We guarantee efficient purchasing and bidding processes, therefore we seek to work with the best suppliers, according to their category. We seek to work with the best suppliers, according to their category. Our main challenge today is to ensure that our supply chain incorporates best practices in incorporate best practices in sustainability, as well as to consolidate our suppliers as strategic partners. our suppliers as strategic partners.
To become part of our supplier catalog you must
Last update: 15.02.2022
N° | Project name | Brief Description | Approx. competition date |
1 | Execution of the Environmental Compensation Plan (ECP) | Elaborate the Detailed Engineering and Execution of the PCA of the selected alternative. selected alternative. Procurement of all goods and services services necessary for the development of the detailed engineering engineering and execution of the selected PCA, until the wetland is delivery of the wetland and its acceptance by the GORE and the corresponding and the corresponding governmental entities | July 2022 |
2 | Commercial travel agency | Competition for commercial travel agency services for LAP collaborators | March 2022 |
3 | HVAC equipment replacement for 07 PBB Phase I and 06 PBB Phase II II | Air conditioning equipment for boarding bridges | March 2022 |
4 | Operation & Maintenance of the Parking Lot and Curbside (technology and administration) | Tenders for the management of the parking service and offer the best technology on the market. | March 2022 |
We selected 5 of our critical suppliers to train them in sustainability and sustainability reporting. them in sustainability and in the preparation of Sustainability to make their management transparent and strengthen it in environmental, social and governance (ESG) environmental, social and governance (ESG) aspects.
We consider our suppliers to be strategic allies and build mutually beneficial build mutually beneficial relationships to strengthen our supply chain. our supply chain.
Supplier Management:
Our suppliers are highly relevant to our supply chain and to the supply chain and for the implementation of our sustainability approach. sustainability approach. We are looking for suppliers who are committed and interested to develop and be part of the comprehensive awareness that we provide them we provide them with on an annual basis
In this regard, we have implemented performance evaluation mechanisms that will allow us to performance evaluation mechanisms that, in addition to assessing the quality of its services, will allow us to services, but also to make its good environmental practices visible, social and governance best practices.
Policy Statement on Human Rights
The policy statement sets out Fraport AG’s expectations of its own employees and suppliers regarding the respect of human rights in supply chains. In the future, the policy statement will be reviewed annually and on an ad hoc basis, and updated as required. The environmental and human rights risks identified in the risk analysis as the highest priorities are mentioned in the document, and related preventive and corrective measures are described.
You can find LAP's Human Rights Policy at the following link: Acá
Scope of application
Reports of violations of human rights and breaches of environmental laws and regulations within the Fraport Group and at direct suppliers can be submitted through the following complaints/whistleblowing channels:
Complaints channel
You can find our Complaints channel in the following link: Acá
Responsibilities and contact person
Complaints are handled by the Compliance department of Lima Airport Partners (LAP) and, where necessary, with the support of other experts. The contact person is the head of the Compliance department from Fraport, Elke Breue.
How the complaints procedure works
Complaints are received by the Compliance department. The whistleblower receives a confirmation of receipt and is kept informed of the next steps that will be taken and the progress of the procedure.
In a first step, an initial assessment is carried out to check whether the reported breach falls within the material scope of the complaints procedure. Other requirements for instituting an investigation to establish the facts include whether the incident that has been described can be judged on the whole to be plausible and generally possible and might indicate a violation of any law or a serious breach of an internal regulation. In this process, it is examined whether any collection, processing, or use of data that takes place in the course of the investigation is permissible under data protection law.
The aim of the investigation is to clarify the facts of the matter that are the subject of the report in a neutral, competent, and objective manner. The investigation of the facts is carried out by suitable persons, who are required to act independently and maintain confidentiality. They contact the whistleblower, check the validity of the report that has been received, and, if necessary, request the whistleblower to provide more information. Reports of breaches at a direct supplier are investigated jointly with the supplier. The investigation is conducted on the basis of documents and interviews and is recorded comprehensibly in a case file. Case files are deleted once a year if there is no legitimate interest in retaining them. The whistleblower receives feedback on the progress of the procedure within three months following confirmation of receipt of their report. Feedback is provided only insofar as this does not affect any internal investigations and the rights of the persons who are the subject of a report or who are named in the report are not adversely affected.
Each case concludes with a written final report, which remains strictly confidential. The list of people to whom the report is distributed depends on the nature and severity of the breaches that are identified and is determined on a case-by-case basis. Information is disclosed only if this is necessary and permitted under data protection law. The final report includes penalties and suitable actions for remedying irregularities and preventing similar breaches in the future. After the investigation has been concluded, the whistleblower is notified of the follow-up actions to be taken, if this is permitted by law.
Protection against reprisals
At LAP, special protection is given to whistleblowers who pass on information in good faith in order to expose irregularities. The Compliance department guarantees that they are protected by maximum confidentiality and whenever legally possible, by ensuring their anonymity.
In terms of case management at LAP, this means that the identity of the whistleblower is disclosed solely to the persons who are responsible for receiving information or for instituting follow-up actions.
LAP ensures through the whistleblower system that whistleblowers who have sufficient reason to believe that their information is true are not obstructed, restricted, or influenced when they submit the information.
Whistleblowers who have been identified by name need not fear any reprisals, such as suspension, termination, relocation to other duties, disciplinary measures, discrimination, bullying or similar retaliation, from their LAP employer after they have submitted a report.
Information that is submitted with malicious intent or in bad faith to implicate employees is explicitly unwelcome. Information of this kind that is clearly intended only to harm, denounce, or disparage other people will not be processed. The whistleblower will not be given special protection against reprisals and can be subject to liability in these cases.
Risk Management
Fraport AG has integrated the new due diligence obligations into its existing risk management system. As part of an annual risk analysis, the company determines whether human rights or environmental risks arise from its own business activities or the actions of direct suppliers. Preventive measures are also established.
The risks identified in the regular and ad hoc analysis as well as preventive and corrective measures taken are documented and submitted each year for inspection as a due diligence report to the German Office for Economic Affairs and Export Control as the responsible government agency.
If you are already a LAP supplier and you have any questions or suggestions, please send us an email to: