Exhibit 1.01
TE Connectivity Ltd.
Conflict Minerals Report
For The Calendar-Year Reporting Period Ended December 31, 2014
1. Overview
This Conflict Minerals Report has been prepared by TE Connectivity Ltd. (herein referred to as TE, the Company, we, us, or our) pursuant to Rule 13p-1 (the Rule) promulgated under Section 13(p) of the Securities Exchange Act of 1934, as amended (Exchange Act). Rule 13p-1 and Form Specialized Disclosure (SD) were adopted by the Securities and Exchange Commission (SEC) to implement disclosure and reporting requirements related to “conflict minerals,” as directed by Congress in Section 1502 of the Dodd-Frank Wall Street Reform and Consumer Protection Act of 2010 (which, among other things, added a new Section 13(p) to the Exchange Act). Specifically, Section 13(p), the Rule and Form SD together impose certain reporting obligations on those SEC registrants, like TE, whose manufactured products contain so-called “conflict minerals” that are necessary to the functionality or production of their products. The term “conflict minerals” is defined to mean cassiterite, columbite-tantalite, gold, wolframite and their derivatives, which are limited to tin, tantalum, tungsten and gold (together, 3TG). The term “Covered Countries” for purposes of Section 13(p) and the SEC rules thereunder, as well as this report and the accompanying Form SD, are the Democratic Republic of the Congo, the Republic of the Congo, the Central African Republic, South Sudan, Uganda, Rwanda, Burundi, Tanzania, Zambia and Angola.
We design and manufacture products to connect power, data, and signal in a broad array of industries, including automotive, energy, industrial, broadband communications, consumer devices, healthcare, and aerospace and defense. Our principal product families include terminals and connector systems and components, relays, circuit protection devices, sensors, application tooling, wire and heat shrink tubing, fiber optics, wire and cable, racks and panels, wireless products, undersea telecommunications systems and antennas.
In 2014, we migrated to a reasonable country of origin inquiry (RCOI) survey process that targeted all 219,979 TE products deemed at risk for having small quantities of tin, tantalum, tungsten and gold that are “necessary to the functionality or production” of these products within the meaning of Section 13(p) and the SEC’s rules thereunder (necessary conflict minerals). This change in our survey process represented both a substantial refinement and expansion of our 2013 process, in which we focused on our top 90% of TE spend in calendar year 2013 , encompassing only several thousand products. We made this change to bring the TE program into greater alignment with the Organization for Economic Co-operation and Development (OECD) Due Diligence Guidance for Responsible Supply Chains of Minerals from Conflict-Affected and High-Risk Areas, Second Edition, and the supplements thereto relating to tin, tungsten, tantalum and gold (OECD Due Diligence Guidance), which has been identified by the SEC as an appropriate internationally recognized framework for conducting the RCOI and due diligence relating to necessary conflict minerals called for by Section 13(p), the Rule and Form SD, as well as to increase the amount of data that we can make available to our customers for purposes of their own Conflict Minerals programs.
Notwithstanding these improvements in our RCOI and due diligence processes, both of which are based on the OECD Due Diligence Guidance and therefore overlap to a significant extent, we are unable to determine with absolute assurance the origin of all the necessary conflict minerals in our products for the 2014 reporting period (January 1 through December 31, 2014), and therefore cannot exclude the possibility that some of these minerals may have originated in one or more of the Covered Countries and are not derived from recycled or scrap sources. Accordingly, we are required under Section 13(p) and the Rule to submit this Conflict Minerals Report as an exhibit to our accompanying Form SD.
Conflict Minerals Policy
We have adopted a conflict minerals policy which is publicly available on our website at http://www.te.com/content/dam/te-com/documents/about-te/corporate-responsibility/global/conflict-minerals-policy.pdf. Supplier adherence to this policy is a requirement of doing business with TE Connectivity.
