UNITED STATES
SECURITIES AND EXCHANGE COMMISSION
WASHINGTON, DC 20549
FORM SD
SPECIALIZED DISCLOSURE REPORT
Microsoft Corporation
(Exact Name of Registrant as Specified in Its Charter)
Washington
(State or Other Jurisdiction
of Incorporation)
001-37845 | 91-1144442 | |
(Commission File Number) |
(IRS Employer Identification No.) |
One Microsoft Way, Redmond, Washington | 98052-6399 | |
(Address of Principal Executive Offices) | (Zip Code) |
(425) 882-8080
(Registrants Telephone Number, Including Area Code)
(Former Name or Former Address, if Changed Since Last Report)
Check the appropriate box to indicate the rule pursuant to which this form is being filed, and provide the period to which the information in this form applies:
☒ | Rule 13p-1 under the Securities Exchange Act (17 CFR 240.13p-1) for the period from January 1 to December 31, 2019. |
Section 1 - Conflict Minerals Disclosure
Item 1.01 Conflict Minerals Disclosure and Report
Conflict Minerals Disclosure
A copy of Microsofts Conflict Minerals Report is provided as Exhibit 1.01 hereto and is publicly available at: https://aka.ms/conflictmineralreport
Item 1.02 Exhibits
The Conflict Minerals Report required by Item 1.01 is filed as Exhibit 1.01 to this form SD.
Section 2 - Exhibits
Item 2.01 - Exhibits
Exhibit 1.01 - Conflict Minerals Report
SIGNATURE
Pursuant to the requirements of the Securities Exchange Act of 1934, the registrant has duly caused this report to be signed on its behalf by the undersigned hereunto duly authorized.
MICROSOFT CORPORATION | ||
(Registrant) | ||
Date: May 29, 2020 |
/s/ BRADFORD L. SMITH | |
Bradford L. Smith | ||
President and Chief Legal Officer |
Exhibit 1.01
MICROSOFT CORPORATION
CONFLICT MINERALS REPORT
FOR 2019 REPORTING YEAR
I. | INTRODUCTION |
This Conflict Minerals Report (CMR) for MICROSOFT CORPORATION (Microsoft) is filed as an exhibit to Microsofts Form SD1 pursuant to Rule 13p-1 under the Securities Exchange Act of 1934, as amended (the Rule) for the 2019 Reporting Year (January 1, 2019-December 31, 2019). The report covers all Microsoft majority-owned subsidiaries and variable interest entities that are subject to the Rule.2 The Rule imposes certain due diligence and reporting obligations on US Securities and Exchange Commission (SEC) registrants whose manufactured products, including products contracted to be made for each registrant, contain conflict minerals necessary to the functionality or production of those products. The Rule defines conflict minerals to include cassiterite, columbite-tantalite, gold, wolframite and their derivatives limited to tin, tantalum, tungsten, and gold (collectively referred to as 3TGs).
Microsoft develops, licenses, and supports a wide range of software products, services, and hardware devices that deliver new opportunities, greater convenience, and enhanced value to peoples lives. Microsoft devices contain one or more 3TGs and are within the Rules scope. During the 2019 Reporting Year, covered devices included the Surface line of computers, tablets, and accessories; Xbox gaming/entertainment consoles and accessories; personal computing accessories (mice, headsets, and keyboards); HoloLens, a self-contained holographic computer; and service, spare, and replacement parts for such devices.
Microsoft is committed to the responsible sourcing of raw materials globally in support of human rights; labor, health, and safety; environmental protection; and business ethics and is committed to sourcing minerals for use in our devices that do not directly or indirectly finance armed conflict or benefit armed groups. Our commitment and strategy are outlined in Microsoft Devices Responsible Sourcing of Raw Materials (RSRM) policy. Our RSRM policy establishes a holistic approach to the responsible sourcing of raw materials. We hold ourselves and our supply chain accountable to address the human rights; labor, health, and safety; environmental protection; and business ethics risks associated with raw materials extraction, harvesting, processing, refining, and transportation. We commit to a future where all raw materials used in our devices, unbounded by specific materials or locations, are sourced from responsible suppliers. We commit to the responsible sourcing from Conflict Affected and High Risk Areas (CAHRAs), including the Democratic Republic of the Congo (DRC) or DRC-adjoining countries (each a Covered Country under the Rule), in order to minimize the harmful societal and economic impacts that would be caused by an inadvertent de facto embargo of minerals from such regions.
1 | Please see the Securities and Exchange Commissions Form SD for more information about the Rules reporting requirements. |
2 | Throughout this CMR, we use Microsoft, Microsoft Devices, we, our, us and similar terms to refer to Microsoft Corporation and its subsidiaries and various interest entities subject to the Rule (collectively, Microsoft), unless otherwise indicated. |
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On the basis of our Reasonable Country of Origin Inquiry (RCOI), we determined that 3TGs that were necessary to the functionality or production of devices we manufactured or contracted to manufacture during the 2019 Reporting Year may have originated in a Covered Country. Therefore, we are submitting this CMR, which describes the conflict minerals due diligence we performed during the 2019 Reporting Year, as an exhibit to our Form SD. We have published the CMR externally on our Devices Responsible Sourcing website.
Based on our RCOI and due diligence assessment, Microsoft found no reasonable basis for concluding that any 3TG Smelter or Refiner (SOR) that was identified in Microsoft Devices Supply Chain for the 2019 Reporting Year sourced 3TG that directly or indirectly financed or benefitted armed groups in a Covered Country. Some noteworthy 2019 Reporting Year accomplishments were as follows:
| All in-scope suppliers provided a response to Microsoft Devices Conflict Minerals Reporting Template (CMRT) survey request a 100% response rate. |
| 232 out of 233 SORs (99.6%) identified in Microsoft Devices Supply Chain for the 2019 Reporting Year were conformant to an independent, third-party audit program for 3TGs, regardless of the mineral country of origin. |
| Of the 43 of the 233 3TG SORs that sourced 3TGs from a Covered Country, 100% were conformant to an independent, third-party audit program for 3TGs. |
This CMR contains links to internal and external websites for informational purposes only. References to such websites and information available through such websites are not incorporated into this CMR. Additionally, this CMR includes forward-looking statements, within the meaning of the Private Securities Litigation Reform Act of 1995. These forward-looking statements are based on current expectations and assumptions regarding the future implementation of our responsible sourcing program and are subject to change. Forward-looking statements are not guarantees of future performance. Statements in this CMR are based on our due diligence activities that were performed in good faith and to the best of our ability. They are based on information that was available to us at the time of this filing. Factors that could affect the accuracy of such statements include, but are not limited to, incomplete or incorrect data, amendments to the Rule or SEC guidance, or other issues.
