UNITED STATES
SECURITIES AND EXCHANGE COMMISSION
Washington, D.C. 20549
FORM SD
SPECIALIZED DISCLOSURE REPORT
CISCO
SYSTEMS, INC.
(Exact Name of Registrant as Specified in its Charter)
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California |
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0-18225 |
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77-0059951 |
(State or other jurisdiction of
incorporation or organization ) |
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(Commission
File Number) |
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(IRS Employer
Identification No.) |
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170 West Tasman Drive, San Jose, California |
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95134-1706 |
(Address of Principal Executive Offices) |
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(Zip Code) |
Gary B. Moore, President and Chief Operating Officer
(408) 526-4000
(Name and
telephone number, including area code, of the person to contact in connection with this report.)
Not Applicable
(Former Name or Former Address, if Changed Since Last Report)
Check the appropriate box below to indicate the rule pursuant to which this form is being filed, and provide the period to which the information in this form
applies:
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Rule 13p-1 under the Securities Exchange Act (17 CFR 240.13p-1) for the reporting period January 1 to December 31, 2014 |
Item 1.01. |
Conflict Minerals Disclosure and Report. |
Conflict Minerals Disclosure
A copy of the Conflict Minerals Report of Cisco Systems, Inc. (Cisco) for the reporting period January 1 to December 31,
2014 is filed as Exhibit 1.01 to this specialized disclosure report on Form SD and is also available at Ciscos website by clicking on About Cisco at the bottom of the www.cisco.com homepage, and then on the resulting webpage
clicking on Supplier Sustainability under the Doing Business with Cisco header.
Cisco has filed, as an exhibit to this Form SD, a Conflict Minerals Report as
required by Item 1.01 of this Form.
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Exhibit
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Description of Document |
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1.01 |
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Cisco Systems, Inc. Conflict Minerals Report for the reporting period January 1 to December 31, 2014. |
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SIGNATURES
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 duly authorized undersigned.
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CISCO SYSTEMS, INC. |
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Dated: May 28, 2015 |
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By: |
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/s/ Gary B. Moore |
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Name: |
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Gary B. Moore |
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Title: |
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President and Chief Operating Officer |
EXHIBIT INDEX
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Exhibit Number |
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Description of Document |
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1.01 |
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Cisco Systems, Inc. Conflict Minerals Report for the reporting period January 1 to December 31, 2014. |
Exhibit 1.01
Exhibit 1.01 to Form SD
Cisco Systems, Inc.
Conflict Minerals Report
For The Reporting Period
January 1 to December 31, 2014
This Conflict Minerals Report (CMR) has been prepared by Cisco Systems, Inc.
(herein referred to as Cisco, the Company, we, our and us). The information contained herein includes the activities of Ciscos majority-owned subsidiaries and variable interest
entities that are required to be consolidated for financial reporting purposes. It does not include the activities of variable interest entities that are not required to be consolidated for financial reporting purposes.
This CMR for the reporting period January 1 to December 31, 2014 is presented to comply with the final conflict minerals
implementing rules (Final CM Rules) promulgated by the Securities and Exchange Commission (SEC), as modified by the SEC order issued on May 2, 2014. The Final CM Rules were adopted by the SEC to implement the reporting
requirements mandated by the Dodd-Frank Wall Street Reform and Consumer Protection Act of 2010. The Final CM Rules impose reporting obligations on SEC registrants whose manufactured products contain conflict minerals that are necessary to the
functionality or production of such products. Conflict minerals are currently defined by the SEC as cassiterite, columbite-tantalite (coltan), gold, wolframite, or their derivatives, which the SEC has currently limited to tin, tantalum,
tungsten, and gold (3TG).
To comply with the Final CM Rules, we conducted due diligence on the source and chain of custody of
the conflict minerals that were necessary to the functionality or production of the products that we manufactured or contracted to manufacture to ascertain whether these conflict minerals originated in the Democratic Republic of the Congo or an
adjoining country (collectively, Covered Countries) and financed or benefited armed groups in any of these countries.