Grievance Mechanism
We have well established processes to allow interested parties to contact us through our Office of the Ombudsman. Our Office of the Ombudsman can be contacted by email to directors@te.com, through the Internet at http://www.te.com/usa-en/about-te/corporate-responsibility/governance/ombudsman.html#chapter-4-dl or through mail at TE Connectivity, Office of the Ombudsman, 1050 Westlakes Drive, Berwyn, Pennsylvania 19312. In 2014, approximately 100 customers used this mechanism to request responses to their Conflict Minerals Reporting Template (CMRT) when unable to otherwise establish a TE contact for that purpose.
Supply Chain — Reasonable Country of Origin Inquiry
The products that we manufacture are highly complex, typically containing thousands of components from many direct suppliers. We have relationships with a vast network of suppliers throughout the world and there are generally multiple tiers between the 3TG mines, the smelter or refinery processing facilities (SOR), and our direct suppliers. Therefore, we must rely on our direct suppliers to work with their upstream suppliers (suppliers that are closer to the SORs than TE in the supply chain) in order that they may provide us with accurate information about the origin of 3TG in the components and raw materials we purchase. We have been actively implementing contracts with those direct suppliers to impose new contract terms that compel these suppliers to support our due diligence efforts with respect to 3TG content.
Because of the complexity and size of our supply chain, we initially developed a risk-based approach to determining whether we had 3TG in our supply chain. All raw material and component commodity groups were evaluated for the presence of potential 3TG. Once those products and materials were identified, internal subject matter experts and engineers then analyzed whether the 3TG in the products and materials were “necessary to the functionality or production” of such products. The end result of that analysis led to identification of approximately 219,979 TE products potentially at risk of containing necessary conflict minerals, of which 157,400 were later confirmed by our supply base as out of scope by RCOI survey.
In 2014, we also actively pursued source data on a part level basis for all of our in-scope components and materials. This effort yielded a response rate of 85% of all products surveyed, although some of those responses noted the source of the Conflict Minerals could not be ascertained at this time.
We requested that all identified suppliers provide information to us regarding 3TG and SORs using the template developed by the Electronic Industry Citizenship Coalition® (EICC) and The Global e-Sustainability Initiative (GeSI), known as the EICC-GeSI Conflict Minerals Reporting Template (the Template), as part of a private-sector initiative to develop mechanisms for compliance with the OECD Due Diligence Guidance. The Template was developed by members of the electronics industry and other stakeholders, pursuant to the Conflict-Free Sourcing Initiative (CFSI), to facilitate disclosure and communication of information regarding smelters and refiners that provide material to members of a downstream manufacturer’s supply chain. It includes questions regarding a direct supplier’s conflict-free policy, its due diligence process, and information about its supply chain such as the names and locations of smelters and refiners as well as the origin of 3TG used by those facilities. While it was necessary for TE to modify this template in some fashion to accommodate our part level data collection and chain of custody analysis, we made no material changes to the CMRT.
Efforts to Determine Mine or Location of Origin
We have determined that requesting our suppliers to complete the Template, in addition to our non-responsive supplier termination processes and capacity building initiatives to aid suppliers trying to build transparency upstream, represents our reasonable efforts to determine the mines or locations of origin of 3TG in our supply chain. We have reached this conclusion in part as a result of our participation in the Conflict-Free Sourcing Initiative (CFSI) - an initiative of EICC and GeSI, which focuses on the location and “compliant” status of smelters and refineries subject to independent supply chain audits by third parties, our understanding of the OECD guidelines, and based on frequent consultation with compliance and sustainability leaders in companies similarly situated to TE.
Smelters or Refiners and Country of Origin of 3TG
No supplier indicated that certain components they provided to us contained minerals that were derived from conflict sources.
We attach here, a complete listing of those SORs ascertained, through our supplier responses to the Template or upon further inquiry after a review of such responses, as providing Conflict Minerals to TE for manufacture in 2014 (“Exhibit A”).
Description of Products Containing “Necessary” Conflict Minerals
We identified 219,979 products potentially containing one or more 3TG minerals necessary to the functionality or production of our products; once 157,400 were eliminated as out of scope pursuant to the RCOI process, a total of 62,579 products were deemed to contain necessary conflict minerals. These products fall into all of our product families, including the following: terminals and connector systems and components, relays, circuit protection devices, sensors, application tooling, wire and heat shrink tubing, fiber optics, wire and cable, racks and panels, wireless products, undersea telecommunications systems and antennas.