II. | DUE DILIGENCE FRAMEWORK |
Our CMR is based on Microsoft Devices Due Diligence Framework, which conforms in all material respects to the Organisation for Economic Co-operation and Development (OECD) Due Diligence Guidance for Responsible Supply Chains of Minerals from Conflict-Affected and High-Risk Areas and its related Supplements (OECD Guidance). The OECD Guidance provides a detailed due diligence framework to support responsible global supply chain management of 3TGs and other mineral resources and is currently the leading international framework for raw material due diligence. The OECD Guidance applies to Microsoft as a downstream company.
As a downstream company, Microsoft does not directly source from 3TG raw material providers. Instead, we contract to manufacture products and components from our direct suppliers, which source materials, components, and products from their upstream suppliers, which, in turn, source
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materials, components and products from their upstream suppliers. Our supply chain contains many layers of upstream suppliers positioned between ourselves and 3TG raw material mines and SORs. In this CMR, we refer to our directly contracted suppliers as in-scope suppliers as they are the entities with which we contract to manufacture our devices pursuant to the Rule.3
We use contractual provisions to legally bind our in-scope suppliers to information disclosure and audit requirements regarding the sources and chains of custody of 3TGs necessary to the functionality or production of our manufactured devices. Because we lack contractual mechanisms to force upstream suppliers to provide this information, our due diligence efforts are focused on our in-scope suppliers where we exert our strongest influence to impact supply chain sourcing decisions combined with our use of independent third-party audit programs for 3TGs to confirm SOR conformance. This is consistent with the Rule and OECD Guidance. The graphic below portrays Microsofts span of influence across the 3TG supply chain.
Microsoft Span of Influence across 3TG Supply Chain
A. | Step #1: Establish Strong Company Management Systems |
1. | Company Policies |
Microsofts commitment to corporate responsibility and integrity guides everything we do as a company. We have high ethical standards governing the way we conduct our business which also apply to our suppliers and business partners. Microsoft policies include the Microsoft Global Human Rights Statement, Standards of Business Conduct, and our Supplier Code of Conduct, which set expectations for Microsoft operations and those of our suppliers concerning legal and regulatory compliance; business practices and ethics; human rights and fair labor practices; health and safety; environmental protection; and data and privacy protection.
Our policies are based on internationally recognized standards, including the following declaration and covenants: Universal Declaration of Human Rights, International Covenant on Civil and Political Rights, and International Covenant on Economic, Social and Cultural Rights. Our business operations are informed by human rights guidelines described in the following documents: International Labour Organizations (ILO) Declaration on Fundamental Principles and Rights at Work, OECD Guidelines
3 | Under SEC Guidance, a company is considered to be contracting to manufacture a product if it has some actual influence over the manufacturing of that product. This determination is based on facts and circumstances, considering the degree of influence a company exercises over the products manufacturing. |
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for Multinational Enterprises, and the United Nations Global Compact. As a global Information and Communications Technology company operating in more than 100 countries, we respect all human rights - civil, political, economic, social, and cultural; and we expect our suppliers to do the same.
Microsoft Devices RSRM policy describes our commitment and strategy to responsibly source raw materials used in our manufactured products. Microsoft is committed to indirectly source raw materials in support of human rights; labor, health and safety; environment; and ethics. This pledge extends to the harvesting, extraction, and transportation of raw materials globally and to all substances used in our devices unbounded by specific materials or locations. This policy supports implementation of programs that are region-specific and advance the use of responsibly sourced minerals in our devices.
2. | Internal Management Team and Corporate Approval |
A cross-functional team supports Microsofts responsible sourcing and CMR compliance activities. Microsofts Senior Director of Responsible Sourcing sponsors the team. The team consists of representatives from Manufacturing and Sourcing; Responsible Sourcing; Corporate, External and Legal Affairs; Finance; Information Services; Product Environmental Compliance; Global Trade; and Public Relations. The team meets regularly to assess the programs progress, identify steps necessary to meet our compliance obligations, and identify areas for continuous improvement. The team also trains other internal stakeholders on their roles and responsibilities for implementing and supporting Microsofts responsible sourcing program. Team members develop, review, and submit the final CMR to Microsofts President, Brad Smith, for approval and signature before being filed as an Exhibit to Microsofts Form SD pursuant to the Rule.
3. | System of Supply Chain Controls, Data Disclosure, and Due Diligence Assurance |
Microsoft Devices Due Diligence Framework is based on a system of supply chain controls, data disclosure, and due diligence assurance. As a standard contractual requirement, we require our in-scope suppliers to provide us with information concerning the 3TG and other materials that are contained in the products and components they supply to us. Our environmental compliance specifications - H00594, Restricted Substances for Hardware Products; and H00642, Microsoft Restricted Substances Control System for Hardware Products (both available at this link) - require all in-scope suppliers to declare every substance contained in the materials, components, and products supplied to us, including 3TGs, by weight.
We also require all in-scope suppliers to annually submit a CMRT, which provides us with the source and chain of custody information for the 3TG that are contained in the products and components they supply to us. Our contracts also require our in-scope suppliers to require their upstream suppliers to meet these material disclosure requirements. Microsoft evaluates these supply chain disclosures to ensure data integrity and assess sourcing risk. Microsoft investigates any potential nonconformances and engages with such suppliers to address any failure to meet Microsoft specifications and requirements.
Microsoft Devices Supplier Social and Environmental Accountability Manual (H02050) provides an operational framework for Microsoft to ensure full supplier conformance with Microsofts Supplier Code of Conduct and other responsible sourcing requirements. H02050 establishes a minimum set
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of requirements that suppliers must meet, including compliance with all applicable laws and regulations with respect to labor, ethics, occupational health and safety, and protection of the environment. Suppliers are encouraged to go beyond legal compliance in the areas of ethics, labor management, environmental, and health and safety topics by committing to meet relevant international standards (i.e. ILO and relevant United Nations conventions) and to commit to a process of continuous improvement. Suppliers are required to source responsibly, especially regarding certain raw materials, including 3TGs.
