Public Limited Company

MORGAN LOVELL PLC

ActiveCompany 02755027United Kingdom
Bulk record snapshot1 AUG 2026Source details →

Registered office

KENT HOUSE, 14 - 17 MARKET PLACE, LONDON, W1W 8AJ
Incorporated12 October 1992
Company age33 years

TXT In plain English

Company description

BritDB description

MORGAN LOVELL PLC is a UK company whose Companies House status is “Active” and whose registered company type is “Public Limited Company”. Incorporated on 12 October 1992; registered for 33 years; registered office reported in LONDON. Its primary declared activity is 41201 · Construction of commercial buildings.

This BritDB profile also contains linked public records: 1 PSC record, 1 waste registration. This description is assembled from public data, is not a reliability assessment, and should be checked against the cited sources before a legally significant decision.

Prepared from public dataChecked 3 September 2026 · 10 profile sources connected
How this description is built →
i

Web facts are never added from a name match alone. Internet enrichment requires the exact Companies House ID in Wikidata, and ambiguous results are excluded.

01 Company overview

Identity and registration

Snapshot 1 August 2026
Official name
MORGAN LOVELL PLC
Company number
02755027
Company type
Public Limited Company
Status
Active
Country of origin
United Kingdom
Dissolution date
Not supplied
Accounts category
FULL
Mortgage charges
2 total · 0 outstanding · 2 satisfied
Limited partnership members
0 general · 0 limited
i

A registered office is not necessarily a trading location. The address is reproduced from the Companies House bulk record and should be interpreted in that legal context.

02 Filing dates

Accounts and statements

Companies House
AccountsBulk record

Last accounts made up to

31 December 2025

Next accounts due

30 June 2027
Confirmation statementBulk record

Last statement made up to

12 October 2025

Next statement due

26 October 2026
Filing source and official link

BritDB does not infer overdue status when the source does not state it.

03 Supplier payments

Payment practices and performance

Period to 30 June 2026
Average time to pay17.0 days
Paid within 30 days86.0%
Paid after 60 days4.0%
Not paid within terms8.0%
Reporting period
1 January 2026 – 30 June 2026
Filed
10 July 2026
Shortest standard term
14 days
Longest standard term
60 days
E-invoicing offered
Yes
Supply-chain finance
Not offered
Payment codes
Prompt Payment Code
Construction retentions
Reported as used
Complete reported payment fields
Policy regime
Regime-3
Financial period started
1 January 2026
Qualifying contracts
Yes
Payments made
Yes
Invoice value paid within 30 days
£22,569,000
Invoice value paid in 31–60 days
£19,120,000
Invoice value paid after 60 days
£6,404,000
Invoice value paid outside agreed terms
£5,645,000
Invoices paid in 31–60 days
10.0%
Invoices unpaid due to dispute
7.0%
Maximum contractual payment period
60 days
Supplier-list charging policy
No
Supplier-list charges made
No

Maximum contractual payment information

The maximum contractual payment period was 60 days, aligned with client-driven terms. These terms have been agreed with individual suppliers.

Retention circumstances

Retention clauses are included only in qualifying construction contracts with suppliers in specific circumstances. Even though the standard payment terms do include retention clauses, preferred subcontractors, temporary works subcontractors and specified framework contracts do not typically have retention applied to them.

Retention parity policy

Retention is only applied to certain subcontractors, with preferred suppliers, temporary works and specified framework contracts not having any retention applied. This makes sure that the retention clauses are no more onerous than those applied by clients.

Retention release

Where we do hold Subcontract retention, release is generally 50% on certified completion of the Subcontract works (or a specified date in the Sub contract), and then the remainder is released by the specified dates in accordance with the Housing Grants, Construction and Regeneration Act 1996.

Retention release stages

Where we do hold Subcontract retention, release is generally 50% on certified completion of the Subcontract works (or a specified date in the Sub contract), and then the remainder is released by the specified dates in accordance with the Housing Grants, Construction and Regeneration Act 1996.

Retention in all contracts
No
Retention in standard terms
No
Retention threshold
Not supplied
Standard retention rate
5.0%
Retention compared with client
18.0%
Retention compared with payments
1.0%
Reported terms and dispute process
  1. Standard payment terms

    Standard payment terms are between 30 and 60 days.

  2. Other payment-term information

    Payment terms are not altered according to the size of either the contract or the supplier.

