BrazilTrace.

How it works

14 public sources, re-checked every 12-24 hours, with every finding source-attributed and timestamped — no score, no rating, no verdict.

STEP 1

Add your suppliers

Just the CNPJ (Brazilian tax ID) is enough to start monitoring — no CAR code, no property records, no documents required up front.

STEP 2

We monitor 14 public sources, continuously

CAR, deforestation (INPE/DETER), IBAMA embargoes, the forced-labor registry, indigenous land and conservation units, CNPJ status, federal debarment, international sanctions (OFAC/UN), and Trase/EUDR supply chain data — re-checked every 12-24 hours, no manual work on your side.

STEP 3

You get an alert when something changes

By email, the moment a new finding appears on any monitored source for any supplier in your list — not on a schedule you have to remember to check.

STEP 4

Export the evidence, whenever it’s asked for

One PDF per supplier, ready for an audit, a bank, or a buyer questionnaire — plus draft answers for common buyer questionnaires (LkSG, Sedex, EcoVadis), each traceable to a specific screening source.

The 14 sources, grouped

Environmental & Land

CAR (rural property registration), deforestation overlay (INPE/PRODES + DETER), IBAMA embargoes, indigenous land and conservation unit overlap — the backbone of EUDR and any environmental due diligence.

Labor

Lista Suja, Brazil’s forced-labor registry — inclusion can happen with no advance notice, and buying from a listed supplier is joint responsibility under Germany’s LkSG.

Fiscal & Sanctions

CNPJ registration status, federal debarment (CEIS/CNEP), leniency agreements (negotiated admissions of corruption, distinct from debarment), and international sanctions (OFAC/UN) — the baseline check any buyer questionnaire asks for first.

Traceability

GTA×NF-e for cattle, DOF×NF-e plus species verification for timber — the cross-reference that closes the "paper cattle" gap and Lacey Act exposure.

Supply Chain Transparency (EUDR)

Trase.earth’s soy and beef export data, with deforestation exposure by season — direct context for the EU’s Due Diligence Statement, filed through TRACES, required from 30 December 2026. Not a violation registry: being an exporter is normal and legal.

Start monitoring your suppliers — free for 30 days