After making the reasonable country of origin inquiry outlined above, we were unable to ascertain the country of origin of 3TG minerals necessary to the functionality or production of all 219,979 products and, as a consequence, proceeded to conduct the due diligence required under the OECD Due Diligence Guidance as applicable to downstream companies.
2. Due Diligence
Design of Due Diligence
Our due diligence measures have been designed to conform, in all material respects, with the five-step framework of the OECD Due Diligence Guidance as applicable to downstream companies such as TE. As discussed above, the OECD Due Diligence Guidance has been identified by the SEC as an appropriate (and thus far, the only), internationally recognized due diligence framework for purposes of the Section 13(p) of the Exchange Act and the Rule and Form SD thereunder.
Due Diligence Performed
MANAGEMENT SYSTEMS
We have adopted a conflict minerals policy related to our sourcing of 3TG, and have developed a formalized Conflict Minerals Program for our suppliers which is governed by an official standard operating procedure (the Program). The policy is referenced in our Purchase Order terms, RFP documentation, and supply contracts, as well as being posted on our supplier portal.
Internal Team
We have established a management system to support supply chain due diligence related to 3TG. Our management system includes an executive steering committee sponsored by the Global Supply Chain Counsel, and a team of subject matter experts from functions such as supplier management, engineering, finance, law and global corporate citizenship. The team of subject matter experts is responsible for implementing our Conflict Minerals compliance strategy as approved by our Executive Vice President and General Counsel. As discussed further below, this team met regularly throughout 2014 to discuss the supply chain compliance process relating to conflict minerals.
Control systems
We do not typically have a direct relationship with 3TG SORs. We do, however, participate with other major manufacturers in an industry-wide initiative to develop conflict-free supply chains, known as the EICC-GeSI’s CFSI, including the related Conflict-Free Smelter Program (CFSP).
Controls include the TE Guide to Ethical Conduct that outlines expected behaviors for all our employees, a TE Supplier Guide to Supplier Social Responsibility that outlines expected behaviors relative to working conditions and rights for suppliers and their employees, supply contracts containing a Conflict Minerals contract clause that requires suppliers to provide us with information about the source of 3TG and smelters, and if required, termination and supplier blacklisting processes that disqualify suppliers who refuse to provide Conflict Minerals data from doing business with TE. TE terminated several suppliers in 2014 for refusal to respond to its RCOI.
TE is also vigilant in maintaining program integrity controls. Each year, business segment presidents, supply chain executives, and all VP’s of operations must certify adherence to the Program and make a personal declaration on behalf of their respective function as to the conflict status of TE’s products.
Maintain records
We have established a records retention schedule within our Program operating procedure to ensure that relevant materials are preserved for appropriate periods.
Supplier Engagement
We have created a number of supplier outreach tools, including but not limited to training and program materials, all of which are designed to encourage suppliers to develop their own conflict minerals due diligence programs in accordance with the SEC’s conflict minerals regulatory requirements. We maintain an electronic portal which directs suppliers to informational resources related to Conflict Minerals, including frequently asked questions (FAQs). Additionally, our Conflict Minerals webpage hosts the Template and our conflict minerals policy. We also have sent multiple communications directly to suppliers.
IDENTIFY AND ASSESS RISK IN THE SUPPLY CHAIN
We surveyed all direct suppliers of components or raw materials that were at risk for containing 3TG that were “necessary to the functionality or production” of our products described above. Based on our procurement systems, over 100 commodity codes and 219,979 associated products required RCOI survey activity due to their risk profiles.
Survey Responses
We received responses from in excess of 85% of the suppliers surveyed. These responses were provided using the Template, or a substantially similar variation thereto. We reviewed the responses against criteria developed by our internal team to determine which suppliers required further engagement. The criteria included incomplete responses as well as inconsistencies within the data reported by those suppliers, and we have worked directly with suppliers requiring additional engagement in an effort to secure revised responses. From the responses received, the following statistics were compiled:
Approximately 157,400 products were reported as out-of-scope by suppliers, meaning that they did not contain necessary conflict minerals.