  3. Dispute resolution process

    A dispute resolution process is included within each subcontract order placed. Should there be a dispute with a supplier or subcontractor, the company’s resolution process is to engage with other party in order to resolve the issue in a timely fashion. Any subcontractors that are not satisfied by this process are able to call upon the dispute resolution process contained within the Construction Act. Given the fast-paced nature of the fit out industry, legal recourse is not the preferred route.

Earlier payment reports (11 shown)
  1. 17.0 average days to pay9.0% outside terms
  2. 19.0 average days to pay8.0% outside terms
  3. 19.0 average days to pay7.0% outside terms
  4. 21.0 average days to pay13.0% outside terms
  5. 21.0 average days to pay6.0% outside terms
  6. 26.0 average days to pay6.0% outside terms
  7. 25.0 average days to pay3.0% outside terms
  8. 25.0 average days to pay0.0% outside terms
  9. 29.0 average days to pay5.0% outside terms
  10. 27.0 average days to pay5.0% outside terms
  11. 26.0 average days to pay8.0% outside terms
i

This is a company-submitted statutory disclosure, not a credit rating. BritDB preserves the reporting period and links the report only through the Companies House number supplied by the official service. Percentages describe payments made during that period and may change in later reports.

04 Supply-chain transparency

Modern slavery statement

Statement year 2026
Organisation
MORGAN LOVELL PLC
Group submission
Yes
Parent organisation
MORGAN SINDALL GROUP PLC
Statement period
1 January 2025 – 31 December 2025
Approved
24 February 2026
Sectors
Construction, civil engineering and building products

Organisation structure

Covered in the statement

Policies

Covered in the statement

Risk assessment

Covered in the statement

Due diligence

Covered in the statement

Training

Covered in the statement

Goals and KPIs

Covered in the statement

Full statement information supplied to the registry
Reported turnover band
Over £500 million
Years producing statements
More than 5 years
ILO indicators included
Not answered
Registry record updated
28 April 2026

Policies described

Freedom of workers to terminate employment Freedom of movement Freedom of association Prohibits any threat of violence, harassment and intimidation Prohibits the use of worker-paid recruitment fees Prohibits compulsory overtime Prohibits child labour Prohibits discrimination Prohibits confiscation of workers' original identification documents Provides access to remedy, compensation and justice for victims of modern slavery

Training described

Your whole organisation

Worker engagement and working conditions

Your suppliers Trade unions or worker representative groups Civil society organisations Professional auditors Workers within your organisation Workers within your supply chain Central or local government Law enforcement, such as police, GLAA and other local labour market inspectorates Businesses in your industry or sector

Social audits

Audit conducted by your staff

Grievance mechanisms

Using anonymous whistleblowing services, such as a helpline or mobile phone app Through trade unions or other worker representative groups

Demonstrated progress

We monitor KPIs across training, supplier engagement and whistleblowing reports to identify progress against our efforts to eliminate modern slavery and human trafficking in our business and supply chain.

Reported risks and mitigations

  • Risk: The risk of a breach by overseas suppliers at lower tiers of our supply chain (e.g. within raw materials extraction).
  • Area: Within your supply chains
  • Tier: Tier 2 suppliers Tier 3 suppliers and below
  • Group: Migrants Refugees
  • Location: United Kingdom
  • Mitigation: To mitigate risks associated with product sourcing we develop targeted policies for high risk areas. For example, in 2025, our Construction division developed a solar panel procurement policy to establish permitted purchase rules and reduce supply chain risk.
  • Risk: The risk of the use of low-skilled or migrant labour supplied by subcontractors who are at a higher risk of exploitation.
  • Area: Within your own operations
  • Mitigation: Our robust due diligence and risk assessment process includes prequalification criteria, contractual obligations and minimum training standards. We also provide modern slavery training to our suppliers through the Supply Chain Sustainability School (SCSS) and collaborate with industry organisations, peers and platforms to inform best practice.
  • Risk: The risk of ineffective right to work checks.
  • Group: Migrants
  • Mitigation: Divisions utilise digital technologies to reduce risk, strengthen compliance and safeguard tenants. For example, digital platforms like Chime are used to track operative skills and qualifications prior to site deployment to ensure that only certified professionals are sent to live jobs.
i

A registry entry records what the organisation declared in its statement. It is not an independent audit. Group statements can cover several companies; BritDB preserves each exact source-supplied company-number link and excludes approver names and email addresses.

