒ ability to choose appropriate additional records and next steps to validate information obtained  
from worker interviews.  
ƒ ability to document findings clearly while protecting the identity of individuals.  
ƒ balance the need to provide information to allow further investigation and corrective actions while  
maintaining the confidentiality of individuals and the documentation sampled.  
9.4 FORCED LABOR  
Forced labor is the most prevalent form of modern slavery which occurs in many parts of the world and in  
many international supply chains. The ILO defines forced labor as “work that is performed involuntarily and  
under the menace of any penalty.“  
It is important to note that forced labor is different from sub-standard or exploitative work conditions. A forced  
labor case should consist of the following three elements according to ILO:  
ƒ work or service  
ƒ menace of any penalty  
ƒ involuntariness  
Forced labor refers to situations in which persons are coerced to work through the use of violence or  
intimidation, or by more subtle means such as manipulated debt, retention of identity papers or threats of  
denunciation to immigration authorities.” It is important that auditors recognize both the prevalence of forced  
labor and the indicators that may be found during an audit that should be investigated further to establish the  
status at any facility being audited and whether forced labor is actually present.  
Additional Resources and Links  
Definitions on different forms of Forced Labor, modern slavery and human trafficking can found on the  
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Competency Framework  
U: Understanding P: Proficiency  
9.4 FORCED LABOR  
ASCA  
CSCA  
Understand operational indicators of forced labor; how to effectively identify these  
indicators during the audit process and how to record these indicators on audit reports  
in a manner that leads to remediation.  
U
P
Demonstrates ability to effectively investigate, collect data, analyze and draw  
conclusions in relation to:  
Freedom of movement – including third party workers e.g. agency, contracted,  
dispatch workers  
U
P
Payment to obtain a job – including throughout the recruitment and labor supply chain  
Indebted or coerced to work, including document retention and deposits  
U
U
P
P
With appropriate processes to identify these practices in the different business models  
of forced labor, particularly:  
State induced and prison labor  
U
U
U
P
P
P
Employer induced, including rogue and corrupt managers and supervisors  
Third party intermediary e.g. labor providers and sub-agents  
Identify proactive policy implementation to deter, detect and correctly deal with  
suspected and actual cases of forced labor  
U
P
How is this demonstrated?  
As a minimum, auditors should be able to evidence that they can identify/ demonstrate the following:  
ƒ an understanding of the conditions of Forced Labor as defined by the ILO  
ƒ spot the difference between forced overtime (OT), forced Labor and human trafficking and identify  
appropriate next steps in the different situations  
ƒ the presence of any of the ILO indicators of Forced Labor as defined by the ILO  
ƒ an understanding of the role third parties such as recruitment and labor agents and recruitment  
fees play  
ƒ assess situations which would give rise to a non-conformance (as opposed to acceptable practices)  
in relation to Forced Labor with reference to issues such as:  
o mandatory requirement to deposit identity documents  
o withholding of wage or personal belongings  
o restriction on freedom of movement  
o ability to leave employment  
o excessive fees and expenses  
o training bonds, inhumane workers’ accommodation  
o physical or sexual violence,  
o bondage or fraudulent debts  
o abuse of vulnerability, deception or isolation  
o physical or sexual violence  
o intimidation or threats, either against the worker or family members.  
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ƒ recognize expected management controls to assess the risks of Forced Labor in the facility’s next  
tier suppliers and subcontractors  
ƒ an understanding of how to evaluate the worker’s recruitment journey to assess indicators of Forced  
Labor  
ƒ worker groups that may be more vulnerable to the risks of Forced Labor and trafficking and the  
different types of risks faced by workers due to their:  
o origin e.g., local, migrant or foreign migrant workers  
o gender e.g., male, female or other  
o vulnerability  
o other protected characteristics.  
ƒ findings in relation to Forced Labor with reference to Prison Labor and State induced Forced Labor  
ƒ describe methods of verifying information including:  
o appropriate sampling approaches  
o ways to triangulate information.  
ƒ assess ambiguous situations presented as a worker benefit (like a monetary loan) which may be  
used to limit workers’ ability to leave their employment  
ƒ processes which may limit freedom of movement in the workplace  
ƒ evaluate the roles, responsibilities and behavior of security guards in their interaction with workers  
ƒ document non-conformances to ensure that report recipients can understand the findings, the  
severity and the potential remediation.  
9.5 WORKING HOURS AND OVERTIME (OT)  
Long working hours, which may exceed local legal requirements for a standard working week are commonly  
found in many industries. Legal limits for overtime (OT) are also frequently exceeded and in some cases  
requirement to conduct such work may be required of workers and be involuntary. This is particularly  
common with migrant and foreign workers. Auditors must be able to accurately evaluate working hours’  
records that are presented by site management. This is to verify whether the site is managing compliance  
with local legal requirements, contract conditions, and / or any variations agreed through a Collective  
Bargaining Agreement that may have been defined.  
