Supplier Data Collection in EUDR for the Palm Oil Supply Chain in Italy

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, 19 minute read

Quick summary: Supplier Data Collection in EUDR for the Palm Oil Supply Chain in Italy: understand legal responsibilities, mandatory plantation-level data requirements, common supplier data gaps, and how Italian palm oil importers, refiners, food manufacturers, oleochemical producers, biofuel operators, and traders can achieve EUDR compliance without disrupting operations or EU market access.

Supplier Data Collection in EUDR for Palm Oil in Italy has rapidly become a defining compliance challenge for the Italian palm oil sector and for good reason. As one of Europe’s major food manufacturing, confectionery, biofuel, and oleochemical markets, Italy sits firmly within the regulatory scope of the EU Deforestation Regulation (EUDR).

Italy is not a palm oil producer. It is a significant refining, processing, food manufacturing, and industrial hub for palm oil and palm-derived products within Europe. Large volumes of crude palm oil (CPO), refined palm oil, palm kernel oil (PKO), and derivatives enter Italy directly from producing countries such as Indonesia and Malaysia, or via EU entry points like the Netherlands, Belgium, and Spain. These imports are then processed into confectionery, baked goods, spreads, cosmetics, detergents, oleochemicals, and biofuels before being distributed across Italy, the EU, and global markets.

This central industrial role means Italian-based companies are frequently first EU operators or critical downstream operators making EUDR compliance unavoidable.

Who This Guide Is For

This guide is designed specifically for:

  • Palm oil importers sourcing crude or refined palm oil into Italy
  • Refiners and processors handling palm-based derivatives
  • Food manufacturers using palm oil in confectionery, baked goods, and spreads
  • Cosmetic and personal care manufacturers
  • Oleochemical and specialty chemical producers
  • Biofuel operators using palm-derived feedstocks
  • Traders and distributors operating across EU and non-EU palm oil flows
  • Compliance, procurement, and sustainability teams operationalizing EUDR requirements

If your business handles palm oil placed on or moving through the Italian market, mastering Supplier Data Collection in EUDR for Palm Oil in Italy is no longer optional it is the foundation for EU market access, regulatory compliance, and commercial continuity.

Read the complete EUDR guide to clearly understand your legal responsibilities, mandatory supplier data requirements, and due diligence steps for palm oil in Italy.

What Is EUDR and How Does It Apply to the Palm Oil Supply Chain in Italy?

The EU Deforestation Regulation (EUDR) requires palm oil placed on the EU market to be deforestation-free and legally produced.

In Italy, responsibility falls heavily on:

  • Importers
  • Refiners
  • Food and FMCG manufacturers
  • Biofuel producers
  • Oleochemical processors
  • Traders and distributors
  • First operators placing palm oil products on the EU market

Italy is one of Europe’s largest industrial consumers of palm oil, particularly in:

  • Confectionery and chocolate manufacturing
  • Bakery and snack production
  • Food ingredient manufacturing
  • Personal care and cosmetics
  • Biofuels and renewable energy
  • Specialty fats and oleochemical production

Significant volumes of palm oil enter Italy directly or through other EU ports before being refined, fractionated, blended, or converted into derivative products.

Under EUDR, Italian companies placing palm oil or palm-derived products on the EU market must prove using supplier- and farm-level data that the palm oil is not linked to deforestation.

Failure to comply can result in:

  • Blocked market placement
  • Rejected Due Diligence Statements (DDS)
  • Administrative fines
  • Enforcement investigations
  • Suspension of trading rights
  • Contract cancellations from downstream buyers

Products Covered Under EUDR for Palm Oil in Italy

EUDR applies not only to crude palm oil but also to a wide range of processed and derivative products, including:

  • Refined palm oil
  • Palm kernel oil
  • Palm stearin and palm olein
  • Specialty fats for confectionery
  • Oleochemical derivatives
  • Fatty acids and glycerine
  • Palm-based food ingredients
  • Biofuel feedstocks containing palm oil

To legally place palm oil on the EU market, Italian companies must:

  • Prove the palm oil is deforestation-free (not produced on land deforested after 31 December 2020)
  • Prove compliance with local land-use and environmental laws
  • Submit a Due Diligence Statement (DDS) before market placement or intra-EU trade