Approximately 45,000 products were associated with a smelter or refinery listed on the CFSI list, or London Bullion Market Association (LBMA) list. Many suppliers were able to link particular SORs to specific TE products or components.
Approximately 2,500 products originated in regions not likely to source from the DRC.
Approximately 15,500 products were of indeterminate origin — meaning that our relevant suppliers were unable to identify either the country of origin or the mine/SOR of origin.
DESIGN AND IMPLEMENT A STRATEGY TO RESPOND TO RISKS
· Senior management is briefed about our due diligence efforts on a regular basis.
· Executive leadership in a position to influence the outcome of the TE Conflict Minerals Program through either financial or administrative supports are required to certify alignment with the centralized RCOI survey and company due diligence processes and affirm direct knowledge and supervision of such activities.
· We have adopted a Conflict Minerals Policy, and imposed the provisions of such Policy on our direct suppliers as a condition of doing business with TE (e.g., supply contract language, supplier requirements/codes, etc.).
· We have implemented a risk management plan that outlines our responses to identified risks.
· Suppliers are required to demonstrate compliant sources of Conflict Minerals or an OECD compliant program, otherwise products purchased from them are re-sourced.
CARRY OUT INDEPENDENT THIRD PARTY AUDIT OF SUPPLY CHAIN DUE DILIGENCE AT IDENTIFIED POINTS IN THE SUPPLY CHAIN
We do not typically have a direct relationship with 3TG smelters and refiners and therefore do not perform or direct audits of these entities. We support audits conducted by third parties through our participation in the Conflict Free Smelter Program (CFSP), and have obtained the EICC-GeSI list of conflict-free smelters and refineries.
REPORT ON SUPPLY CHAIN DUE DILIGENCE
This Conflict Minerals Report constitutes our annual report on our 3TG due diligence and is available on our website, along with the accompanying Form SD, at http://investors.te.com/financial-reports/sec-filings/default.aspx.
RESULTS OF DUE DILIGENCE
Notwithstanding improvements in our RCOI and due diligence processes, we are unable to determine with absolute assurance the origin of all the necessary conflict minerals in our products for the 2014 reporting period (January 1 through December 31, 2014), and therefore cannot exclude the possibility that some of these minerals may have originated in one or more of the Covered Countries and are not derived from recycled or scrap sources.
3. Steps to be taken to mitigate risk
We intend to take the following steps to improve the due diligence conducted in 2015 to further mitigate the risk that any necessary 3TG in our products finance or benefit armed groups in any of the Covered Countries:
· Work through the CFSI to expand the smelters and refiners participating in the Conflict Free Smelter Program. Engage any suppliers if found to be providing us with components or materials containing 3TG from sources that support conflict in the Covered Countries to establish an alternative source of 3TG that does not support such conflict.
· Conduct third party audits of high risk suppliers to validate their Conflict Minerals program.
· Terminate suppliers who refuse to provide us with Conflict Minerals data. Help and provide tools to those who want to build supply chain transparency via their own programs.
· Support an EU regulatory scheme that supports the US statutory model for Conflict Minerals and helps further the underlying intent of the Dodd Frank legislation.
· Make publically available, TE’s continuous improvement in the execution of its Conflict Minerals Program.
· Retain an independent third party audit firm to conduct the independent audit of relevant portions of our Conflict Minerals Report for calendar year 2015, as necessary and appropriate under Section 13(p), the Rule, and Form SD’s line-item requirements.
Cautions Concerning Website Information and Forward-Looking Statements
Other than any documents expressly incorporated by reference in this Conflict Minerals Report, the information on any of our websites referred to in this report is not part of this report or any other document filed with the SEC, including the accompanying Form SD.