It is important that auditors pay attention to detail to spot inaccuracies or potential duplicated or falsified  
records as well as administrative errors and that they have been trained to cross-check records for accuracy  
against other documents and evidence that is available to correlate findings – this could include records from  
production and operational areas as well as worker testimony obtained through interviews.  
Excessive hours and involuntary overtime (OT) may be an indicator of Forced Labor and unfair working  
practices as well as increasing risks in relation to health & safety. As a result, findings from these areas may  
highlight a need for a deeper review of working hours.  
The evaluation of working hours is a fundamental audit procedure, which is also used as a key component  
to verify the consistency of wages and remuneration against local laws, contractual agreements, a collective  
bargaining agreement, if any, and/or a client's codes of conduct.  
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9.5 WORKING HOURS AND OVERTIME  
ASCA  
CSCA  
Investigate signs of potential non-compliances, e.g. signs of unrecorded working hours,  
coaching notes, cages blocking time cards  
U
P
Demonstrates ability to effectively investigate, collect data, analyze and draw  
conclusions in relation to:  
Recording of working hours. Compliance with local law and international standards.  
Objective means to set and monitor working hours  
Waivers  
U
U
U
U
U
U
P
P
P
P
P
P
Rest days / breaks between shifts / total working hours  
Working hour limits for hazardous jobs and categories of workers.  
Transparency and accuracy of working hours records  
How is this demonstrated?  
At a minimum, auditors should be able to evidence that they can identify/ demonstrate the following:  
ƒ understand local laws, international standards and client requirements in relation to working hours for:  
o a standard work-day and/or work week  
o overtime (OT) hours allowed daily, weekly monthly or for defined time periods  
o daily rest breaks  
o weekly rest days.  
ƒ review collective bargaining agreements and their role in defining acceptable working hours’ practices  
ƒ identify effective methods for assessing the validity of working hours records including:  
o acceptable methods for recording of working hours which may be defined by law  
o sufficient and appropriate information in the time recordkeeping system, such as employee  
information, date, detailed time-in and time out, meal and rest breaks, etc.  
o what the different sampling strategies would be to ensure that the audit is targeted to cover all  
worker types and demographics taking into account relevant risks  
o use of records for a variety of areas and job functions to support accuracy or highlight inconsistencies.  
ƒ select appropriate next steps to validate information obtained from worker interviews.  
ƒ assess and balance findings using triangulation methods to document findings and decide whether  
these are isolated cases or systemic issues.  
ƒ use alternative documents and records to triangulate information.  
ƒ appropriate methods to verify and assess data.  
ƒ assess all forms of overtime (OT), the voluntary nature of overtime and processes in place and the  
ability for workers to refuse overtime and whether this is:  
o mandatory (contractually/CBA agreed)  
o forced (and whether linked to Forced Labor and/or modern slavery).  
ƒ Nominate the immediate next steps  
o if inconsistent records are identified  
o if discrepancies are observed in relation to working hours recording while on site.  
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ƒ understand and identify the nature of inconsistent records and double-books  
ƒ be able to recognize, assess, and manage the audit process to consistently identify such incidences.  
ƒ work with facility management to persuade them to provide real working time records  
ƒ understand the point at which it is acceptable to state “records cannot be verified.”  
ƒ document findings to clearly indicate whether issues are isolated or systemic so that readers can  
understand the situations at the site and discuss appropriate corrective actions.  
9.6 FREEDOM OF ASSOCIATION AND EFFECTIVE RECOGNITION OF THE RIGHT TO  
COLLECTIVE BARGAINING  
The rights of workers to form and join (or not) Trade Unions or other forums that represent their interests at  
work and can bargain collectively on their behalf is an important protection for workers in all sectors. It is  
important that auditors understand not only the legal situation in their country, but the broader international  
expectations on this issue and are able to evaluate how this is being applied at any site they are auditing.  
This is especially important in countries where Trade Unions are not permitted by law or where it is  
common for management to attempt to limit, control or otherwise interfere in the process for workers to  
exercise this right. This may take the form of overt threats or actions to block the work of Unions or Workers’  
representatives or in more subtle approaches to influence outcomes.  
It is important that auditors are alert to any indicators where this may be happening while also maintaining  
a neutral position that enables workers to freely express their views about whether they feel that forming or  
joining such a representative body would be beneficial for them. In facilities that do not have a trade union,  
although allowed by law, local legislation may require the auditee to establish a workers committee. Auditors  
should familiarize themselves in relation to the establishment of a worker committee and how they are elected,  
e.g. democratically and if they are effective in addressing workers grievances which is the intent of the law.  