H02050 requires all suppliers to:
| Adopt and clearly communicate to their suppliers and the public, a company policy for raw material sourcing and their commitment to conducting due diligence to source raw materials from responsible sources; |
| Exercise due diligence on the source and chain of custody of high-risk raw materials, including 3TGs, contained in materials, products, or parts supplied to Microsoft; |
| Identify each SOR that has processed or otherwise handled 3TGs contained in those materials, products, or parts; |
| Encourage those SORs to participate in the Responsible Mining Assurance Program (RMAP) or an equivalent independent, third-party audit program for 3TGs; |
| Confirm that 3TGs in their supply chain are sourced from available SORs that are conformant with the RMAP or an equivalent an independent, third-party audit program for 3TGs; and |
| Timely communicate potential sourcing risks to Microsoft and propose a contingency plan and mitigation strategy to achieve conformance. |
Suppliers are required to establish a system to gather, examine, and verify traceability information of raw materials, including 3TGs, and request their upstream suppliers to disclose the location of extraction or harvesting activities or recycling sources in the raw material supply chain. Suppliers are required to engage with upstream suppliers to identify any potential warning signs in the supply chain. Suppliers are required to assess responsible sourcing risks in their supply chains by reviewing relevant audit information, publicly available policies and reports, and by conducting a systematic third-party risk analysis.
This transfer of material declaration data, source and chain of custody information, and risk assessment procedures across the raw material supply chain enables and facilitates raw material due diligence, mapping, and transparency. This system of supply chain controls allows Microsoft to establish and enforce its responsible sourcing policies and specifications throughout its supply chain to ensure that disclosed SORs are conformant to an independent, third-party audit program for 3TGs.
If we find that a supplier has introduced responsible sourcing risk to the Microsoft supply chain, such as using an upstream SOR that does not conform to Microsofts requirements, Microsoft requires corrective action to address the non-conformance. The response time for corrective action is calibrated to the severity of the identified risk. Risks are mitigated by supplier engagement, corrective
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actions, training, and/or additional audits. These controls and related documentation are detailed in H02050 and Microsoft internal operating procedures.
Microsoft is a long-standing member of the Responsible Business Alliance (RBA). In 2008, the RBA initiated the Conflict Free Smelter Initiative, which is now known as the Responsible Minerals Initiative (RMI). The RMI is one of the most utilized and respected resources for supply chain minerals due diligence and is aligned to the OECD Guidance. The RMI operates and manages the RMAP, which uses independent, third-party audits to assess, monitor, and assure whether SORs process 3TGs from sources that directly or indirectly finance or benefit armed groups in a CAHRA, including Covered Countries.
Microsoft works with in-scope suppliers to ensure their use of SORs that are conformant to RMAP or another equivalent independent, third-party audit program for 3TGs. If a supplier does not commit to sourcing from a conformant SOR within a reasonable time period, Microsoft places the supplier on restricted status and no new Microsoft business is awarded until the non-conformance is resolved. Microsoft may also terminate its business relationship with the supplier.
We also work outside of our supply chain to promote responsible mining practices in CAHRAs, including Covered Countries, by partnering with organizations, including the RMI, the Public-Private Alliance for Responsible Minerals Trade (PPA), and others. In this manner, we go beyond the minimum due diligence established by the OECD Guidance to assess and reduce our supply chain sourcing risk and improve working conditions in raw material supply chains. Highlights from our external engagements that promote and support responsible mining are described below:
| Initiative for Responsible Mining Assurance (IRMA): IRMA has established a multi-stakeholder and independently verifiable responsible mining assurance system that improves social and environmental performance through the development of global mining standards for large-scale mines. In 2019, Microsoft conducted mine outreach on behalf of IRMA to further discussion and engagement around Mine Measure. Mine Measure is a new IRMA self-assessment tool that provides mining companies with a mechanism to assess and share their performance on social and environmental sustainability risk indicators. |
| Alliance for Responsible Mining (ARM): ARM sets standards for responsible artisanal and small-scale mining (ASM) and supports and creates opportunities for gold miners, providing them with incentives to become responsible economic, technological, and environmental enterprises. Seed funding from Microsoft helped ARM secure further resources to develop a Market Entry Standard for ASM gold mining. Microsoft continues to support an ASM gold mining project in Peru which has attracted additional donors, furthering ARMs efforts to develop certified gold mining sites throughout the region. In 2019, ARM focused on increasing the number of certified gold mines in Peru and conducted a viability assessment of new mining organizations. In Peru, four mining organizations are certified, three of which are in the process of recertification; one additional mine is active in the external evaluation process. The organization also facilitated the exchanges of good practices, and promotion of assurance standards, including the Fairmined Standard, which creates opportunities for ASM gold miners, improves working conditions, promotes responsible environmental management and contributes to the well-being of mining families and communities. |
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4. | Supplier Engagement to Ensure Conformance |
We work closely with our in-scope suppliers to ensure that they share and extend our responsible sourcing commitment with their upstream suppliers. The RMIs Reasonable Practices to Identify Sources of Conflict Minerals: Practical Guidance for Downstream Companies states, all of the [OECD Guidances] red flag triggers are contained in the upstream portion of the supply chain (e.g., SORs and mine of origin). Because these supply chain triggers are associated with upstream sources rather than downstream manufacturers, such as Microsoft, we mitigate raw material sourcing risks by working with our in-scope suppliers to identify raw material SORs and encourage those facilities to become conformant to RMAP or other independent third-party audit programs or use an alternate SOR that is conformant. We also participate in industry-wide initiatives that assess SOR conformance with the OECD Guidance.
We drive responsible sourcing through our extended supply chain by surveying our in-scope suppliers sourcing of raw materials in their upstream supply chains by using contractual provisions and Microsoft specifications. We conduct audits of our contracted suppliers to verify conformance to those requirements. We also use tools that include supplier capability building and supplier training, and we support broader industry efforts to promote responsible mining and sourcing. More information on these supplier engagement tools is set forth below.