05 Data protection

ICO fee-payer registration

Candidate match
Tier 2

Morgan Lovell PLC

Registration Z7054336

Registered from
20 August 2002
Current end date
19 August 2027
!

This is a candidate association, not an official Companies House link. The ICO file supplies no company number. The organisation name and postcode uniquely matched this company in the current snapshot. BritDB excludes all DPO contact fields and does not publish unmatched personal entries.

06 Ownership and control

People with significant control

Snapshot 25 August 2026
Current records1
Ceased records0
PSC source and official link →
Corporate entityCurrent

Morgan Sindall Group Plc

  • Owns 75% or more of shares
  • Controls 75% or more of voting rights
  • Can appoint or remove directors
Country registered
England
Legal authority
United Kingdom (England)
Legal form
Public Limited Company (Listed)
Place registered
Companies House
Registration number
00521970
Notified
6 April 2016
i

PSC records are company-filed public-register information. When the exact same displayed individual name occurs at multiple companies, BritDB offers a non-indexed cross-reference page. It is a name match only, not proof that the records describe the same person. Service addresses and partial dates of birth are deliberately omitted.

07 Charity register

Charity Commission links

Snapshot 25 August 2026
CCEW

No exact company-number link in this snapshot

The Charity Commission extract did not explicitly associate this Companies House number with a charity. BritDB does not use a name-only match to fill the gap.

i

This company-level check covers the Charity Commission for England and Wales. Links are accepted only when the official extract supplies this exact company registration number. Scottish charities now have separate OSCR profiles, but OSCR’s bulk fields do not provide a Companies House number, so BritDB does not infer a company link.

08 Northern Ireland charity register

CCNI exact company links

Snapshot 25 August 2026
CCNI

No unambiguous company-number link found

The CCNI source number did not resolve uniquely to this Companies House record. BritDB did not use a name or address match.

i

CCNI publishes company numbers without a jurisdiction prefix. BritDB links only when the plausible padded UK and NI candidates resolve to exactly one Companies House company.

09 Sanctions screening

UK Sanctions List

Report 3 September 2026
UKSL

No exact business-registration-number link found

The imported UK Sanctions List did not supply this Companies House number as a UK-linked business identifier. BritDB did not attempt a name-only match.

!

No exact link is not sanctions clearance. UK restrictions can apply through ownership or control even where an entity is not separately named. Always use the current official list and obtain appropriate advice for a legally significant decision.

10 Public procurement

Find a Tender links

Snapshot 22 August 2026
FTS

No exact GB-COH link in this snapshot

Find a Tender did not explicitly identify this Companies House number in a procurement party. BritDB did not attempt a name-only match.

i

These links use only the GB-COH identifier supplied in the procurement record. A company may have other public-sector work that is absent, older, below publication thresholds or published without a Companies House identifier.

11 Environmental register

Environment Agency waste registrations

Snapshot 25 August 2026
i

This is a privacy-reduced, exact-company subset. The full official register also includes sole traders and applicants without a matching Companies House number. Check the current Environment Agency register before relying on registration status.

12 Nature of business

Standard Industrial Classification

SIC 2007

13 Connected public record

Checks beyond the company register

Partial coverage
CCEW

Charity Commission

0 exact company-number links.

Checked
CCNI

Northern Ireland charities

0 unambiguous company-number links.

Checked
FTS

Public contracts

0 procurement processes linked by exact GB-COH identifier.

Checked
EA

Waste register

1 exact company-number registration.

Checked
GZ

Corporate notices

The Gazette is not yet connected.

Not checked
UKSL

UK Sanctions List

No exact business-registration-number link in this report.

Checked
!

A checked source with no exact link is not a clean bill of health. Unchecked sources remain unknown, while sanctions may also apply through ownership or control of a listed person or entity.

14 Record timeline

Dates in the bulk record

3 events
  1. Accounts

    Latest accounts made up to this date

  2. Confirmation statement

    Latest confirmation statement made up to this date

  3. Incorporation

    Company incorporated

15 Provenance

Sources for this profile

10 sources

Companies House, Charity Commission, OSCR and UK Sanctions List information is public-register data. BritDB reproduces and organises it with source-specific limits; official external links are kept on the dedicated source pages.