Competency Framework  
U: Understanding P: Proficiency  
9.6 FREEDOM OF ASSOCIATION AND EFFECTIVE RECOGNITION OF THE RIGHT  
ASCA  
CSCA  
TO COLLECTIVE BARGAINING  
Identifies signs of compliance, such as signage relating to trade union events, space  
for union meetings  
U
P
Demonstrates ability to effectively investigate, collect data, analyze and draw  
conclusions in relation to:  
Freedom to join lawful trade union without interference  
Grievance procedures/worker feedback on employment practices  
Non-discrimination and non-retaliation  
U
U
U
U
P
P
P
P
Collective Bargaining Agreement adherence  
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How is this demonstrated?  
As a minimum, auditors should be able to evidence that they can identify / demonstrate the following:  
ƒ understand and review documentation covering the rights of workers to form Unions or other  
representative bodies  
ƒ assess processes for electing and appointing members to represent all types of workers to the  
Union, committee or other body they have selected to represent them  
ƒ identify indicators to determine if the auditee is interfering in the operation of Unions or workers  
committees with regard to:  
o the ability of workers to join or not join a Union  
o the ability of workers’ representatives to have access to workers or take part in Union activities  
o the ability of workers to elect their own representativest  
o the ability of workers to attend meetings  
o the support provided by the auditee to the Union or worker representative organizations  
o information shared between the Union/ worker representative committee and the auditee.  
ƒ select appropriate methods to verify information obtained from workers and their representatives  
during interviews that may indicate that the Union or Workers representative committee is not  
operating effectively or is influenced by the auditee  
ƒ select practices which are acceptable and those which may indicate a finding in a range of situations.  
ƒ identify which practices may indicate both discrimination against, or special treatment of Union/  
Worker representatives  
ƒ identify methods to evaluate whether worker representative committees are operating effectively  
ƒ review issues being raised to worker representative bodies and how they are addressed with the  
auditee  
ƒ understand the key requirements for a Collective Bargaining Agreement (CBA) in relation to:  
o what additional elements may be agreed  
o who should be signatories and involved in the negotiation  
o what systems are in place to ensure the CBA is being adhered to  
o the scope of application of CBAs in relation to the different types of workers– e.g. permanent,  
temporary, local and migrant workers and the nature of their roles.  
ƒ assess grievance mechanisms and how they are operating and interact with worker representative  
bodies  
ƒ evaluate the effectiveness of informal complaints and feedback mechanisms from workers including  
suggestion boxes and “open door” policies in the absence of formalized processes  
ƒ undertake effective interviews with workers, and document findings and non-conformances to  
ensure that report recipients can understand the findings and any potential follow-up required.ꢀ  
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9.7 HARASSMENT AND ABUSE PRACTICES  
Harassment and abusive practices may manifest in several ways. Harassment covers a wide range of explicit  
and implicit behaviors of an offensive nature including verbal, physical and psychological harassment and  
may be expressed in different ways. In the digital era, the definition of harassment is also extended to include  
cyberbullying. Such behavior may be targeted at an individual or group and may be instigated or accepted at  
a corporate level or be initiated by an individual. Auditors must be able to show they understand all forms of  
harassment and abuse and can escalate findings accordingly.  
Auditors must be able to evaluate the treatment of workers at the facility to ensure that they are working in  
an environment of respect including documentary checks to verify whether rules are legal, fair and being  
applied consistently. Auditors must apply an investigative approach to show that they can target sampling to  
review relevant workers and can undertake careful evaluation and triangulation of workers testimony to verify  
the situation at the site.  
Competency Framework  
U: Understanding P: Proficiency  
9.7 HARASSMENT AND ABUSE PRACTICES  
ASCA  
CSCA  
Observes interactions between supervisors, management and workers  
U
P
Demonstrates ability to effectively investigate, collect data, analyze and draw  
conclusions in relation to:  
Disciplinary procedures  
U
U
U
U
U
U
P
P
P
P
P
P
Grievance mechanism  
Role of security guards against abuse  
Physical punishment or physical abuse  
Verbal abuse, mental abuse, coercion or harassment  
Application of disciplinary procedures to vulnerable groups  
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How is this demonstrated?  
As a minimum, auditors should be able to evidence that they can identify / demonstrate the following:  
ƒ evidence an understanding of local legislation, international regulations and International  
Conventions concerning Harassment and Abuse  
ƒ understand the various types of harassment in the workplace and be able to differentiate the  
characteristics of each. Examples of various types of harassment / abuse include, but are not  
limited to:  
o
discriminatory harassment  
o physical harassment  
o psychological harassment  
o verbal harassment  
o digital harassment  
o retaliation  
o sexual harassment  
o hostile work environment / workplace violence.  