| Supplier Requirements: We require our in-scope suppliers to meet our material disclosure requirements and related responsible sourcing policies through contractual provisions and product specifications. We communicate, monitor, and track supplier adherence to these requirements, ensuring conformance through the Microsoft Audit Management System (AMS) and maintain supplier records for a minimum of five years. These policies and procedures are detailed above. |
| Training: We train our in-scope suppliers to meet our responsible sourcing requirements through classes, educational forums, and direct communications. In March 2019, we hosted the 2019 Responsible Sourcing Supplier Forum in China, which was attended by 189 supplier factory representatives. This event provided a key opportunity for Microsoft direct communication with our suppliers regarding our responsible sourcing requirements. In June 2019, we officially launched the online component of our SEA Academy to scale social and environmental accountability training to all Microsoft Devices suppliers. We educate suppliers management, workers and third-party auditors as well as internal Microsoft teams with the goal of increasing sustainability and promoting aligned collaboration throughout our supply chain. The SEA Academy is a piece of the supplier on-boarding process. All existing suppliers and new suppliers are required to complete the Supplier SEA mandatory courses to understand Microsoft SEA requirements. Webinars were offered in July 2019 to help suppliers understand how to access and utilize the resources available. |
| Capability Building and Partnerships: We work closely with our in-scope suppliers and third- party auditors to build our suppliers raw material due diligence capabilities and ensure conformance. We invest in industry programs, such as the |
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RMAP, to increase suppliers abilities and provide platforms for sharing best practices. The Microsoft SEA Academy provides on-line training modules aimed at building our suppliers capabilities. We educate our suppliers management teams, workers, and third-party auditors and Microsoft internal teams, including sourcing managers, factory managers, and new product introduction teams, with the goal of promoting aligned collaboration around our supply chain responsible sourcing programs and policies. |
| Supplier Audits and Conformance Assurance: Microsoft conducts audits of its directly contracted suppliers to assess their conformance to Microsoft requirements. All newly contracted suppliers undergo an Initial Capability Assessment (ICA) prior to onboarding and Sustaining Maintenance Audits (SMA) on an annual, biannual, or triannual basis, depending on their risk level, to verify their initial conformance and to confirm their sustained conformance to our requirements. Suppliers must establish and maintain a corporate policy and effective procedures for the responsible sourcing of raw materials across their supply chains. Microsoft selects and retains only those business partners that have committed to meet these requirements. A failure by a supplier or their upstream supplier to conform to these requirements may constitute a breach of the suppliers contractual agreement with Microsoft, resulting in possible business termination. |
5. | Grievance Mechanism |
Microsoft is committed to providing an anonymous grievance reporting mechanism for our employees and other stakeholders who may be impacted by our operations. Microsofts Business Conduct Hotline allows employees and others to anonymously ask compliance questions or report concerns regarding Microsofts business operations, including our responsible sourcing of raw materials policy or those of our suppliers. Additionally, Microsoft continued to scale its Worker Voice Hotline Program in our supplier factories. This program provides workers with a reliable and anonymous reporting channel managed by a neutral third-party provider. We investigate and, where appropriate, take remedial action to address reported concerns. We also participate in the development of industry grievance mechanisms that seek to address responsible sourcing of raw materials related issues in the Covered Country region.
B. | Step #2: Identify and Assess Risk in the Supply Chain |
In order to make an RCOI determination for purposes of the Rule, Microsoft took the following steps, which are consistent with the OECD Guidance and our internal policies and procedures, to identify and assess conflict mineral sourcing risk in our supply chain during the 2019 Reporting Year:
| Following the Rule and SEC guidance, we generated a list of in-scope suppliers, consisting of suppliers with which we directly contracted for the manufacture of our products during the 2019 Reporting Year. |
| We surveyed those in-scope suppliers to determine whether they used any 3TGs in the products or parts supplied to Microsoft during the 2019 Reporting Year by utilizing the CMRT and the services of a third-party solution provider. |
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| Based on our suppliers CMRT responses, we excluded suppliers that did not report the use of 3TGs in the products or parts supplied to Microsoft during the 2019 Reporting Year from our in-scope supplier list. |
| We reviewed all in-scope supplier CMRT responses to validate their completion and to identify any contradictions or inconsistencies. We worked with our third-party solution provider to obtain updated responses from suppliers when necessary. |
We identified 178 in-scope suppliers that reported the use of 3TGs in the products or parts supplied to Microsoft during the 2019 Reporting Year. Of these suppliers, we received CMRT responses from 178 of those suppliers a 100% response rate.
From the CMRTs received from those 178 in-scope suppliers, we determined that 233 SORs were identified as processing 3TGs in Microsoft Devices for the 2019 Reporting Year, including 3TGs sourced from Covered Countries.
Figure 1. Response Rate for In-scope Suppliers (2013-2019 Reporting Years)
C. | Step #3: Design and Implement a Strategy to Respond to Risks |
Due to our RCOI, we determined that the 3TGs that were necessary to the functionality or production of devices we contracted to manufacture during the 2019 Reporting Year may have originated in one or more Covered Country and may not have been from recycled or scrap sources. Accordingly, we designed and performed due diligence on the source and chain-of-custody of those 3TGs to address our conflict minerals sourcing risk.
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1. | Microsoft Supplier Specifications - H00594, H00642, and H02050 |
For the 2019 Reporting Year, Microsoft required its in-scope suppliers to conduct due diligence to address the potential sourcing of 3TGs from CAHRAs, including Covered Countries, through contract requirements incorporating Microsofts supplier specifications and responsible sourcing requirements as detailed above.
2. | Implementation of OECD Guidance |
The OECD Guidance applies to suppliers operating in a CAHRA or potentially supplying or using 3TGs from a CAHRA, including a Covered Country. The Guidance states that companies should review their mineral or metal sourcing practices to determine if the Guidance applies to them. The following red flags are listed as triggering the OECD due diligence procedures:
| The minerals originated from or were transported via a CAHRA; |
| The minerals were claimed to have originated from a country that has limited known reserves for the mineral in question; |
| The minerals were claimed to have originated from a country in which minerals from a CAHRA are known to transit; |
| The companys suppliers or other known upstream companies had shareholder or other interests in companies that supply minerals or operate in one of the red flag locations of mineral origin and transit; and |
| The companys suppliers or other known upstream companies were known to have sourced minerals from a red flag location of mineral origin and transit during the last 12 months. |
Microsoft screened its in-scope supplier CMRT data for the 2019 Reporting Year against these red flag triggers to assess the suppliers that required due diligence per the OECD Guidance.
D. | Step #4: Independent Third-Party Audits of Supply Chain Due Diligence |
As contemplated by Step #4 of the OECD Guidance, our due diligence program leveraged independent SOR audits to provide assurance that the 3TG SORs that were identified in our supply chain for the 2019 Reporting Year conducted an appropriate level of conflict minerals due diligence. Microsoft obtained SOR data from the RMAP Conformant Smelter List4 using Reasonable Country of Origin Inquiry Data for member MSFT and used the SOR data to assess the conflict mineral audit status of our in-scope suppliers and to support our due diligence findings. Microsoft also participated in RMAPs Smelter Engagement Team during the 2019 Reporting Year to promote SOR conformance.