Supplier Data Requirements for Palm Oil Under EUDR in Italy

For palm oil, compliance depends entirely on structured, verifiable supplier data, including:

  • Precise farm- or plantation-level geolocation (polygon coordinates)
  • Identification of plantation estates and smallholder plots
  • Country and region of production
  • Harvest and production timeframes
  • Traceability linking volumes to specific plantations and mills
  • Documentation proving legal land use and land tenure rights

Palm oil supply chains typically include:

  • Smallholders
  • Large plantations
  • Mills
  • Refiners
  • International traders
  • Derivative processors
  • Italian food and industrial manufacturers

Because palm oil is highly aggregated at mill level, traceability complexity increases significantly.

No data = no market access.

Why Is Italy a High-Exposure Country Under EUDR for Palm Oil?

Italy plays a high-exposure role in Europe’s palm oil ecosystem because it is:

  • A major EU confectionery and bakery producer
  • A large industrial user of specialty fats
  • A significant cosmetic and personal care manufacturing hub
  • An important biofuel blending and processing market
  • A downstream processing market placing finished goods on the EU market

Even when palm oil physically enters through another EU Member State (such as Rotterdam or Antwerp), Italian operators may carry EUDR responsibility if they:

  • Import under their name
  • Refine, fractionate, or process palm oil
  • Place palm-derived finished goods on the EU market

This creates heightened exposure for:

  • Confectionery brands
  • Bakery manufacturers
  • Cosmetic producers
  • Biofuel operators
  • Traders blending multi-origin palm oil

Italy’s industrial food and FMCG scale amplifies EUDR liability across multiple supply chain tiers.

Supplier Data Collection Is the Core Compliance Risk for Palm Oil in Italy

Palm oil supply chains are structurally complex and globally distributed.

They typically involve:

  • Smallholder farmers
  • Large plantations
  • Collection networks
  • Mills and crushers
  • Refiners and fractionators
  • International traders
  • Italian industrial processors

Aggregation at mill level makes plantation-level traceability particularly challenging. Without precise geolocation and structured chain-of-custody documentation, demonstrating compliance becomes highly complex.

For Italian palm oil companies particularly confectionery manufacturers, food brands, FMCG producers, and biofuel operators sourcing from high-deforestation-risk countries supplier data collection is not an administrative task. It is the central compliance control point under EUDR.

If you cannot:

  • Map palm oil volumes back to specific plantations or plots
  • Verify the 2020 deforestation cut-off
  • Demonstrate legal land use compliance
  • Link shipments to validated supplier and mill records

You cannot legally place palm oil on the EU market.

For Italy’s palm oil sector, operationalizing structured, verifiable supplier data is the difference between regulatory continuity and commercial disruption under EUDR.

Supplier Data Collection in EUDR for the Palm Oil Supply Chain

What Happens if Supplier Data Is Missing or Unverifiable for Palm Oil in Italy?

If supplier data for palm oil is incomplete, inconsistent, or cannot be verified, the consequences under the EU Deforestation Regulation are immediate and material for companies operating in Italy:

  • Palm oil or palm-derived products may be barred from being placed on the EU market
  • Authorities can impose fines, corrective measures, and administrative penalties
  • Shipments may be blocked from sale or distribution, even if physically located within Italy
  • Companies face intensified inspection scrutiny and reputational exposure
  • Downstream buyers across the EU may refuse delivery if DDS references are missing or invalid

In practice, a single missing plantation polygon, unclear plot boundary, unverifiable land-use permit, missing mill traceability record, or incomplete supplier documentation file can halt the sale or movement of palm oil — even if the product entered the EU through another Member State and is already stored, refined, or processed in Italy.

Supplier data integrity determines market access.

Read our blog on Supplier Data Management for EUDR to learn how German cocoa companies can standardize supplier data, validate geolocation, and stay audit-ready without disrupting production or sales.

Explore our guide on Supplier Assessment under EUDR to see how to score cocoa suppliers by deforestation risk, data quality, and traceability before contracts are signed or production begins.

Who Must Collect Supplier Data Under EUDR in Italy?