ƒ select appropriate policies, procedures and records to review to assess harassment and abuse  
practices  
ƒ understand vulnerable groups that exist at the workplace and apply a focused approach in  
evaluating how they are treated  
ƒ indicators of harassment and abuse in a range of potential situations  
ƒ assess situations which would give rise to a non-conformance (as opposed to acceptable practices)  
in relation to harassment and abuse with reference to issues such as:  
o lack of policies and procedures in preventing, handling and mitigating harassment in the workplace  
o lack of non-retaliation policy to protect whistleblowers  
o lack of reporting mechanisms  
o lack of training on harassment and abuse prevention  
o reported cases of harassment and/or abuse in the workplace.  
ƒ characteristics of a complaints and grievance mechanism and its effective implementation (see also  
the definitions and further reading suggested under 9.3 Discrimination and Disciplinary Practices)  
ƒ assess the effectiveness of site mechanisms including “Open Door Policies” “Suggestion Boxes” and  
other internal controls  
ƒ and take appropriate next steps in the event they see indicators of harsh or abusive behavior  
towards any individual or group  
ƒ select appropriate sampling to ensure the focus of the audit is on “at risk” individuals and groups  
ƒ document findings in a way that prioritizes the safety of individuals and protects the identity of  
workers who may have raised concerns or allegations.  
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9.8 WAGES, BENEFITS AND TERMS OF EMPLOYMENT  
Employment should begin based on Terms and Conditions that have been communicated and agreed prior  
to employment and where the agreed terms are applied. Remuneration which does not meet contractual  
terms or local legal requirements or provide workers with sufficient income to pay for basic needs with some  
discretionary income is a common finding.  
Auditors must understand international expectations, local law and the client’s expectations and be able  
to analyze and assess the situation to document findings accordingly. Auditors must show a high level  
of numeracy skills and keen attention to detail be able to accurately evaluate payment records that  
are presented by site management to verify whether the site is managing compliance with local legal  
requirements as well as contract conditions and any variations agreed through Collective Bargaining  
Agreements. This includes verifying that the remuneration is paid to workers’ own bank accounts and that  
social insurance and other statutory deductions are made and paid to the relevant authorities.  
It is important that auditors can spot inaccuracies or potential duplicated or falsified records as well as  
administrative errors and that they have been trained to cross-check payment records for accuracy against  
other documents and evidence that is available to correlate findings – this topic is closely linked to the Work  
Hours and Overtime verification, and these are normally audited together.  
Remuneration that does not meet legal minimums, withheld payments and bonuses and other practices that  
may deter workers from leaving employment when they wish may be an indicator of forced labor.  
Competency Framework  
U: Understanding P: Proficiency  
9.8 WAGES, BENEFITS AND TERMS OF EMPLOYMENT  
ASCA  
CSCA  
Demonstrates ability to effectively investigate, collect data, analyze and draw  
conclusions in relation to:  
Responsible recruitment practices  
Payroll procedures (including payslips, regular payment)  
Wage calculations including piece rate  
Deductions  
U
U
U
U
U
U
U
U
U
P
P
P
P
P
P
P
P
P
Benefits  
Seasonal/temp workers/migrant workers/labor providers  
Equal remuneration  
Terminations and severance  
Transparency and accuracy of wages records  
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How is this demonstrated?  
As a minimum, auditors should be able to evidence that they can identify / demonstrate the following:  
ƒ effective sampling techniques for review of wages  
ƒ understand various types of payment system e.g. wage by hour, day, week, month, piece rate.  
ƒ analyze and cross verify information between the payroll and time records to ensure wages are  
accurately and appropriately calculated  
ƒ analyze records and calculate correct wages for standard hours and overtime (OT) hours of work  
ƒ understand the requirements for registration of workers for social insurances and the statutory  
deductions that should be made  
ƒ check that workers are being paid regularly and to an account of their own choosing  
ƒ select appropriate next steps to further investigate  
o inconsistent records  
o discrepancies between different sets of records  
o discrepancies between records and worker testimony  
o double book practices.  
ƒ identify methods to verify whether inconsistencies are isolated cases or systemic through sufficient  
and effective sampling and review  
ƒ understand the types of inconsistencies which might be uncovered when reviewing the different  
scenarios and taking account of all types of employment and payment systems  
ƒ verify that appropriate deductions are being paid to the relevant authorities in a timely manner  
ƒ assess the voluntary nature of any non-statutory deductions  
ƒ evaluate the implementation of grievance mechanisms where workers raise queries about their  
payment  
ƒ document findings to clearly explain the nature of any non-conformances and whether they are  
systemic or isolated cases  
ƒ understand the point at which it is acceptable to state “records cannot be verified”.  
9.9 SUBCONTRACTING  
Facilities may subcontract parts of the manufacturing process to third parties or using homeworking (either  
formally or where workers are completing work off site. This could relate to specialist operations or be done  
to increase capacity. Such subcontracting could lead to risks of serious non-conformances taking place at  
sites that are involved in their supply chain. Client’s commissioning audits will therefore expect to be advised  
of any indicators of subcontracting and whether these have been advised to them.  