4 | The RMAP Conformant Smelter list identifies the SORs that have undergone conformance audits through the RMAP or equivalent independent, third-party audit programs for 3TGs. |
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Microsofts Responsible Sourcing program includes an escalation process that requires an in-scope supplier to find alternative upstream suppliers if it is found to be sourcing from a non-conformant SOR or risk termination as a Microsoft supplier. We contact all non-conformant SORs identified in our supply chain each Reporting Year and encourage such SORs to participate in the RMAP. We also require suppliers reporting non-conformant SORs to contact these SORs and require such SORs to join the RMAP. We actively support outreach events to increase RMAP SOR conformance. During the 2019 Reporting Year, we did not discover a SOR nonconformance that would require contract termination.
E. | Step #5: Report on Supply Chain Due Diligence |
Per the Rule, we have filed our CMR with the SEC and concurrently posted it on our Microsoft Devices Responsible Sourcing website. The results of our Responsible Sourcing program are also presented in Microsofts FY19 Devices Sustainability Report. The Microsoft Corporate Social Responsibility website provides additional information about Microsofts RSRM Program. Microsoft Devices requires our suppliers to implement high standards for responsible sourcing. Each year, Microsoft Devices publishes a list of its Top 100 Production Suppliers. Our FY19 Devices Sustainability Report also contains information regarding our RSRM program, including details regarding our sourcing of cobalt. These disclosures meet the fifth step of the OECD Guidance.
III. | CONFLICT MINERAL DISCLOSURE |
A. | 3TG SORs Identified in Microsoft Devices Supply Chain |
Our 2019 Reporting Year supply chain due diligence identified 278 potential SORs that were named by our in-scope suppliers as processing 3TGs. We verified that the identified SORs were actual SORs and eligible to participate in the RMAP audit program or an equivalent independent, third-party audit program for 3TGs. After verification, we validated the SOR data by removing duplicate SORs, reconciling multiple SOR names for a single entity, and eliminating otherwise invalid SOR names. Through this reconciliation process, we determined that 233 SORs processed 3TGs in Microsoft Devices 2019 Reporting Year supply chain.
B. | Reasonable Countries of Origin of 3TGs |
Microsoft obtained Reasonable Country of Origin data through our membership in the RMAP using the Reasonable Country of Origin Inquiry Data for member MSFT. We used this data to determine the 3TG country of origin for the 233 SORs identified in Microsoft Devices 2019 supply chain. The RMAP classifies SOR audit status in the following manner:
| Conformant: SOR has been audited and found to conform with a relevant, third-party audit protocol, including RMAP, London Bullion Market Association (LBMA), or Responsible Jewellery Council (RLC); and |
| Non-Conformant: SOR was audited but found not to conform to a relevant, third-party audit protocol or failed to renew its assessment. |
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For the identified 2335 3TG SORs for which minerals sourcing information was available from RMAP or an equivalent, independent, third-party audit program for 3TGs:6
| 232 SORs (99.6%) were conformant; |
| 43 SORs (18.5%) sourced from Covered Countries, of which 43 (100%) were conformant; and |
| 109 SORs (46.8%) processed recycled or scrap material. |
Based on this due diligence assessment, Microsoft found no reasonable basis for concluding that any SOR sourced 3TGs in a manner that directly or indirectly financed or benefitted armed groups in a Covered Country.
The Figures below provide a visual depiction of the 233 SORs identified in Microsoft Devices 2019 supply chain by 3TG audit status (RMAP and/or LBMA). Figure 2 categorizes the SORs by 3TG audit status and Reporting Year. Figure 3 categorizes the SORs by 3TG mineral and audit status for the 2019 Reporting Year.
Figure 2. Identified SORs by Audit Status (2013-2019 Reporting Years)
5 | Number includes both direct and indirect sourcing. |
6 | Three smelters were conformant with LMBA only and were not listed on the RMAP Smelter List. |
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Figure 3: Identified SORs by 3TG and Audit Status for 2019 Reporting Year
Figures 4-7 show the geographic distribution of the 233 SORs identified in the Microsoft Devices supply chain by 3TG mineral for the 2019 Reporting Year. The circle size corresponds to the relative number of times our in-scope suppliers identified each 3TG SOR in their CMRT form.
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Figure 4: Location and Relative Number of Identified SORs - Tin
Figure 5: Location and Relative Number of Identified SORs -Tantalum
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Figure 6: Location and Relative Number of Identified SORs - Tungsten
Figure 7: Location and Relative Number of Identified SORs - Gold
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Appendix A provides the complete list of 233 SORs identified in Microsoft Devices supply chain which processed 3TGs during the 2019 Reporting Year. Appendix A lists each SOR by mineral, official name, and country of operation.
C. | 3TG Countries of Origin |
The table below lists the countries of origin for the 233 SORs identified in Microsoft Devices supply chain which processed 3TGs during the 2019 Reporting Year.
3TG SOR Countries of Origin | ||
Argentina Australia Austria Benin Bolivia Brazil Burundi Chile China Colombia Congo, Democratic Republic of the Ecuador Eritrea Ethiopia France Guinea India Indonesia Japan Laos Madagascar Malaysia Mali Mauritania |
Mongolia Mozambique Myanmar Nicaragua Niger Nigeria Peru Portugal Russia Rwanda Sierra Leone Somaliland Spain Swaziland Taiwan Thailand Togo Uganda United Kingdom United States of America Uzbekistan Venezuela Vietnam |
IV. | IMPROVEMENTS |
Each year, we incorporate continuous improvement in the implementation of our RSRM policy. Our improvements, when compared to our 2018 Reporting Year, include the following:
| All in-scope suppliers reported CMRT data to Microsoft, resulting in a response rate increase from 98% to 100% - a response rate that was largely driven by increased stakeholder outreach; |
| The number of conformant 3TG SORs identified in Microsoft Devices supply chain was 232 out of 233 total SORs an increase from 84.6% to 99.6%; |
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| The number of conformant 3TG SORs identified in Microsoft Devices supply chain, which sourced from a Covered Country, was 43 out of 43 a 100% conformance rate. |
| We ensured our commitment to transparency by publicly reporting our responsible sourcing efforts and our RSRM programs; |
| We continued our support our suppliers to increase their responsible sourcing capabilities through supplier forums, webinars, in-person trainings, and by providing technical resources; and |
| We deepened and extended our engagements with external responsible sourcing organizations, including but not limited to the RMI, that are committed to advancing responsible sourcing on a global basis. |
V. | FUTURE ACTIONS |
Microsoft is committed to the responsible sourcing of raw materials in support of human rights; labor, health and safety; and environmental protection. We will continue to advance implementation of our RSRM policy in our Devices supply chain to promote supply chain identification, traceability, risk assessment, and due diligence. Going forward, Microsoft will remain focused on internal and external efforts to promote the responsible sourcing of minerals from CAHRAs, including Covered Countries, and the following:
| Expand our knowledge about 3TGs, cobalt, and other raw materials contained in our Devices supply chain in order to effectively implement our RSRM strategy to promote the responsible sourcing of raw materials used in Microsoft devices; |
| Require our in-scope suppliers to meet our requirements for responsibly sourcing raw materials and finding alternative upstream suppliers if they are found to be sourcing from non-conformant SORs; |
| Engage with our in-scope suppliers so that they utilize supplier best practices and tools for responsibly sourcing raw materials from CAHRAs, including Covered Countries; |
| Use digital technology to improve supply chain information and risk mitigation; and |
| Further our engagement and partnerships with industry organizations and NGOs to improve mineral traceability, establish global responsible sourcing standards, and support due diligence programs in the mineral supply chain. |
17
APPENDIX A
Identified SORs in Microsoft Devices Supply Chain for 2019 Reporting Year
This Appendix lists the 233 SORs, which were identified in Microsoft Devices supply chain and which processed 3TGs during the 2019 Reporting Year.