Pursuant to SEC guidance issued April 29, 2014 and the SEC order issued May 2, 2014, Cisco is not required to describe any of its
products as DRC conflict free (as defined in Section 1, Item 1.01(d)(4) of Form SD), DRC conflict undeterminable (as defined in Section 1, Item 1.01(d)(5) of Form SD) or having not been found to
be DRC conflict free, and therefore makes no conclusion in this regard in the report presented herein. Furthermore, given that Cisco has not voluntarily elected to describe any of its products as DRC conflict
free, an independent private sector audit of the report presented herein has not been conducted.
Cisco designs, manufactures, and sells Internet Protocol (IP) based
networking and other products related to the communications and information technology (IT) industry, and provides services associated with these products and their use.
We deliver networking products and solutions designed to simplify and
secure customers network infrastructures. Our products and technologies are grouped into the following categories: Switching; Next-Generation Network (NGN) Routing; Service Provider Video; Collaboration; Wireless; Data Center; Security; and
Other Products. The information set forth under the subheading Products and Services in Item 1. Business of our most recent annual report on Form 10-K, filed with the SEC on September 9, 2014, is incorporated herein by
reference.
Ciscos supply chain operations encompass the development,
manufacture, distribution and take-back of our products. This includes sourcing, order management, manufacturing, delivery, and reverse logistics (which term refers to logistics relating to the return, reuse and/or recycling of
products).
We spend billions of dollars each year with a complex community of thousands of suppliers around the world. We have categorized
our suppliers into three types: manufacturing partners, component suppliers, and logistics and service providers. Logistics and service providers were excluded from the reasonable country of origin inquiry (RCOI) and due diligence
measures discussed below because we have concluded that they do not provide Cisco with any products within the scope of the Final CM Rules.
As explained further below, we rely upon our suppliers to provide information on the origin, source and chain of custody of the conflict
minerals contained in product components and materials. We commenced conflict minerals due diligence on a voluntary basis in 2012.
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d. |
Overview of Ciscos Alignment with Existing Industry Conflict Minerals Initiatives |
Cisco has been a member of the Electronic Industry Citizenship Coalition (EICC) since April 2008 and a participant in the
Conflict-Free Sourcing Initiative (CFSI), a joint initiative of the EICC and the Global e-Sustainability Initiative. We support this multi-industry initiative that audits smelters and refiners due diligence activities. We
have adopted the CFSIs standard industry tools and templates, including the Conflict-Free Smelter Program (CFSP), a standardized protocol for audits of smelters and/or refineries designed to enable our suppliers to investigate,
determine and disclose the identity of the smelters and refineries that are in their supply chain.
II. |
Reasonable Country of Origin Inquiry and Due Diligence |
After conducting an analysis of
the composition of our products, we have determined that we are subject to the reporting obligations set forth in the Final CM Rules and are required to file certain information with the SEC on Form SD.
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a. |
Reasonable Country of Origin Inquiry |
We defined our supply chain due diligence
scope of work to include our existing component suppliers and outsourced manufacturing partners that provide products and components that contain one or more 3TG minerals (collectively referred to as In Scope Suppliers). We
adopted the CFSIs Conflict Minerals Reporting Template (CMRT) and launched a due diligence survey using the CMRT for In Scope Suppliers, which suppliers represent 100% of our total 2014 direct product-related sourcing expenditures.
After conducting our RCOI, we were unable to determine the country of origin of the conflict minerals contained in our products that are
not from recycled or scrap sources. Given this result, we determined that the Final CM Rules require us to exercise due diligence on the source and chain of custody of the conflict minerals contained in our products that conforms to a nationally or
internationally recognized due diligence framework.
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b. |
Design and Implementation of Due Diligence Measures |
Our due diligence efforts and
processes are based on an internationally recognized due diligence framework, the Second Edition of the Organisation for Economic Co-Operation and Developments (OECD) Due Diligence Guidance for Responsible Supply Chains of
Minerals from Conflict-Affected and High-Risk Areas, including the supplements thereto (OECD Guidance). The OECD Guidance recommends that companies integrate into their management systems a five-step framework for risk-based due
diligence of supply chains of minerals that may originate from conflict-affected and high-risk areas.
Cisco integrated the OECD Guidance
into its management systems as follows:
OECD Guidance Step 1. Establish strong management systems for conflict minerals
supply chain due diligence and reporting compliance.
(i) We maintained a Conflict Minerals Policy (CM Policy) that states
our position on the use of conflict minerals. Our CM Policy has been communicated to all existing suppliers and was provided to new suppliers as part of our supplier onboarding process.