Certain statements in this report may be “forward-looking” within the meaning of the U.S. Private Securities Litigation Reform Act of 1995. Words such as “expects,” “intends,” “plans,” “projects,” “believes,” “estimates,” “targets,” “anticipates,” and similar expressions are used to identify these forward-looking statements. Examples of forward-looking statements include statements relating to our future plans, and any other statement that does not directly relate to any historical or current fact. Forward-looking statements are based on our current expectations and assumptions, which may not prove to be accurate. These statements are not guarantees and are subject to risks, uncertainties and changes in circumstances that are difficult to predict. Actual outcomes and results may differ materially from these forward-looking statements. As a result, these statements speak only as of the date they are made and we undertake no obligation to update or revise any forward-looking statement, except as required by federal securities laws.
Exhibit A
2014 Year End Smelter List
Smelter |
| Smelter ID |
| Metal |
| Country |
Aida Chemical Industries Co. Ltd. |
| CID000019 |
| Gold |
| JAPAN |
Allgemeine Gold-Und Silberscheideanstalt A.G. |
| CID000035 |
| Gold |
| GERMANY |
Almalyk Mining And Metallurgical Complex (Ammc) |
| CID000041 |
| Gold |
| UZBEKISTAN |
Anglogold Ashanti Córrego Do Sítio Minerção |
| CID000058 |
| Gold |
| BRAZIL |
Argor-Heraeus Sa |
| CID000077 |
| Gold |
| SWITZERLAND |
Asahi Pretec Corporation |
| CID000082 |
| Gold |
| JAPAN |
Asaka Riken Co Ltd |
| CID000090 |
| Gold |
| JAPAN |
Aurubis Ag |
| CID000113 |
| Gold |
| GERMANY |
Bangko Sentral Ng Pilipinas (Central Bank Of The Philippines) |
| CID000128 |
| Gold |
| PHILIPPINES |
Bauer Walser Ag |
| CID000141 |
| Gold |
| GERMANY |
Boliden Ab |
| CID000157 |
| Gold |
| SWEDEN |
Caridad |
| CID000180 |
| Gold |
| MEXICO |
Cendres & Métaux Sa |
| CID000189 |
| Gold |
| SWITZERLAND |
Chimet S.P.A. |
| CID000233 |
| Gold |
| ITALY |
China National Gold Group Corporation |
| CID000242 |
| Gold |
| CHINA |
Chugai Mining |
| CID000264 |
| Gold |
| JAPAN |
Daeryongenc |
| CID000333 |
| Gold |
| KOREA, REPUBLIC OF |
Do Sung Corporation |
| CID000359 |
| Gold |
| KOREA, REPUBLIC OF |
Doduco |
| CID000362 |
| Gold |
| GERMANY |
Dowa |
| CID000401 |
| Gold |
| JAPAN |
Eco-System Recycling Co., Ltd. |
| CID000425 |
| Gold |
| JAPAN |
Heimerle + Meule Gmbh |
| CID000694 |
| Gold |
| GERMANY |
Heraeus Ltd. Hong Kong |
| CID000707 |
| Gold |
| HONG KONG |
Heraeus Precious Metals Gmbh & Co. Kg |
| CID000711 |
| Gold |
| GERMANY |
Ishifuku Metal Industry Co., Ltd. |
| CID000807 |
| Gold |
| JAPAN |
Istanbul Gold Refinery |
| CID000814 |
| Gold |
| TURKEY |
Japan Mint |
| CID000823 |