Facilities may hide subcontracting in cases where clients do not allow such practices or where the  
subcontractors are not operating to the same high standards that are expected of the auditee. It is therefore  
important that auditors are alert to indicators that subcontracting may be occurring by verifying that the  
equipment and processes are present on site and that the site has sufficient capacity to fulfil orders accepted.  
During interviews auditors may consider determining the following from workers, supervisors, mid-level and  
senior management independently:  
ƒ circumstances that may require the facility to sub contract work to other facilities, for example:  
o lack or shortage of raw material and/or untimely delivery of raw material  
o changes in styles or delays in approval of pre-production samples  
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o lack of a skilled workforce that is unable to produce goods in time  
o inclement weather or other natural causes that prevent workers from producing the desired output  
o inadequate machinery or lack of skilled workers to operate certain machinery  
o seasonal illnesses that cause absenteeism at certain times of the year  
o festival holidays that may delay the shipment of goods  
o strikes at ports or other local services that can affect the shipment of goods  
o insufficient industrial engineering methods that result in miscalculation of the time and motion study  
to set production targets.  
Companies may also use subcontractors and third parties to provide support services such as cleaning,  
catering, security services and other in-house related activities and auditors must be able to evidence that  
they are able to audit and verify the working conditions of workers deployed at the auditees site.  
Competency Framework  
U: Understanding P: Proficiency  
9.9 SUBCONTRACTING  
ASCA  
CSCA  
Demonstrates ability to effectively investigate, collect data, analyze and draw  
conclusions in relation to:  
Ability to identify missing processes / ability to identify reasonable capacity  
Identification of signs of homeworking  
U
U
P
P
How is this demonstrated?  
As a minimum, auditors should be able to evidence that they can identify / demonstrate the following:  
ƒ identify appropriate documents to review to assess whether subcontracting is used  
ƒ pick the appropriate methods to assess records and undertake observation to identify missing  
elements that may indicate subcontracting with reference to:  
o assessing production capacity  
o verifying production processes and output  
o identifying missing equipment and processes on site.  
ƒ detect the use of external homeworkers or homeworking undertaken by employees  
ƒ identify scope of audit with respect to inclusion of different types of workers on site, including:  
o onsite subcontractors in production roles  
o facilities management personnel including canteens, cleaning, warehousing and associated activities.  
ƒ take appropriate next steps to follow-up on indicators of subcontracting and investigate the  
situation fully  
ƒ select methods to verify activities where these are provided on-site by subcontractors.  
ƒ select relevant sampling approaches to ensure inclusion of on-site subcontractors both in production  
and support activities  
ƒ identify next steps required where use of subcontractors has/has not been shared with audit  
requestors  
ƒ document findings and share appropriate and sufficient information in reports to allow clients  
commissioning audits to make informed decisions  
ƒ conduct effective employee interviews to triangulate all of the above.  
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9.10 OCCUPATIONAL HEALTH & SAFETY  
Working in a safe environment is a fundamental human right and this has been recognized with its elevation  
in June 2022 to the fifth pillar of the International Labor Organization’s (ILO) Fundamental Principles and  
Right at Work. Further information on the ILO Declaration and its implementation can be found below under  
additional resources.  
Assessing the safety of working conditions and the underlying management systems that support these is  
a fundamental part of social audits. Failures in occupational health and safety at facilities have resulted in  
several high-profile accidents where workers have died or been left with life-changing injuries. As a result,  
there is an expectation that social audits thoroughly review not only the status on the day of the audit but  
also the risks assessment(s) and controls in place that provide an assurance on the continuing conformance  
of the site to legal requirements and to good practice. It is therefore important to understand elements of  
an effective management system and how one is implemented using a risk-based approach that ensures  
continuous monitoring and evaluation of health and safety practices at the auditees site.  
Auditors and audit companies must be clear on the scope of the audit, verify that the auditors have the  
relevant skills to conduct this and ensure that elements that are out of scope, such as structural integrity of  
buildings are not included in social audits.  