(ii) Ciscos Conflict Minerals Program is overseen by our Senior Vice President of Supply Chain Operations. Our Conflict Minerals Program
is managed by a team of subject matter experts from relevant functions within Cisco, including legal and supply chain personnel, as well as a project manager focused on conflict minerals policy implementation and compliance (collectively, the
Conflict Minerals Team), who together are responsible for implementing our conflict minerals strategy and compliance processes. The results of our due diligence and compliance processes are addressed by the Conflict Minerals Team as
necessary.
(iii) To establish a system of controls and transparency over the conflict minerals supply chain,
we incorporated into our supplier due diligence procedures a requirement for suppliers to provide information regarding the smelters or refineries in their supply chain utilizing the CMRT. We used this information to make the RCOI conclusion in
Section II.a of this CMR.
(iv) We established a due diligence compliance process and developed a documentation and record keeping system
to ensure that we retain information relevant to our conflict minerals compliance process electronically for a period of five years in accordance with the OECD Guidance.
(v) As we typically do not have a direct relationship with 3TG smelters and refineries, we collaborate with other major companies and
manufacturers in our sector, mainly through CFSI, to implement many of our conflict minerals compliance policies and processes.
(vi) To
strengthen engagement with our suppliers, we performed smelter outreach through CSFI to encourage CFSP participation, and our suppliers participated in supply chain training and outreach regarding the Final CM Rules requirements and the CFSI
data exchange standards.
(vii) We have in place multiple communication channels that serve as grievance mechanisms for the communication
of complaints, issues or concerns by interested parties relating to our CM Policy or the circumstances of mineral extraction, trade, handling and export in a conflict-affected and high-risk area. We created an email alias that is available to
interested parties for the submission of such complaints. Additionally, we leverage the existing comment-providing mechanism made available in our annual Corporate Social Responsibility Report (CSR Report), through which we collect
comments, research or investigate the subject matter of such comments, and provide, as necessary, appropriate responses. Through this mechanism, interested parties can submit questions or concerns about any policies or statements within our CSR
Report, which questions or concerns are then directed to the relevant business unit within Cisco.
(viii) As we typically do not have a
direct relationship with 3TG smelters and refineries, we rely on our In Scope Suppliers to provide us with up-to-date and accurate smelter and refinery sourcing information. Our adoption and utilization of the industry standard CFSI templates, tools
and auditing program aids us in establishing consistency and transparency throughout our supply chain and the broader CFSI community.
OECD Guidance Step 2. Identify and assess risk in the supply chain.
(i) All In Scope Suppliers were surveyed using the CMRT to identify the origin, source, and chain of custody of conflict minerals contained in
our products.
(ii) CMRT data provided by In Scope Suppliers includes the smelters or refineries used by such suppliers, as well as their
locations, which aids us in assessing risk.
OECD Guidance Step 3. Design and implement a strategy to respond to identified
risks.
(i) To monitor and mitigate supply chain risk, we adopted and utilized the CMRT and the CFSP.
(ii) To help suppliers understand our expectations, and the due diligence and disclosure obligations contained in the SECs Final CM
Rules, Cisco contracted with a third-party consultant for assistance with developing training modules and delivering training sessions to educate In Scope Suppliers, strengthen their capabilities and improve data quality.
(iii) To undertake additional risk monitoring and mitigation, we developed a compliance and escalation process, including a red
flag identification and resolution process.
OECD Guidance Step 4. Carry out independent third-party audit of supply chain
due diligence at identified points in the supply chain.
We relied on the CFSI to conduct independent third-party audits of smelters
and refineries, as we typically do not have a direct relationship with 3TG smelters or refineries and do not perform direct audits of these entities. As a participating member of the CFSI, we worked with other members to develop the audit procedures
and protocols, as well as revisions to the CMRT. Throughout the reporting year, Cisco shared information on smelters identities with CFSI as part of collaborative efforts to track and investigate smelters that may be supplying the industry. In
addition, our Supplier Code of Conduct contains conflict minerals compliance provisions.
OECD Guidance Step 5. Report on supply
chain due diligence.