| Gold |
| JAPAN |
Jiangxi Copper Company Limited |
| CID000855 |
| Gold |
| CHINA |
Johnson Matthey Inc |
| CID000920 |
| Gold |
| UNITED STATES |
Johnson Matthey Ltd |
| CID000924 |
| Gold |
| CANADA |
Jx Nippon Mining & Metals Co., Ltd. |
| CID000937 |
| Gold |
| JAPAN |
Kazzinc Ltd |
| CID000957 |
| Gold |
| KAZAKHSTAN |
Kennecott Utah Copper Llc |
| CID000969 |
| Gold |
| UNITED STATES |
Kojima Chemicals Co., Ltd |
| CID000981 |
| Gold |
| JAPAN |
Korea Metal Co. Ltd |
| CID000988 |
| Gold |
| KOREA, REPUBLIC OF |
Kyrgyzaltyn Jsc |
| CID001029 |
| Gold |
| KYRGYZSTAN |
Ls-Nikko Copper Inc. |
| CID001078 |
| Gold |
| KOREA, REPUBLIC OF |
Materion |
| CID001113 |
| Gold |
| UNITED STATES |
Matsuda Sangyo Co., Ltd. |
| CID001119 |
| Gold |
| JAPAN |
Metalor Technologies (Hong Kong) Ltd |
| CID001149 |
| Gold |
| HONG KONG |
Metalor Technologies (Singapore) Pte. Ltd. |
| CID001152 |
| Gold |
| SINGAPORE |
Metalor Technologies Sa |
| CID001153 |
| Gold |
| SWITZERLAND |
Mitsubishi Materials Corporation |
| CID001188 |
| Gold |
| JAPAN |
Mitsui Mining And Smelting Co., Ltd. |
| CID001193 |
| Gold |
| JAPAN |
Nadir Metal Rafineri San. Ve Tic. A.S. |
| CID001220 |
| Gold |
| TURKEY |
Navoi Mining And Metallurgical Combinat |
| CID001236 |
| Gold |
| UZBEKISTAN |
Smelter |
| Smelter ID |
| Metal |
| Country |
Nihon Material Co. Ltd |
| CID001259 |
| Gold |
| JAPAN |
Ohio Precious Metals, Llc |
| CID001322 |
| Gold |
| UNITED STATES |
Pamp Sa |
| CID001352 |
| Gold |
| SWITZERLAND |
Pt Aneka Tambang (Persero) Tbk |
| CID001397 |
| Gold |
| INDONESIA |
Rand Refinery (Pty) Ltd |
| CID001512 |
| Gold |
| SOUTH AFRICA |
Sempsa Joyería Platería Sa |
| CID001585 |
| Gold |
| SPAIN |
Shandong Zhaojin Gold & Silver Refinery Co. Ltd |
| CID001622 |
| Gold |
| CHINA |
Solar Applied Materials Technology Corp. |
| CID001761 |
| Gold |
| TAIWAN |
Sumitomo Metal Mining Co., Ltd. |
| CID001798 |
| Gold |
| JAPAN |
Tanaka Kikinzoku Kogyo K.K. |
| CID001875 |
| Gold |
| JAPAN |
Tokuriki Honten Co., Ltd |
| CID001938 |
| Gold |
| JAPAN |
Valcambi Sa |
| CID002003 |
| Gold |
| SWITZERLAND |
Western Australian Mint Trading As The Perth Mint |
| CID002030 |
| Gold |
| AUSTRALIA |
Yokohama Metal Co Ltd |
| CID002129 |
| Gold |
| JAPAN |
Zijin Mining Group Co. Ltd |
| CID002243 |
| Gold |
| CHINA |
Guangdong Jinding Gold Limited |
| CID002312 |
| Gold |
| CHINA |
Umicore Precious Metals Thailand |
| CID002314 |
| Gold |
| THAILAND |
Conghua Tantalum And Niobium Smeltry |
| CID000291 |
| Tantalum |
| CHINA |
Duoluoshan |
| CID000410 |
| Tantalum |
| CHINA |
Exotech Inc. |
| CID000456 |
| Tantalum |
| UNITED STATES |
F&X Electro-Materials Ltd. |
| CID000460 |
| Tantalum |
| CHINA |
Global Advanced Metals |
| CID000564 |
| Tantalum |
| UNITED STATES |