U: Understanding P: Proficiency  
Competency Framework  
9.10 OCCUPATIONAL HEALTH AND SAFETY  
ASCA  
CSCA  
Demonstrates ability to effectively investigate, collect data, analyze and draw  
conclusions in relation to workers awareness and presence of:  
U
U
U
U
U
U
U
P
P
P
P
P
P
P
Health and safety policies and management system  
Health and safety training  
Licenses and permits  
Potable water (review documentation)  
Accident reporting and follow up actions  
Personal protective equipment (PPE)  
Equipment/machine safety  
Waste and chemical management program (review permits, licenses, MSDS  
training for workers)  
U
U
U
U
U
P
Repetitive motion (review assessment reports, interview workers, observe use of PPE)  
Emergency procedures, fire safety, exits, fire prevention, fire extinguishers  
Air Quality Management Systems (identify system in place to manage air quality in  
the work environment)  
U
U
U
U
U
U
U
P
P
P
P
P
First aid  
Sanitation and hygiene  
Dormitories  
Canteen  
Lighting  
Noise (documentation review of medical records, interview workers/management,  
U
U
U
P
ensure noise monitoring has been completed)  
Ventilation and temperature control (documentation review, interview management/  
workers, medical records, evaluating what checks have been undertaken)  
U
U
U
U
P
P
P
U
Risk mitigation/supplier assessment/root cause analysis  
Occupancy Certificate  
Hazardous material handling  
Waste Management  
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How is this demonstrated?  
As a minimum, auditors should be able to evidence that they can identify / demonstrate the following:  
ƒ recognize the priority hierarchy for tackling occupational health & safety (OHS) risks  
ƒ demonstrate a clear understanding of management systems, risk assessments and development  
of effective controls  
ƒ identify where particular safety facilities should be found, for example in relation to:  
o chemical risks  
o exposure to fumes  
o air quality  
o fire  
o combustible materials and explosion risks.  
ƒ understand the reasons that specific checks and controls are required  
ƒ assess the completeness and effectiveness of training  
ƒ select which controls are required and not required in relation to  
o exits and evacuation routes  
o fire detection  
o firefighting equipment  
o chemical handling and storage  
o machinery safety  
o specialist operations such as welding  
o combustible and explosive materials  
o personal Protective Equipment  
o first Aid.  
ƒ identify required record keeping and actions for:  
o accidents and injuries  
o near misses.  
ƒ demonstrate an understanding of  
o controls necessary for hazardous waste disposal  
o activities and industries that pose particular risks.  
ƒ recognize operations for which operators require special licenses or permits  
ƒ identify the most appropriate documents to review and other methods to assess  
o fire safety procedures  
o evacuation drills  
o implementation of risk mitigation measures.  
ƒ demonstrate methods to assess systems to prevent accidents at work  
ƒ define next steps and actions in the event that controls cannot be verified during an audit. Recognize  
where findings can be raised and where further evidence is required to assess conformance  
ƒ explain how issues that are identified during an audit will be documented  
ƒ select the most appropriate wording for findings for a given scenario.  
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9.11 USE OF APSCA NUMBER  
Each APSCA Member Auditor is issued with an individual membership number which is not transferable and  
remains with them throughout their career. Rules relating to the use of the APSCA number are detailed in the  
Use of APSCA Number Auditor Member Guide available here.  
U: Understanding P: Proficiency  
Competency Framework  
9.11 USE OF APSCA MEMBER NUMBER  
How to write Member Number  
ASCA  
CSCA  
P
P
P
P
When to use APSCA Member Number  
Auditors will be asked questions on situations where it would be acceptable to sign off an audit report with their  
APSCA Member number and set out the correct format for their number depending on whether they are an  
ASCA or CSCA.  
GLOSSARY, DEFINITIONS AND LINKS  
This document should be used to better understand the auditor competences and examination requirements.  
We have provided information links to external resources in the relevant sections, these will help to further  
clarify and deepen understanding of the topics. It is strongly recommended that Member Firms ensure their  
auditors use these links to understand the global picture rather than relying solely on local experience.  
In addition, further explanation and definitions are provided to ensure a common understanding of any  
specific terms used.  
Please note that automatic translation is available using right click.  
ILO Declaration of Fundamental Principles and Rights at Work  
This is the key source underpinning all social audits. The full declaration and supplement explaining how this is  
followed up can be found here. In summary the five pillars are:  
1. Freedom of association and the effective recognition of the right to collective bargaining;  
2. The elimination of all forms of forced or compulsory labor;  
3. The effective abolition of child labor;  
4. The elimination of discrimination in respect of employment and occupation; and  
5. A safe and healthy working environment.  
Discrimination  
Further information on ILO Convention 111 on Discrimination in Employment and Occupation and ILO  
Convention 150 on Equal Remuneration is available on the ILO website at this link.  
Open Door policy  
An open-door policy is a management practice that encourages open communication and accessibility  
between employees and their supervisors or management. The term "open door" implies that employees are  
welcome to approach their superiors with any work-related issues or concerns at any time, without fear of  
retribution or negative consequences.  
An open-door policy is designed to foster a positive and collaborative work environment, where employees feel  
heard, valued, and empowered to contribute to the success of the organization.  