As required under the Final CM Rules, we have filed our Form SD, which contains this CMR as an exhibit thereto,
with the SEC for the reporting period commencing January 1, 2014 and ending December 31, 2014.
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c. |
Summary of Due Diligence Measures Performed. |
Ciscos due diligence was designed to
determine whether the necessary conflict minerals in our products originated from the Covered Countries and included the following:
(i)
implementation of a CM Policy and a Conflict Minerals Program, external communications with In Scope Suppliers, supplier engagement, due diligence processes, record keeping, and a company-level grievance mechanism;
(ii) surveys of In Scope Suppliers using the CMRT, with the goal of ascertaining the presence of conflict minerals in such suppliers
supply chains, as well as the identity of the smelters or refineries processing such conflict minerals and the smelters or refineries countries of origin;
(iii) communication of our conflict minerals due diligence expectations to In Scope Suppliers and, in addition, the offering of supplier
training sessions to In Scope Suppliers regarding the Final CM Rules requirements, and our related due diligence expectations;
(iv)
integration of responsible sourcing of minerals requirements into our Supplier Code of Conduct and into the new supplier onboarding and integration processes; and
(v) leveraging the due diligence conducted via the CFSP, which administers independent private sector audits of smelters and refineries that
agree to participate in the smelter certification process.
III. Efforts to Determine Country of Origin of Conflict Minerals and the Facilities Used to
Process the Conflict Minerals
The results of Ciscos RCOI and due diligence on the source and chain of custody of Ciscos
necessary conflict minerals are the product of Ciscos iterative and escalating data collection and dialogue process with our In Scope Suppliers. This process is designed to obtain information regarding the smelters or refineries from which
suppliers source such 3TG minerals and to confirm the status of such smelters or refineries as verified by the CFSP as a method of assessing the mine and location of origin of such conflict minerals.
Ciscos supplier due diligence identified 517 smelters and refineries as potential sources of 3TG minerals that were reported to be in
our supply chain, of which 132 have been verified by the CFSP to be conflict free and 49 are in the process of being verified. Table 1 below presents, by mineral, the total number of smelters and refineries identified and the percentage verified to
be conflict free or in the CFSP Verification Process. See Addendum A for a list of smelters and refiners by name verified as conflict-free. The number of smelters or refiners in the Cisco extended supply chain as of December 31, 2014,
that are verified as conflict-free or are in the process of being verified has increased by approximately 50% from the previous year. During the 2014 reporting year, we continued to partner with other CFSI member companies and our In Scope Suppliers
in an effort to collaboratively increase the number of verified smelters.
Due to the implementation of improved data collection procedures throughout the supply chain and a general
increase in the integrity and quality of data provided by suppliers, Cisco identified fewer unique smelters and refiners for the 2014 reporting year than it did for the 2013 reporting year.
Table 1 Smelters and Refiners Verified as Conflict-Free or in the CFSP Verification Process by Mineral.
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Total Smelters and Refiners by Mineral |
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Number Verified or In Process |
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Percentage Verified or In Process |
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Gold |
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205 |
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66 |
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32 |
% |
Tantalum |
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50 |
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35 |
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70 |
% |
Tin |
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240 |
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52 |
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22 |
% |
Tungsten |
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54 |
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28 |
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52 |
% |
As to the remainder of the smelters and refineries that are not verified by the CFSP, we were unable to
determine the mines of origin of the minerals sourced from such smelters and refineries. However, through our supply chain due diligence, we have been able to determine the country locations of such smelters and refineries. See Addendum B for
a list of such country locations, grouped according to the specific mineral processed by such smelters or refineries.
IV. |
Due Diligence Process Improvement Efforts |
We intend to take the following steps to
continue to improve our due diligence measures and to further mitigate the risk that trade in the conflict minerals contained in our products could benefit armed groups in Covered Countries:
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partnering and collaborating with CFSI members to verify the status of smelters and refineries that are identified by our In Scope Suppliers; |
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enhancing supplier communications, training and escalation processes to improve supplier data accuracy and completeness; |
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continuing to exert influence throughout our supply chain to encourage the audit and verification by the CFSI of additional non-CFSP-Verified smelters and refineries; and |
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supporting In Scope Suppliers supplying conflict minerals from sources that are non-CFSP-verified in establishing alternative sourcing strategies. |
FORWARD LOOKING STATEMENTS
Statements relating to due diligence process improvement made in Section IV, as well as similar strategy and compliance process statements made
elsewhere in this CMR, including in Section II.b, are forward-looking in nature and are based on Ciscos managements current expectations or beliefs. These forward-looking statements are not a guarantee of performance and are subject to a
number of uncertainties and other factors (such as whether industry organizations and initiatives such as the EICC and CSFI remain effective as a source of external support to us in the conflict minerals compliance process) that may be outside of
Ciscos control and that could cause actual events to differ materially from those expressed or implied by the statements made herein.