Guangdong Zhiyuan New Material Co., Ltd. |
| CID000616 |
| Tantalum |
| CHINA |
H.C. Starck Group |
| CID000654 |
| Tantalum |
| GERMANY |
Hi-Temp |
| CID000731 |
| Tantalum |
| UNITED STATES |
Jiujiang Jinxin Nonferrous Metals Co., Ltd. |
| CID000914 |
| Tantalum |
| CHINA |
Jiujiang Tanbre Co., Ltd. |
| CID000917 |
| Tantalum |
| CHINA |
Kemet Blue Powder |
| CID000963 |
| Tantalum |
| UNITED STATES |
King-Tan Tantalum Industry Ltd |
| CID000973 |
| Tantalum |
| CHINA |
Lsm Brasil S.A. |
| CID001076 |
| Tantalum |
| BRAZIL |
Mitsui Mining & Smelting |
| CID001192 |
| Tantalum |
| JAPAN |
Molycorp Silmet A.S. |
| CID001200 |
| Tantalum |
| ESTONIA |
Ningxia Orient Tantalum Industry Co., Ltd. |
| CID001277 |
| Tantalum |
| CHINA |
Plansee |
| CID001368 |
| Tantalum |
| AUSTRIA |
Quantumclean |
| CID001508 |
| Tantalum |
| UNITED STATES |
Rfh Tantalum Smeltry Co., Ltd |
| CID001522 |
| Tantalum |
| CHINA |
Solikamsk Metal Works |
| CID001769 |
| Tantalum |
| RUSSIAN FEDERATION |
Taki Chemicals |
| CID001869 |
| Tantalum |
| JAPAN |
Tantalite Resources |
| CID001879 |
| Tantalum |
| SOUTH AFRICA |
Telex |
| CID001891 |
| Tantalum |
| UNITED STATES |
Ulba |
| CID001969 |
| Tantalum |
| KAZAKHSTAN |
Zhuzhou Cement Carbide |
| CID002232 |
| Tantalum |
| CHINA |
China Rare Metal Materials Company |
| CID000244 |
| Tin |
| CHINA |
Cnmc (Guangxi) Pgma Co. Ltd. |
| CID000278 |
| Tin |
| CHINA |
Alpha |
| CID000292 |
| Tin |
| UNITED STATES |
Cooper Santa |
| CID000295 |
| Tin |
| BRAZIL |
Cv Serumpun Sebalai |
| CID000313 |
| Tin |
| INDONESIA |
Smelter |
| Smelter ID |
| Metal |
| Country |
Cv United Smelting |
| CID000315 |
| Tin |
| INDONESIA |
Em Vinto |
| CID000438 |
| Tin |
| BOLIVIA |
Fenix Metals |
| CID000468 |
| Tin |
| POLAND |
Gejiu Non-Ferrous Metal Processing Co. Ltd. |
| CID000538 |
| Tin |
| CHINA |
Gejiu Zi-Li |
| CID000555 |
| Tin |
| CHINA |
Huichang Jinshunda Tin Co. Ltd |
| CID000760 |
| Tin |
| CHINA |
Jiangxi Nanshan |
| CID000864 |
| Tin |
| CHINA |
Kai Unita Trade Limited Liability Company |
| CID000942 |
| Tin |
| CHINA |
Linwu Xianggui Smelter Co |
| CID001063 |
| Tin |
| CHINA |
Liuzhou China Tin |
| CID001070 |
| Tin |
| CHINA |
Malaysia Smelting Corporation (Msc) |
| CID001105 |
| Tin |
| MALAYSIA |
Metallo Chimique |
| CID001143 |
| Tin |
| BELGIUM |
Mineração Taboca S.A. |
| CID001173 |
| Tin |
| BRAZIL |
Minmetals Ganzhou Tin Co. Ltd. |
| CID001179 |
| Tin |
| CHINA |
Minsur |
| CID001182 |
| Tin |
| PERU |
Novosibirsk Integrated Tin Works |
| CID001305 |
| Tin |
| RUSSIAN FEDERATION |
Pt Babel Inti Perkasa |
| CID001402 |
| Tin |
| INDONESIA |
Pt Bangka Putra Karya |
| CID001412 |
| Tin |
| INDONESIA |
Pt Bangka Tin Industry |
| CID001419 |
| Tin |
| INDONESIA |
Pt Belitung Industri Sejahtera |
| CID001421 |
| Tin |