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Management Systems  
Management systems are referenced in several areas. This refers to a program including policies and  
procedures or processes which are owned by a suitably qualified and senior manager and that have been  
implemented and communicated to all relevant individuals. In assessing management systems, it is important  
to ensure that the communication includes effective training to all levels and that the outcomes are being  
measured against the organization’s stated objectives and that procedures are updated as needed to ensure  
continuous improvement. The level of documentation and formality required in the systems will vary depending  
on the size and nature of the facility being audited with small, family-run enterprises relying more on informal  
processes and individuals while larger organizations would be expected to have more documentation as well as  
more formalized organizational structures.  
Policy vs Process vs Procedure  
In assessing management systems it is important to understand the difference between Policies, Procedures  
and Processes.  
ƒ Policy – this expresses the overall commitment and objectives of the organization and needs to be  
documented, endorsed at highest level and communicated to all relevant stakeholders – both internal  
(management and workers) and external (suppliers, customers and the wider community). Policies will  
often include targets that the organization is committed to meeting over a specified period.  
ƒ Process – A process is defined as a set of interrelated or interacting activities which transforms  
inputs into outputs. Processes would include the overall actions that the organization has  
implemented to ensure that they are meeting local legislation and any international requirements  
and additional client requirements. Processes may rely on the knowledge and expertise of  
individuals or be underpinned by procedures. Auditors need to be able to assess the effectiveness  
of these processes in ensuring delivery of the desired outcomes.  
ƒ Procedure – A procedure is a specified way to carry out an activity or a process. Procedures are  
created to set out a step-by-step approach to ensure that everyone does things in the same way  
and that the outcomes can be, measured. Procedures are often documented, especially in larger  
organizations, although this is not always essential if it can be shown that the steps are clearly  
understood and are being followed. Most importantly, it should be demonstrable that following the  
procedures delivers outcomes to support the policies and objectives of the organization.  
Forced Labor/Human Trafficking/Modern Slavery  
These terms are sometimes used interchangeably but may take different forms and have different indicators  
associated with them. The prevalence of different forms of forced labor varies by geography. However, in all  
cases it relates to work that is performed “involuntarily and under the menace of any penalty”. Definitions of the  
different types of forced labor and the associated indicators can found on the ILO website.  
Systemic vs Isolated Issues  
When raising non-conformances, it is important that the frequency of occurrence and underlying reasons have  
been established and that these are reported so that the facility management and any readers of the report can  
see whether these issues are systemic or isolated. This will help report readers understand the severity of the  
issue and can help focus corrective and preventative actions to ensure that these are effective and sustainable.  
ƒ Systemic Issues are defined as those that occur with sufficient frequency or that impact multiple  
individuals or groups. As such they can be seen as structurally embedded either due to lack of  
effective processes or procedures or to a lack of effective training and implementation.  
ƒ Isolated Issues are defined as single events or incidents that do not recur with any frequency or  
that only impact a small number of people under exceptional circumstances. Sometimes corrective  
actions for such isolated issues cannot be verified as the specific circumstances which gave rise to  
the situation have not recurred.  
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APSCA Part I and II Exam Syllabus  
Root Cause Analysis  
Root cause analysis (RCA) is a systematic process of identifying the underlying or fundamental causes of a  
problem or event, rather than just addressing the symptoms or superficial issues. The aim of RCA is to determine  
what went wrong, why it happened, and how to prevent it from happening again in the future.  
It is not expected that auditors will conduct root cause analysis as this could lead to consultancy, but auditors  
must understand the main techniques and be able to assess whether the organization has followed a  
systematic approach to be able to assess the effectiveness of any corrective action taken.  
The RCA process typically involves several steps, including:  
1. Gathering data and facts related to the problem or event and defining the problem clearly.  
2. Identifying the immediate, contributing, and underlying causes of the problem using various analytical  
tools such as 5-Why, Fishbone diagrams, Pareto charts, and fault tree analysis.  
3. Testing and validating the identified root causes to ensure they are accurate and complete.  
4. Developing and implementing corrective and preventive actions (CAPA) to address the root causes and  
prevent recurrence of the problem.  
5. Monitoring and verifying the effectiveness of the CAPA to ensure they are working as intended.  
RCA is widely used to improve the quality and efficiency of products and services, enhance safety and reliability,  
reduce costs, and increase customer satisfaction.  
The audit is to ensure that sufficient evidence is gathered and reviewed. This applies both to sampling of  
documents and records and to the selection of workers to interview. Codes of Conduct and third-party  
programs may have specified the appropriate number of records to review and interviews to conduct. In  
meeting this threshold, it is essential that samples are selected using suitable approaches to ensure:  
ƒ the issues with known local prevalence are fully investigated  
ƒ any indicators uncovered during the audit are fully followed up.  
It is therefore important that the auditor selects the sample including all potentially vulnerable groups and  
including workers from different backgrounds and nationalities. Auditors should not omit groups on the basis  
that they do not speak the relevant language or have a means to communicate directly with them, rather they  
should make use of appropriate translation services and interpreters to ensure that evidence can be gathered  
effectively (see also the information under Languages and Use of Translators).  