DOCUMENTS
INCORPORATED BY REFERENCE
Unless otherwise stated herein, any documents, third-party materials or references to websites (including Ciscos) are
not incorporated by reference in, or considered to be a part of this CMR unless expressly incorporated by reference herein.
Addendum A
Smelters and Refineries
Verified as Conflict Free by the CFSP
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Subject Mineral |
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Smelter Name |
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Country Location |
Gold |
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Allgemeine Gold-und Silberscheideanstalt A.G. |
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GERMANY |
Gold |
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AngloGold Ashanti Córrego do Sítio Mineração |
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BRAZIL |
Gold |
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Argor-Heraeus SA |
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SWITZERLAND |
Gold |
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Asahi Pretec Corporation |
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JAPAN |
Gold |
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Atasay Kuyumculuk Sanayi Ve Ticaret A.S. |
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TURKEY |
Gold |
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Aurubis AG |
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GERMANY |
Gold |
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Boliden AB |
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SWEDEN |
Gold |
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C. Hafner GmbH + Co. KG |
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GERMANY |
Gold |
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CCR Refinery Glencore Canada Corporation |
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CANADA |
Gold |
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Chimet S.p.A. |
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ITALY |
Gold |
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Dowa |
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JAPAN |
Gold |
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ECO-System Recycling Co., Ltd. |
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JAPAN |
Gold |
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Heimerle + Meule GmbH |
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GERMANY |
Gold |
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Heraeus Ltd. Hong Kong |
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CHINA |
Gold |
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Heraeus Precious Metals GmbH & Co. KG |
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GERMANY |
Gold |
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Ishifuku Metal Industry Co., Ltd. |
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JAPAN |
Gold |
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Istanbul Gold Refinery |
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TURKEY |
Gold |
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Japan Mint |
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JAPAN |
Gold |
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Johnson Matthey Inc. |
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UNITED STATES |
Gold |
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Johnson Matthey Limited |
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CANADA |
Gold |
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JSC Ekaterinburg Non-Ferrous Metal Processing Plant |
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RUSSIAN FEDERATION |
Gold |
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JX Nippon Mining & Metals Co., Ltd. |
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JAPAN |
Gold |
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Kazzinc |
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KAZAKHSTAN |
Gold |
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Kennecott Utah Copper LLC |
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UNITED STATES |
Gold |
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Kojima Chemicals Co., Ltd. |
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JAPAN |
Gold |
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L azurde Company For Jewelry |
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SAUDI ARABIA |
Gold |
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LS-NIKKO Copper Inc. |
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REPUBLIC OF KOREA |
Gold |
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Materion |
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UNITED STATES |
Gold |
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Matsuda Sangyo Co., Ltd. |
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JAPAN |
Gold |
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Metalor Technologies (Hong Kong) Ltd. |
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CHINA |
Gold |
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Metalor Technologies (Singapore) Pte., Ltd. |
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SINGAPORE |
Gold |
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Metalor Technologies SA |
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SWITZERLAND |
Gold |
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Metalor USA Refining Corporation |
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UNITED STATES |
Gold |
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METALÚRGICA MET-MEX PEÑOLES, S.A. DE C.V |
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MEXICO |
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Gold |
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Mitsubishi Materials Corporation |
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JAPAN |
Gold |
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Mitsui Mining and Smelting Co., Ltd. |