Mineral |
Official Name |
Country of Operation | ||
Gold |
8853 S.p.A. | Italy | ||
Tungsten |
A.L.M.T. Corp. | Japan | ||
Tungsten |
ACL Metais Eireli | Brazil | ||
Gold |
Advanced Chemical Company | United States | ||
Gold |
Aida Chemical Industries Co., Ltd. | Japan | ||
Gold |
Al Etihad Gold Refinery DMCC | United Arab Emirates | ||
Gold |
Allgemeine Gold-und Silberscheideanstalt A.G. | Germany | ||
Gold |
Almalyk Mining and Metallurgical Complex (AMMC) | Uzbekistan | ||
Tin |
Alpha | United States | ||
Gold |
AngloGold Ashanti Corrego do Sitio Mineracao | Brazil | ||
Gold |
Argor-Heraeus S.A. | Switzerland | ||
Gold |
Asahi Pretec Corp. | Japan | ||
Gold |
Asahi Refining Canada Ltd. | Canada | ||
Gold |
Asahi Refining USA Inc. | United States | ||
Gold |
Asaka Riken Co., Ltd. | Japan | ||
Tantalum |
Asaka Riken Co., Ltd. | Japan | ||
Tungsten |
Asia Tungsten Products Vietnam Ltd. | Viet Nam | ||
Gold |
AU Traders and Refiners | South Africa | ||
Gold |
Aurubis AG | Germany | ||
Gold |
Bangalore Refinery | India | ||
Gold |
Bangko Sentral ng Pilipinas (Central Bank of the Philippines) | Philippines | ||
Gold |
Boliden AB | Sweden | ||
Gold |
C. Hafner GmbH + Co. KG | Germany | ||
Gold |
CCR Refinery - Glencore Canada Corporation | Canada | ||
Gold |
Cendres + Metaux S.A. | Switzerland | ||
Tantalum |
Changsha South Tantalum Niobium Co., Ltd. | China | ||
Tungsten |
Chenzhou Diamond Tungsten Products Co., Ltd. | China | ||
Tin |
Chenzhou Yunxiang Mining and Metallurgy Co., Ltd. | China | ||
Tin |
Chifeng Dajingzi Tin Industry Co., Ltd. | China | ||
Gold |
Chimet S.p.A. | Italy | ||
Tin |
China Tin Group Co., Ltd. | China | ||
Tungsten |
Chongyi Zhangyuan Tungsten Co., Ltd. | China | ||
Gold |
Chugai Mining | Japan | ||
Tantalum |
D Block Metals, LLC | United States | ||
Gold |
DODUCO Contacts and Refining GmbH | Germany | ||
Gold |
Dowa | Japan | ||
Tin |
Dowa | Japan |
A-1
Gold |
DS PRETECH Co., Ltd. | Korea | ||
Gold |
DSC (Do Sung Corporation) | Korea | ||
Gold |
Eco-System Recycling Co., Ltd. | Japan | ||
Gold |
Eco-System Recycling Co., Ltd. North Plant | Japan | ||
Gold |
Eco-System Recycling Co., Ltd. West Plant | Japan | ||
Tin |
EM Vinto | Bolivia | ||
Gold |
Emirates Gold DMCC | United Arab Emirates | ||
Tantalum |
Exotech Inc. | United States | ||
Tantalum |
F&X Electro-Materials Ltd. | China | ||
Tin |
Fenix Metals | Poland | ||
Tantalum |
FIR Metals & Resource Ltd. | China | ||
Tungsten |
Fujian Ganmin RareMetal Co., Ltd. | China | ||
Tungsten |
Fujian Jinxin Tungsten Co., Ltd. | China | ||
Tungsten |
Ganzhou Haichuang Tungsten Co., Ltd. | China | ||
Tungsten |
Ganzhou Huaxing Tungsten Products Co., Ltd. | China | ||
Tungsten |
Ganzhou Jiangwu Ferrotungsten Co., Ltd. | China | ||
Tungsten |
Ganzhou Seadragon W & Mo Co., Ltd. | China | ||
Gold |
Geib Refining Corporation | United States | ||
Tin |
Gejiu Kai Meng Industry and Trade LLC | China | ||
Tin |
Gejiu Non-Ferrous Metal Processing Co., Ltd. | China | ||
Tin |
Gejiu Yunxin Nonferrous Electrolysis Co., Ltd. | China | ||
Tin |
Gejiu Zili Mining And Metallurgy Co., Ltd. | China | ||
Tantalum |
Global Advanced Metals Aizu | Japan | ||
Tantalum |
Global Advanced Metals Boyertown | United States | ||
Tungsten |
Global Tungsten & Powders Corp. | United States | ||
Gold |
Gold Refinery of Zijin Mining Group Co., Ltd. | China | ||
Tin |
Guangdong Hanhe Non-Ferrous Metal Co., Ltd. | China | ||
Tungsten |
Guangdong Xianglu Tungsten Co., Ltd. | China | ||
Tantalum |
Guangdong Zhiyuan New Material Co., Ltd. | China | ||
Tin |
Guanyang Guida Nonferrous Metal Smelting Plant | China | ||
Tantalum |
H.C. Starck Co., Ltd. | Thailand | ||
Tantalum |
H.C. Starck Hermsdorf GmbH | Germany | ||
Tantalum |
H.C. Starck Inc. | United States | ||
Tantalum |
H.C. Starck Ltd. | Japan | ||
Tungsten |
H.C. Starck Smelting GmbH & Co. KG | Germany | ||
Tantalum |
H.C. Starck Smelting GmbH & Co. KG | Germany | ||
Tantalum |
H.C. Starck Tantalum and Niobium GmbH | Germany | ||
Tungsten |
H.C. Starck Tungsten GmbH | Germany | ||
Gold |
HeeSung Metal Ltd. | Korea | ||
Gold |
Heimerle + Meule GmbH | Germany | ||
Tantalum |