Under EUDR, any company in Italy that places palm oil or palm-derived products on the EU market or trades palm oil without a valid Due Diligence Statement (DDS) reference depends on complete, verifiable supplier data, even if that data originated upstream or in another EU country.

Below is a role-by-role breakdown for the Italian palm oil supply chain.

Palm Oil Importers Placing Palm Oil on the EU Market

Palm oil importers based in Italy carry full EUDR responsibility when acting as first operators.

If you import crude palm oil (CPO), refined palm oil, palm kernel oil, or derivatives directly from non-EU countries and place them on the EU market under your name, you are considered a first operator. This means you must:

  • Collect supplier-, plantation-, and mill-level data
  • Verify plantation geolocation and deforestation-free status (post-31 December 2020 cut-off)
  • Conduct risk assessments and document mitigation measures
  • Submit a Due Diligence Statement (DDS) before market placement

Even if exporters or international traders provide documentation, legal responsibility remains with the Italian operator.

Refiners, Food Manufacturers, Oleochemical Producers & Biofuel Operators

Italian-based refiners and processors become first operators under EUDR when they:

  • Source palm oil directly from producing countries
  • Import palm oil under their own name
  • Place palm-derived products on the EU market without a valid upstream DDS

This includes:

  • Refined palm oil for food manufacturing
  • Palm-based ingredients in confectionery and baked goods
  • Palm kernel derivatives for cosmetics and detergents
  • Palm-based fatty acids and glycerine
  • Biofuel feedstocks derived from palm oil

In these cases, companies must ensure:

  • Supplier data is complete and traceable to plantation level
  • Geolocation polygons are validated
  • A valid DDS is submitted before products are sold or distributed

Processing, fractionation, or transformation does not reduce EUDR exposure. Aggregation at mill and refinery level increases compliance complexity.

Traders and Distributors

Palm oil traders operating in Italy have different obligations depending on their role:

If you import palm oil into the EU or place it on the EU market:
You are a first operator and must collect and verify supplier data and submit a DDS.

If you trade palm oil already placed on the EU market:
You are a downstream operator, but you must still:

  • Receive a valid DDS reference
  • Maintain traceability to the original compliant batch
  • Retain documentation for audits

Trading palm oil without a valid DDS reference creates direct compliance exposure even if the product remains in storage or in transit within Italy.

First Downstream Operators (When DDS Is Passed Along)

Companies purchasing palm oil or palm-derived products after they have already been placed on the EU market are considered downstream operators.

They do not submit a new DDS if:

  • A valid DDS already exists
  • The product remains unchanged
  • Traceability to the original compliant batch is preserved

However, they must still:

  • Verify that a valid DDS reference exists
  • Retain supplier and transaction documentation
  • Pass DDS references downstream

If the DDS is missing, invalid, or unverifiable, the downstream operator may become commercially and operationally exposed particularly during inspections or enforcement audits.

Key Clarification: Legal Responsibility vs. Data Dependency

This distinction is often misunderstood within Italy’s food, FMCG, chemical, and biofuel industries.

Legal Responsibility

  • Lies with the first operator placing palm oil on the EU market
  • Includes liability for false, incomplete, or misleading supplier data

Data Dependency

  • Applies to every actor in the palm oil supply chain
  • Refiners, manufacturers, and biofuel operators depend on accurate upstream plantation- and mill-level data
  • A single upstream documentation gap can halt refining, production, or product distribution

In practice:

You may not be legally responsible but you are still operationally and commercially exposed if supplier data is weak.

Mandatory Supplier Data Required for Palm Oil Under EUDR in Italy

To comply with EUDR, Italian operators must collect non-negotiable supplier data for all palm oil placed on or traded within the EU market.

Missing even one element can invalidate a Due Diligence Statement and block EU market access.

Without verified geolocation and structured chain-of-custody documentation, a DDS cannot be validly submitted.

For Italian palm oil companies particularly those sourcing from high-deforestation-risk regions in Southeast Asia or Latin America supplier data collection is not a compliance formality.

It is the central determinant of whether palm oil can legally enter, circulate, and remain in the EU market under EUDR.