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JAPAN |
Gold |
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Nadir Metal Rafineri San. Ve Tic. A.Ş. |
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TURKEY |
Gold |
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Nihon Material Co., Ltd. |
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JAPAN |
Gold |
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Ohio Precious Metals, LLC |
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UNITED STATES |
Gold |
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Ohura Precious Metal Industry Co., Ltd. |
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JAPAN |
Gold |
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OJSC The Gulidov Krasnoyarsk Non-Ferrous Metals Plant (OJSC Krastvetmet) |
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RUSSIAN FEDERATION |
Gold |
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PAMP SA |
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SWITZERLAND |
Gold |
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PX Précinox SA |
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SWITZERLAND |
Gold |
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Rand Refinery (Pty) Ltd. |
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SOUTH AFRICA |
Gold |
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Royal Canadian Mint |
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CANADA |
Gold |
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Schone Edelmetaal |
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NETHERLANDS |
Gold |
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SEMPSA Joyería Platería SA |
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SPAIN |
Gold |
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Shandong Zhaojin Gold & Silver Refinery Co., Ltd. |
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CHINA |
Gold |
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Solar Applied Materials Technology Corp. |
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TAIWAN |
Gold |
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Sumitomo Metal Mining Co., Ltd. |
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JAPAN |
Gold |
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Tanaka Kikinzoku Kogyo K.K. |
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JAPAN |
Gold |
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The Refinery of Shandong Gold Mining Co., Ltd. |
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CHINA |
Gold |
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Tokuriki Honten Co., Ltd. |
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JAPAN |
Gold |
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Umicore Brasil Ltda. |
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BRAZIL |
Gold |
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Umicore Precious Metals Thailand |
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THAILAND |
Gold |
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Umicore SA Business Unit Precious Metals Refining |
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BELGIUM |
Gold |
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United Precious Metal Refining, Inc. |
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UNITED STATES |
Gold |
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Valcambi SA |
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SWITZERLAND |
Gold |
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Western Australian Mint trading as The Perth Mint |
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AUSTRALIA |
Tantalum |
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Conghua Tantalum and Niobium Smeltry |
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CHINA |
Tantalum |
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Duoluoshan |
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CHINA |
Tantalum |
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Exotech Inc. |
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UNITED STATES |
Tantalum |
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F&X Electro-Materials Ltd. |
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CHINA |
Tantalum |
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Global Advanced Metals Aizu |
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JAPAN |
Tantalum |
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Global Advanced Metals Boyertown |
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UNITED STATES |
Tantalum |
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Guangdong Zhiyuan New Material Co., Ltd. |
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CHINA |
Tantalum |
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Guizhou Zhenhua Xinyun Technology Ltd., Kaili branch |
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CHINA |
Tantalum |
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H.C. Starck Co., Ltd. |
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THAILAND |
Tantalum |
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H.C. Starck GmbH Goslar |
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GERMANY |
Tantalum |
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H.C. Starck GmbH Laufenburg |
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GERMANY |
Tantalum |
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H.C. Starck Hermsdorf GmbH |
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GERMANY |
Tantalum |
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H.C. Starck Inc. |
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UNITED STATES |
Tantalum |
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H.C. Starck Ltd. |
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JAPAN |
Tantalum |
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H.C. Starck Smelting GmbH & Co.KG |