Hengyang King Xing Lifeng New Materials Co., Ltd. | China | ||
Gold |
Heraeus Metals Hong Kong Ltd. | China | ||
Gold |
Heraeus Precious Metals GmbH & Co. KG | Germany | ||
Tin |
HuiChang Hill Tin Industry Co., Ltd. | China | ||
Tin |
Huichang Jinshunda Tin Co., Ltd. | China | ||
Tungsten |
Hunan Chenzhou Mining Co., Ltd. | China |
A-2
Tungsten |
Hunan Chuangda Vanadium Tungsten Co., Ltd. Wuji |
China | ||
Tungsten |
Hunan Chunchang Nonferrous Metals Co., Ltd. |
China | ||
Tungsten |
Hunan Litian Tungsten Industry Co., Ltd. |
China | ||
Tungsten |
Hydrometallurg, JSC |
Russia | ||
Gold |
Inner Mongolia Qiankun Gold and Silver Refinery Share Co., Ltd. | China | ||
Gold |
Ishifuku Metal Industry Co., Ltd. | Japan | ||
Gold |
Istanbul Gold Refinery | Turkey | ||
Gold |
Italpreziosi | Italy | ||
Gold |
Japan Mint | Japan | ||
Tungsten |
Japan New Metals Co., Ltd. | Japan | ||
Tungsten |
Jiangwu H.C. Starck Tungsten Products Co., Ltd. | China | ||
Gold |
Jiangxi Copper Co., Ltd. | China | ||
Tantalum |
Jiangxi Dinghai Tantalum & Niobium Co., Ltd. | China | ||
Tungsten |
Jiangxi Gan Bei Tungsten Co., Ltd. | China | ||
Tin |
Jiangxi New Nanshan Technology Ltd. | China | ||
Tungsten |
Jiangxi Tonggu Non-ferrous Metallurgical & Chemical Co., Ltd. | China | ||
Tantalum |
Jiangxi Tuohong New Raw Material | China | ||
Tungsten |
Jiangxi Xinsheng Tungsten Industry Co., Ltd. | China | ||
Tungsten |
Jiangxi Yaosheng Tungsten Co., Ltd. | China | ||
Tantalum |
JiuJiang JinXin Nonferrous Metals Co., Ltd. | China | ||
Tantalum |
Jiujiang Tanbre Co., Ltd. | China | ||
Tantalum |
Jiujiang Zhongao Tantalum & Niobium Co., Ltd. | China | ||
Gold |
JSC Uralelectromed | Russia | ||
Gold |
JX Nippon Mining & Metals Co., Ltd. | Japan | ||
Gold |
Kazzinc | Kazakhstan | ||
Tantalum |
KEMET Blue Metals | Mexico | ||
Tungsten |
Kennametal Fallon | United States | ||
Tungsten |
Kennametal Huntsville | United States | ||
Gold |
Kennecott Utah Copper LLC | United States | ||
Tungsten |
KGETS Co., Ltd. | Korea | ||
Gold |
KGHM Polska Miedz Spolka Akcyjna | Poland | ||
Gold |
Kojima Chemicals Co., Ltd. | Japan | ||
Gold |
Korea Zinc Co., Ltd. | Korea | ||
Gold |
Kyrgyzaltyn JSC | Kyrgyzstan | ||
Tungsten |
Lianyou Metals Co., Ltd. | Taiwan | ||
Gold |
LOrfebre S.A. | Andorra | ||
Tantalum |
LSM Brasil S.A. | Brazil | ||
Gold |
LS-NIKKO Copper Inc. | Korea | ||
Tin |
Maanshan Weitai Tin Co., Ltd. | China | ||
Tin |
Magnus Minerais Metais e Ligas Ltda. | Brazil | ||
Tin |
Malaysia Smelting Corporation (MSC) | Malaysia | ||
Tungsten |
Malipo Haiyu Tungsten Co., Ltd. | China | ||
Gold |
Marsam Metals | Brazil | ||
Tungsten |
Masan Tungsten Chemical LLC (MTC) | Viet Nam | ||
Gold |
Materion | United States | ||
Gold |
Matsuda Sangyo Co., Ltd. | Japan |
A-3
Tin |
Melt Metais e Ligas S.A. | Brazil | ||
Tin |
Metallic Resources, Inc. | United States | ||
Tin |
Metallo Belgium N.V. | Belgium | ||
Tin |
Metallo Spain S.L.U. | Spain | ||
Tantalum |
Metallurgical Products India Pvt., Ltd. | India | ||
Gold |
Metalor Technologies (Hong Kong) Ltd. | China | ||
Gold |
Metalor Technologies (Singapore) Pte., Ltd. | Singapore | ||
Gold |
Metalor Technologies (Suzhou) Ltd. | China | ||
Gold |
Metalor Technologies S.A. | Switzerland | ||
Gold |
Metalor USA Refining Corporation | United States | ||
Gold |
Metalurgica Met-Mex Penoles S.A. De C.V. | Mexico | ||
Tin |
Mineracao Taboca S.A. | Brazil | ||
Tantalum |
Mineracao Taboca S.A. | Brazil | ||
Tin |
Minsur | Peru | ||
Gold |
Mitsubishi Materials Corporation | Japan | ||
Tin |
Mitsubishi Materials Corporation | Japan | ||
Tantalum |
Mitsui Mining and Smelting Co., Ltd. | Japan | ||
Gold |
Mitsui Mining and Smelting Co., Ltd. | Japan | ||
Gold |
MMTC-PAMP India Pvt., Ltd. | India | ||
Tin |
Modeltech Sdn Bhd | Malaysia | ||
Tungsten |
Moliren Ltd. | Russia | ||
Gold |
Moscow Special Alloys Processing Plant | Russia | ||
Gold |
Nadir Metal Rafineri San. Ve Tic. A.S. | Turkey | ||
Tungsten |
Niagara Refining LLC | United States | ||
Gold |
Nihon Material Co., Ltd. | Japan | ||
Tantalum |
Ningxia Orient Tantalum Industry Co., Ltd. | China | ||
Tantalum |
NPM Silmet AS | Estonia | ||