Compliance PillarKey Data Points RequiredCritical “Why” for Audits
1. Entity & Mill MappingMPOB/BPN License Numbers: Official regulatory IDs in Malaysia/Indonesia.Mill Parent ID: Global ID of the processing facility.Smallholder Cluster ID: For aggregated “Independent Smallholder” batches.Refinery Batch ID: Linking refined oil back to specific CPO (Crude Palm Oil) inlets.The “Leaking” Silo Risk: Palm oil is highly liquid and mixed at the mill. Auditors verify the “First Point of Collection” to ensure that fresh fruit bunches (FFB) from “ghost” plantations (unlicensed or in protected zones) aren’t entering the mill under a compliant neighbor’s ID.
2. Geolocation & PerimetersGeoJSON Polygons: Mandatory for estates >4ha; GPS points for smallholders <4ha.“HCV” Overlap Check: High Conservation Value area maps.Planting Year Data: Evidence that the palms were planted before the 2020 cut-off.Satellite Chronology: Monthly time-series imagery (Jan 2021–Present).The “Shadow Plantation” Detection: Large palm estates often have “buffer zones.” Polygons are used to ensure no illegal “encroachment” has occurred into neighboring primary forests or peatlands since Dec 31, 2020, which is a common trigger for EU port rejections.
3. Yield & Harvest VelocityFFB (Fresh Fruit Bunch) Weight Tickets: From the plantation gate to the mill.Oil Extraction Rate (OER): Mill efficiency metrics.Harvest Cycle Logs: Frequency of harvesting (typically every 10–14 days).Mass Balance Ledger: Reconciling total inflow vs. total outflow of CPO.The “FFB Laundering” Check: Auditors apply “Yield Logic” (Avg. 18–24 t/ha per year). If a farm “shaves” more FFB than its biology allows, it is flagged as a high-risk entry point for “laundering” fruit from deforested or peat-drained areas.
4. Legality & Human RightsISPO/MSPO Certificates: Mandatory national standards (as of Jan 2026).FPIC Documentation: Free, Prior, and Informed Consent from local/Indigenous communities.Labor Audit Logs: Proof of no forced labor or child labor (consistent with ILO standards).Peatland Licenses: Permits for cultivation on designated peat (if applicable).The “Customary Rights” Anchor: In 2026, “Legality” extends beyond trees to people. Auditors check if the land was acquired legally from local communities. Without digital proof of FPIC, a shipment can be blocked even if the land has zero

Common Supplier Data Gaps in Italian Palm Oil Supply Chains

Even highly structured Italian palm oil importers, refiners, confectionery manufacturers, food processors, oleochemical producers, and biofuel operators face serious EUDR exposure because palm oil supply chains were never originally designed for plantation-level deforestation verification.

In practice, most Due Diligence Statement (DDS) risks affecting palm oil placed on the Italian market originate upstream but materialize at the moment of EU market placement.

Fragmented Plantation & Smallholder Sourcing

Palm oil used in Italy is typically sourced through:

  • Large commercial plantations in Indonesia and Malaysia
  • Independent and scheme smallholders
  • Fresh Fruit Bunch (FFB) collectors
  • Palm oil mills aggregating multi-plantation supply
  • Refiners and fractionators
  • International commodity traders

The challenge:

  • Smallholders often lack standardized documentation
  • Aggregation occurs at the mill level
  • A single mill may process fruit from hundreds or thousands of plantations
  • Export shipments represent blended volumes
  • Volume attribution back to specific plots is often unclear

For Italian refiners, confectionery producers, and food manufacturers handling bulk palm oil shipments, fragmentation and mill-level aggregation make plantation-level attribution highly complex especially when palm oil enters the EU via ports such as Rotterdam or Antwerp before reaching Italy.

Mill-Level Aggregation That Breaks Traceability

Palm oil is a high-volume, bulk commodity with early-stage aggregation.

Common traceability gaps include:

  • Multiple plantations contributing to a single mill
  • FFB blended before crude palm oil production
  • Export documentation reflecting mill-level declarations instead of plantation-level proof
  • Refining facilities mixing multiple mill origins
  • Derivative processing obscuring original supply sources

Once the link between:

plantation → plot polygon → mill → refinery → derivative product

is broken, EUDR compliance cannot be demonstrated — regardless of sustainability certifications or contractual commitments.