Languages and use of translators  
It is often the case that foreign migrant workers are present at a site being audited and such workers may not  
be able to express themselves fluently in the language spoken by the auditor. However, it is important that the  
auditor conducts interviews with such workers as they may well be more vulnerable to exploitative practices.  
There are some key steps to follow to ensure that these interviews are effective, and that worker confidentiality  
is assured, including:  
ƒ do not use individuals nominated by the facility’s management to act as interpreters in worker  
interviews. While a facility nominee might be used to explain some documents if not in local  
language, information obtained in this way should be treated with caution  
ƒ depending on the number of interviews to be conducted and the amount of translation required,  
it may be possible to use some online services but in general it is preferable for interviews to be  
conducted either by a qualified auditor with the necessary language skills or through an interpreter  
ƒ independent third-party translators or interpreters who may be in person or available on-line should  
be contracted by the Audit Firm. In establishing such contracts, the Audit Firm must ensure that they  
have conducted their own due diligence to verify that the interpreter does not have any conflict of  
interest (such as previous work with the organization or interaction with workers on behalf of the  
authorities) and that they have provided a suitable non-disclosure agreement.  
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Young workers, juvenile workers, underage workers  
These terms may be used interchangeably and refer to individuals over the minimum permitted age of  
employment but under 18 years of age. In addition to any local laws, auditors should be aware of any specific  
requirements in the client or third-party program they are auditing against which would be apply over and above  
legislative requirements.  
Discrimination and Protected Characteristics  
Discrimination occurs when an action is taken on the basis of one or more “protected characteristics” which may  
also be called “protected class”, “protected group”, or "prohibited grounds”. A useful international definition of  
protected characteristics can be accessed here, but may vary locally depending on national legislation.  
Sampling Techniques  
It is recognized that the length of time allowed for the audit is unlikely to allow for a 100% check of all  
documents or interview with all employees, therefore sampling will be needed to ensure that the audit is  
effective and that the outcome reflects the practices on site and highlights any relevant findings. There are  
several ways that sampling can be undertaken and many audit courses will highlight different approaches.  
The accountancy profession has a useful paper describing different sampling techniques and the associated  
risks. This is available here. Unlike other audits which may focus on different types of random sampling, it is  
important for social audits to take account of the particular risks associated with vulnerable groups of workers,  
who may be more likely to be impacted by labour rights issues. The ILO training module on dealing with  
vulnerable groups of workers in labour inspections includes useful information on the risks and recommended  
approaches by auditors. The associated paper is available here.  
Program  
The term audit program is used to refer to 3rd party initiatives, 2nd party Codes of conduct and other Social  
Compliance Audits requested by the Audit Firm’s clients as long as these meet the APSCA definition for Social  
Compliance Audit.  
Additional Resources and Links  
The ILO Declaration on the Fundamental Principles and Rights at Work is the key source underpinning all  
social audits. The full declaration and supplement explaining how this is followed up can be found here but in  
summary the pillars are:  
1. Freedom of association and the effective recognition of the right to collective bargaining;  
2. The elimination of all forms of forced or compulsory labor;  
3. The effective abolition of child labor;  
4. The elimination of discrimination in respect of employment and occupation; and  
5. A safe and healthy working environment.  
Document Name:  
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Replaces:  
APSCA Part I and II Exam Syllabus D-189  
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APSCA Part I and II Exam Syllabus  
Client  
As stated in the APSCA Code and Standards of Professional Conduct this is the organization that has requested  
the social compliance service and / or the organization that is owed the duty of care. It should be noted that the  
client may be a retailer, brand or customer of the entity being audited or the auditee themselves depending on  
the program and the commercial arrangement with the Audit Firm.  
Role of Auditors in a Social Compliance Audit  
APSCA defines the scope of a Social Compliance Audit in the APSCA Code and Standards of Professional Conduct.  
It is important that auditors remember that they are expected to limit their activity to assessing, evaluating, and  
reporting findings and not to assist in any follow-up or corrective actions, other than to assess the effectiveness  
of their implementation. Where clients or auditees request additional services or to assess areas that are out of  
scope such as, building structural stability, remediation, and the like, it is the responsibility of the Audit Firm to  
ensure they have personnel who are competent to deliver this. Some service run the risk of becoming, or being  
perceived as, Social Compliance Consultancy and it is the responsibility of both auditors and Audit Firms to  
ensure they are complying with APSCA’s requirements concerning independence and integrity and to avoid any  
activity that can create a perception, or actual conflict of interest.  
Document Name:  
Version & Date:  
Replaces:  
APSCA Part I and II Exam Syllabus D-189  
Version ꢀ – April 2023  
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Developed by:  
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