Tin |
O.M. Manufacturing (Thailand) Co., Ltd. | Thailand | ||
Tin |
O.M. Manufacturing Philippines, Inc. | Philippines | ||
Gold |
Ogussa Osterreichische Gold- und Silber-Scheideanstalt GmbH | Austria | ||
Gold |
Ohura Precious Metal Industry Co., Ltd. | Japan | ||
Gold |
OJSC The Gulidov Krasnoyarsk Non-Ferrous Metals Plant (OJSC Krastsvetmet) | Russia | ||
Gold |
OJSC Novosibirsk Refinery | Russia | ||
Tin |
Operaciones Metalurgicas S.A. | Bolivia | ||
Gold |
PAMP S.A. | Switzerland | ||
Tungsten |
Philippine Chuangxin Industrial Co., Inc. | Philippines | ||
Gold |
Planta Recuperadora de Metales SpA | Chile | ||
Tantalum |
Power Resources Ltd. | Macedonia | ||
Gold |
Prioksky Plant of Non-Ferrous Metals | Russia | ||
Gold |
PT Aneka Tambang (Persero) Tbk | Indonesia | ||
Tin |
PT Artha Cipta Langgeng | Indonesia | ||
Tin |
PT ATD Makmur Mandiri Jaya | Indonesia | ||
Tin |
PT Menara Cipta Mulia | Indonesia | ||
Tin |
PT Mitra Stania Prima | Indonesia | ||
Tin |
PT Refined Bangka Tin | Indonesia |
A-4
Tin |
PT Timah Tbk Kundur | Indonesia | ||
Tin |
PT Timah Tbk Mentok | Indonesia | ||
Gold |
PX Precinox S.A. | Switzerland | ||
Tantalum |
QuantumClean | United States | ||
Gold |
Rand Refinery (Pty) Ltd. | South Africa | ||
Gold |
REMONDIS PMR B.V. | Netherlands | ||
Tin |
Resind Industria e Comercio Ltda. | Brazil | ||
Tantalum |
Resind Industria e Comercio Ltda. | Brazil | ||
Tantalum |
RFH Tantalum Smeltery Co., Ltd./Yanling Jincheng Tantalum & Niobium Co., Ltd. | China | ||
Gold |
Royal Canadian Mint | Canada | ||
Tin |
Rui Da Hung | Taiwan | ||
Gold |
SAAMP | France | ||
Gold |
Safimet S.p.A | Italy | ||
Gold |
Samduck Precious Metals | Korea | ||
Gold |
SAXONIA Edelmetalle GmbH | Germany | ||
Gold |
SEMPSA Joyeria Plateria S.A. | Spain | ||
Gold |
Shandong Zhaojin Gold & Silver Refinery Co., Ltd. | China | ||
Gold |
Sichuan Tianze Precious Metals Co., Ltd. | China | ||
Gold |
Singway Technology Co., Ltd. | Taiwan | ||
Gold |
SOE Shyolkovsky Factory of Secondary Precious Metals | Russia | ||
Tin |
Soft Metais Ltda. | Brazil | ||
Gold |
Solar Applied Materials Technology Corp. | Taiwan | ||
Tantalum |
Solikamsk Magnesium Works OAO | Russia | ||
Gold |
Sumitomo Metal Mining Co., Ltd. | Japan | ||
Gold |
SungEel HiMetal Co., Ltd. | Korea | ||
Gold |
T.C.A S.p.A | Italy | ||
Tantalum |
Taki Chemical Co., Ltd. | Japan | ||
Gold |
Tanaka Kikinzoku Kogyo K.K. | Japan | ||
Tungsten |
Tejing (Vietnam) Tungsten Co., Ltd. | Viet Nam | ||
Tantalum |
Telex Metals | United States | ||
Tin |
Thai Nguyen Mining and Metallurgy Co., Ltd. | Viet Nam | ||
Tin |
Thaisarco | Thailand | ||
Gold |
The Refinery of Shandong Gold Mining Co., Ltd. | China | ||
Tin |
Tin Technology & Refining | United States | ||
Gold |
Tokuriki Honten Co., Ltd. | Japan | ||
Gold |
Torecom | Korea | ||
Tantalum |
Ulba Metallurgical Plant JSC | Kazakhstan | ||
Gold |
Umicore Brasil Ltda. | Brazil | ||
Gold |
Umicore Precious Metals Thailand | Thailand | ||
Gold |
Umicore S.A. Business Unit Precious Metals Refining | Belgium | ||
Tungsten |
Unecha Refractory metals plant | Russia | ||
Gold |
United Precious Metal Refining, Inc. | United States | ||
Gold |
Valcambi S.A. | Switzerland | ||
Gold |
Western Australian Mint (T/a The Perth Mint) | Australia | ||
Tin |
White Solder Metalurgia e Mineracao Ltda. | Brazil |
A-5
Gold |
WIELAND Edelmetalle GmbH | Germany | ||
Tungsten |
Wolfram Bergbau und Hutten AG | Austria | ||
Tungsten |
Woltech Korea Co., Ltd. | Korea | ||
Tungsten |
Xiamen Tungsten (H.C.) Co., Ltd. | China | ||
Tungsten |
Xiamen Tungsten Co., Ltd. | China | ||
Tungsten |
Xinfeng Huarui Tungsten & Molybdenum New Material Co., Ltd. | China | ||
Tungsten |
Xinhai Rendan Shaoguan Tungsten Co., Ltd. | China | ||
Tantalum |
XinXing HaoRong Electronic Material Co., Ltd. | China | ||
Gold |
Yamakin Co., Ltd. | Japan | ||
Gold |
Yokohama Metal Co., Ltd. | Japan | ||
Tin |
Yunnan Chengfeng Non-ferrous Metals Co., Ltd. | China | ||
Tin |
Yunnan Tin Company Limited | China | ||
Tin |
Yunnan Yunfan Non-ferrous Metals Co., Ltd. | China | ||
Gold |
Zhongyuan Gold Smelter of Zhongjin Gold Corporation | China |
A-6