Mill-level aggregation is the single largest traceability vulnerability in Italian palm oil supply chains.

Incomplete or Low-Quality Geolocation Data

Geolocation data supplied to Italian operators often includes:

  • Plantation headquarters coordinates instead of individual plot polygons
  • Single GPS points instead of boundary-based polygons
  • Concession-wide coordinates instead of harvest blocks
  • Incorrect coordinate systems
  • Lack of verification against satellite imagery

The risk:

  • Inability to verify the 31 December 2020 deforestation cut-off
  • Elevated classification as “non-negligible risk”
  • DDS rejection or regulatory scrutiny
  • Increased enforcement exposure

For palm oil, polygon-level mapping at plantation or smallholder plot level is non-negotiable. Point data is insufficient under EUDR.

Volume Attribution & Allocation Mismatches

Italian palm oil importers and processors frequently encounter:

  • Shipment volumes not clearly linked to plantation production volumes
  • Inconsistent documentation between harvest, mill intake, and export stages
  • Lack of transparent allocation logic when mill supply is pooled
  • Insufficient reconciliation between plantation yield and exported quantities

Under EUDR:

  • Declared volumes must be traceable back to specific plantations or plots
  • Production data must align with shipment quantities
  • Chain-of-custody logic must withstand audit

Even small inconsistencies can escalate into compliance exposure.

Legacy Documentation & Mixed Formats

Upstream palm oil documentation often exists as:

  • Scanned land titles
  • Informal smallholder declarations
  • Non-standardized exporter spreadsheets
  • PDF sustainability certificates
  • Paper-based transport documentation

Why this creates risk under EUDR:

  • Manual data re-entry introduces errors
  • Documentation varies widely across suppliers
  • Audit validation becomes slow and unreliable
  • Regulatory scrutiny increases for high-deforestation-risk origins

EUDR requires structured, machine-readable, and verifiable data not fragmented email attachments.

How Italian Palm Oil Companies Can Structure Supplier Data Collection

For palm oil companies in Italy, EUDR compliance is not about collecting more data it is about structuring and validating critical data before palm oil is placed on the EU market.

Step 1 – Supplier Mapping & Risk Segmentation

Identify EUDR-relevant suppliers not your entire procurement ecosystem.

Actions:

  • Map all suppliers linked to palm oil placed on the EU market under an Italian operator’s name
  • Identify high-volume and high-deforestation-risk origin countries
  • Flag mill-level aggregated supply chains
  • Determine availability of plantation-level polygon geolocation

Segment suppliers by:

  • High volume + high deforestation risk → immediate validation
  • High volume + moderate risk → early review
  • Low volume + high risk → remediate or reassess sourcing

Outcome:
Compliance resources are directed where exposure is highest.

Step 2 – Standardized Digital Data Framework

Unstructured supplier data is the primary compliance bottleneck.

Best practice includes:

  • Structured EUDR-aligned templates capturing:
    • Supplier identity
    • Plantation and plot-level polygons
    • Harvest years
    • Production volumes
    • Mill identification
    • Legal land-use documentation
  • Digital-first supplier submission
  • Strict digitization protocols for legacy documents
  • Alignment between procurement, compliance, sustainability, and IT teams

Critical insight:
If supplier data does not map directly to DDS submission fields, operational delays and DDS rejection risk increase significantly.

Step 3 – Validation & Risk Scoring

Data collection alone does not equal compliance.

Geolocation Validation

  • Polygon completeness checks
  • Satellite overlay verification
  • Deforestation cut-off assessment
  • Protected area and forest boundary screening

Volume & Allocation Validation

  • Plantation yield vs mill intake reconciliation
  • Mill-to-export volume transparency
  • Aggregation logic analysis

Supplier Risk Scoring

  • Country deforestation risk
  • Data completeness and reliability
  • Aggregation complexity
  • Historical audit findings
  • Sustainability track record

High-risk suppliers should be:

  • Flagged before contracts are finalized
  • Given remediation timelines
  • Replaced if risk cannot be reduced

Outcome:
DDS failures are prevented upstream not discovered during Italian enforcement audits.

