Germany’s Supply Chain Act (LkSG): A Sourcing Compliance Checklist for Apparel Importers

If you import apparel into Germany, the Lieferkettensorgfaltspflichtengesetz (LkSG) sets clear duties for your supply chain. Here’s a practical checklist to make your Bangladesh sourcing audit-ready.
Germany was first in Europe to make supply-chain due diligence a hard legal duty. If you import apparel into the German market, the LkSG already shapes what you must know about the factories behind your products — and Bangladesh sourcing is squarely in scope.
The Lieferkettensorgfaltspflichtengesetz (LkSG) — Germany’s Supply Chain Due Diligence Act — requires companies to identify, prevent and remedy human-rights and environmental risks in their supply chains. Unlike a voluntary code, it carries reporting duties and the possibility of penalties. For German fashion importers, that means the compliance status of your overseas factories is now your responsibility to know and document.
This is a practical checklist, not a legal treatise. Use it to pressure-test whether your Bangladesh sourcing is ready.
What the LkSG actually asks of importers
Stripped of legal language, the Act expects a German importer to be able to show that it:
- Has a risk-management system covering its supply chain
- Knows who its suppliers are and where production happens
- Regularly assesses human-rights and environmental risks
- Takes preventive and corrective action when risks are found
- Has a complaints mechanism and documents everything
Every one of those duties depends on information from your supplier. That’s why supplier choice is really a compliance decision.
The core idea
The LkSG doesn’t expect German importers to run their own factories abroad. It expects them to know their supply chain and act on what they find. Your supplier’s transparency is what makes that possible.
The LkSG sourcing checklist for Bangladesh
Run your current or prospective supplier against this list. A confident “yes, and here’s the paperwork” to each is what you’re looking for.
- Factory transparency: Do you have a named, addressed list of the factories producing your goods — with no undisclosed subcontracting?
- Current audits: Are BSCI, SEDEX/SMETA, ISO 9001 and OEKO-TEX (where relevant) in date for each factory?
- Documentation on delivery: Do audit reports and certificates arrive with each shipment, ready for your records?
- Ongoing monitoring: Is there oversight between annual audits, not just a once-a-year snapshot?
- Remediation process: Can your supplier describe how a finding is corrected, with a timeline?
- Grievance mechanism: Is there a channel for workers to raise concerns, as the Act expects?
- Record-keeping: Can you reconstruct, on request, who made a given order and under what conditions?
Why the buying-house model fits the LkSG
The LkSG’s duties are continuous and evidence-heavy — exactly the work a buying house is built to carry. Rather than your team auditing and monitoring factories in Bangladesh from Germany, a buying house maintains that oversight centrally and hands you the documentation.
Nak Fashion Group vets and tracks partner-factory certifications, maintains a transparent supplier list, and includes the relevant compliance documentation in each shipment. For a German importer, that turns a demanding legal duty into a manageable, well-evidenced process — and means your LkSG reporting rests on real records, not assurances.
Importing into Germany and need LkSG-ready sourcing?
We’ll show you exactly which compliance documents accompany an order and how our audit tracking supports your due-diligence reporting.
Talk to our teamThe bottom line
The LkSG rewards importers who source deliberately. Bangladesh, with its deep base of audited and certified factories, is well positioned for it — provided you choose a partner who makes transparency and documentation standard. Treat supplier selection as a compliance decision, and the Act becomes a framework you can meet with confidence.
Frequently asked questions
This is general guidance for procurement teams, not legal advice. LkSG obligations depend on company size and are evolving alongside the EU CSDDD — verify your specific duties with qualified counsel.