| INDONESIA |
Pt Bukit Timah |
| CID001428 |
| Tin |
| INDONESIA |
Pt Ds Jaya Abadi |
| CID001434 |
| Tin |
| INDONESIA |
Pt Eunindo Usaha Mandiri |
| CID001438 |
| Tin |
| INDONESIA |
Pt Mitra Stania Prima |
| CID001453 |
| Tin |
| INDONESIA |
Pt Prima Timah Utama |
| CID001458 |
| Tin |
| INDONESIA |
Pt Refined Bangka Tin |
| CID001460 |
| Tin |
| INDONESIA |
Pt Sariwiguna Binasentosa |
| CID001463 |
| Tin |
| INDONESIA |
Pt Stanindo Inti Perkasa |
| CID001468 |
| Tin |
| INDONESIA |
Pt Tambang Timah |
| CID001477 |
| Tin |
| INDONESIA |
Pt Timah |
| CID001482 |
| Tin |
| INDONESIA |
Rui Da Hung |
| CID001539 |
| Tin |
| TAIWAN |
Soft Metais, Ltda. |
| CID001758 |
| Tin |
| BRAZIL |
Thaisarco |
| CID001898 |
| Tin |
| THAILAND |
White Solder Metalurgia E Mineração Ltda. |
| CID002036 |
| Tin |
| BRAZIL |
Yunnan Chengfeng Non-Ferrous Metals Co.,Ltd. |
| CID002158 |
| Tin |
| CHINA |
Yunnan Tin Company, Ltd. |
| CID002180 |
| Tin |
| CHINA |
Magnu’S Minerais Metais E Ligas Ltda |
| CID002468 |
| Tin |
| BRAZIL |
Melt Metais E Ligas S/A |
| CID002500 |
| Tin |
| BRAZIL |
A.L.M.T. Corp. |
| CID000004 |
| Tungsten |
| JAPAN |
Guangdong Xianglu Tungsten Industry Co., Ltd. |
| CID000218 |
| Tungsten |
| CHINA |
Chongyi Zhangyuan Tungsten Co Ltd |
| CID000258 |
| Tungsten |
| CHINA |
Dayu Weiliang Tungsten Co., Ltd. |
| CID000345 |
| Tungsten |
| CHINA |
Fujian Jinxin Tungsten Co., Ltd. |
| CID000499 |
| Tungsten |
| CHINA |
Global Tungsten & Powders Corp. |
| CID000568 |
| Tungsten |
| UNITED STATES |
Hc Starck Gmbh |
| CID000683 |
| Tungsten |
| GERMANY |
Hunan Chenzhou Mining Group Co |
| CID000766 |
| Tungsten |
| CHINA |
Smelter |
| Smelter ID |
| Metal |
| Country |
Hunan Chun-Chang Nonferrous Smelting & Concentrating Co., Ltd. |
| CID000769 |
| Tungsten |
| CHINA |
Japan New Metals Co Ltd |
| CID000825 |
| Tungsten |
| JAPAN |
Ganzhou Non-Ferrous Metals Smelting Co., Ltd. |
| CID000868 |
| Tungsten |
| CHINA |
Ganzhou Huaxing Tungsten Products Co., Ltd. |
| CID000875 |
| Tungsten |
| CHINA |
Tejing (Vietnam) Tungsten Co., Ltd. |
| CID001889 |
| Tungsten |
| VIET NAM |
Wolfram Bergbau Und Hütten Ag |
| CID002044 |
| Tungsten |
| AUSTRIA |
Wolfram Company Cjsc |
| CID002047 |
| Tungsten |
| RUSSIAN FEDERATION |
Xiamen Tungsten Co., Ltd |
| CID002082 |
| Tungsten |
| CHINA |
Xinhai Rendan Shaoguan Tungsten Co., Ltd. |
| CID002095 |
| Tungsten |
| CHINA |
Zhuzhou Cemented Carbide Group Co Ltd |
| CID002236 |
| Tungsten |
| CHINA |
Jiangxi Minmetals Gao’An Non-Ferrous Metals Co., Ltd. |
| CID002313 |
| Tungsten |
| CHINA |
Xiamen Tungsten (H.C.) Co., Ltd. |
| CID002320 |
| Tungsten |
| CHINA |
Jiangxi Gan Bei Tungsten Co., Ltd. |
| CID002321 |
| Tungsten |
| CHINA |
Ganzhou Seadragon W & Mo Co., Ltd. |
| CID002494 |
| Tungsten |
| CHINA |