How TraceX Supports Italian Palm Oil Companies Under EUDR

TraceX EUDR Compliance Solutions help Italian palm oil importers, refiners, and manufacturers transform fragmented supplier documentation into a structured, audit-ready workflow.

TraceX enables:

  • Digital supplier onboarding capturing KYC, plantation-level geolocation, and land-use documentation
  • GPS-verified polygon mapping ensuring plot-level accuracy
  • AI-powered deforestation validation that flags overlaps early
  • Automated EUDR-aligned risk scoring to prioritize mitigation
  • TRACES-ready data structures integrated with ERP and refining or food production systems
  • Centralized dashboards for executive compliance visibility

For Italian palm oil operators, TraceX converts supplier data collection from a compliance bottleneck into a scalable operational control system protecting food production, confectionery manufacturing, oleochemical operations, biofuel supply, and EU market access.

Build an EUDR-ready palm oil supply chain without manual reconciliation.

Talk to TraceX compliance experts about automating supplier data collection for palm oil under EUDR.

Turning Supplier Data Collection into EUDR Readiness in Italy’s Palm Oil Sector

Supplier Data Collection in EUDR for the Palm Oil Supply Chain in Italy is no longer an administrative task it is the defining control point for market access.

Italy’s heavy reliance on imported palm oil for confectionery, bakery, FMCG, oleochemical, and biofuel production places refiners, traders, and manufacturers at the center of EUDR enforcement exposure.

Companies that succeed will treat supplier data as a structured, validated compliance asset mapping plantations, verifying polygons, reconciling mill-level volumes, and managing aggregation risk before palm oil is placed on the EU market.

Those that do not risk DDS rejection, enforcement action, shipment blockage, and commercial disruption.

In Italy’s palm oil sector, mastering supplier data collection is how companies protect operational continuity, regulatory compliance, and long-term EU market access under EUDR.

Read our blog on EUDR Compliance for Palm Oil Supply Chains to see how importer, roaster, and trader responsibilities connect and where most compliance failures happen.

Explore our guide on EUDR for Operators and Traders to understand legal responsibility, DDS handover, and what checks you must perform before buying or selling coffee in the EU.

Dive into our practical breakdown of EUDR Due Diligence, including required data, risk assessment steps, and how to avoid delays at customs.

Frequently Asked Questions (FAQ’s)


What supplier data is mandatory for palm oil under EUDR in Italy?

Italian companies must collect supplier identification (KYC), plantation- or plot-level geolocation (polygon coordinates), harvest year, production volumes, mill identification, traceability linking shipments to specific plantations or mills, and proof of legal land use. Without this data, a Due Diligence Statement (DDS) cannot be submitted, and palm oil or palm-derived products cannot be legally placed on or traded within the EU market.

Do Italian refiners, food manufacturers, or biofuel operators need plantation-level geolocation data?

Yes if the company is the first operator placing palm oil on the EU market. Italian companies importing crude or refined palm oil directly must hold verified plantation- or plot-level geolocation data and complete a documented risk assessment. Companies sourcing palm oil already placed on the EU market must retain a valid DDS reference and maintain traceability records linking to the original compliant batch.

Can palm oil suppliers outside the EU provide EUDR data digitally?

Yes, and digital submission is strongly recommended. Non-EU suppliers including plantations, smallholders, mills, aggregators, exporters, and traders can provide EUDR data through structured digital questionnaires, plantation-mapping tools, or platforms capturing GPS polygon data and land-use documentation. Digital data improves validation accuracy and significantly reduces DDS rejection risk for Italian operators.

How long must supplier data be retained in Italy for palm oil under EUDR?

Under the EU Deforestation Regulation, operators in Italy must retain all due diligence documentation and supplier data for at least five years and provide it to competent authorities upon request.

What happens if palm oil supplier data changes after a DDS is submitted in Italy?

If supplier data changes such as new plantation plots, updated polygon boundaries, revised mill sourcing, ownership adjustments, or production volume updates — the risk assessment must be reviewed and updated. Material changes may require a new or revised DDS before palm oil or palm-derived products linked to the updated data can be placed on or traded within the EU market.

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