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GERMANY |
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Tantalum |
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Hengyang King Xing Lifeng New Materials Co., Ltd. |
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CHINA |
Tantalum |
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JiuJiang JinXin Nonferrous Metals Co., Ltd. |
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CHINA |
Tantalum |
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Jiujiang Tanbre Co., Ltd. |
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CHINA |
Tantalum |
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KEMET Blue Metals |
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MEXICO |
Tantalum |
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LSM Brasil S.A. |
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BRAZIL |
Tantalum |
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Metallurgical Products India Pvt., Ltd. |
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INDIA |
Tantalum |
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Mineração Taboca S.A. |
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BRAZIL |
Tantalum |
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Mitsui Mining & Smelting |
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JAPAN |
Tantalum |
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Molycorp Silmet A.S. |
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ESTONIA |
Tantalum |
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Ningxia Orient Tantalum Industry Co., Ltd. |
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CHINA |
Tantalum |
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Plansee SE Liezen |
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AUSTRIA |
Tantalum |
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Plansee SE Reutte |
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AUSTRIA |
Tantalum |
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QuantumClean |
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UNITED STATES |
Tantalum |
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RFH Tantalum Smeltry Co., Ltd. |
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CHINA |
Tantalum |
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Solikamsk Magnesium Works OAO |
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RUSSIAN FEDERATION |
Tantalum |
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Taki Chemicals |
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JAPAN |
Tantalum |
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Telex Metals |
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UNITED STATES |
Tantalum |
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Ulba Metallurgical Plant JSC |
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KAZAKHSTAN |
Tantalum |
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Zhuzhou Cemented Carbide |
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CHINA |
Tin |
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Alpha |
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UNITED STATES |
Tin |
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CV United Smelting |
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INDONESIA |
Tin |
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Dowa |
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JAPAN |
Tin |
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EM Vinto |
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BOLIVIA |
Tin |
|
Gejiu Non-Ferrous Metal Processing Co., Ltd. |
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CHINA |
Tin |
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Magnus Minerais Metais e Ligas Ltda. |
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BRAZIL |
Tin |
|
Malaysia Smelting Corporation (MSC) |
|
MALAYSIA |
Tin |
|
Melt Metais e Ligas S/A |
|
BRAZIL |
Tin |
|
Metallo-Chimique N.V. |
|
BELGIUM |
Tin |
|
Mineração Taboca S.A. |
|
BRAZIL |
Tin |
|
Minsur |
|
PERU |
Tin |
|
Mitsubishi Materials Corporation |
|
JAPAN |
Tin |
|
Operaciones Metalurgical S.A. |
|
BOLIVIA |
Tin |
|
PT ATD Makmur Mandiri Jaya |
|
INDONESIA |
Tin |
|
PT Babel Inti Perkasa |
|
INDONESIA |
Tin |
|
PT Bangka Putra Karya |
|
INDONESIA |
Tin |
|
PT Bangka Tin Industry |
|
INDONESIA |
Tin |
|
PT Bukit Timah |
|
INDONESIA |
Tin |
|
PT DS Jaya Abadi |
|
INDONESIA |
Tin |
|
PT Eunindo Usaha Mandiri |
|
INDONESIA |
Tin |
|
PT Prima Timah Utama |
|
INDONESIA |
|
|
|
|
|
Tin |
|
PT Refined Bangka Tin |
|
INDONESIA |
Tin |
|
PT Sariwiguna Binasentosa |
|
INDONESIA |
Tin |
|
PT Stanindo Inti Perkasa |
|
INDONESIA |
Tin |
|
PT Timah (Persero) Tbk Kundur |
|
INDONESIA |
Tin |
|
PT Timah (Persero) Tbk Mentok |
|
INDONESIA |
Tin |
|
Thaisarco |
|
THAILAND |
Tin |
|
White Solder Metalurgia e Mineração Ltda. |
|
BRAZIL |
Tin |
|
Yunnan Tin Group (Holding) Company Limited |
|
CHINA |
Tungsten |
|
Ganzhou Huaxing Tungsten Products Co., Ltd. |
|
CHINA |
Tungsten |
|
Ganzhou Jiangwu Ferrotungsten Co., Ltd. |
|
CHINA |
Tungsten |
|
Ganzhou Seadragon W & Mo Co., Ltd. |
|
CHINA |
Tungsten |
|
Global Tungsten & Powders Corp. |
|
UNITED STATES |
Tungsten |
|
Hunan Chunchang Nonferrous Metals Co., Ltd. |
|
CHINA |
Tungsten |
|
Japan New Metals Co., Ltd. |
|
JAPAN |
Tungsten |
|
Jiangxi Gan Bei Tungsten Co., Ltd. |
|
CHINA |
Tungsten |
|
Malipo Haiyu Tungsten Co., Ltd. |
|
CHINA |
Tungsten |
|
Vietnam Youngsun Tungsten Industry Co., Ltd. |
|
VIET NAM |
Tungsten |
|
Xiamen Tungsten Co., Ltd. |
|
CHINA |
Addendum B
Non CFSI Verified Smelter and Refinery Country Locations
|
|
|
Subject
Mineral |
|
Country Location |
Tantalum |
|
Brazil China
Japan Mozambique
South Africa Taiwan
Thailand United States |
|
|
Tungsten |
|
Brazil China
Italy Japan
Republic of Korea Russian Federation
Taiwan United States
Vietnam |
|
|
Gold |
|
China Czech Republic
France Germany
India Indonesia
Italy Japan
Kyrgyzstan Mexico
New Zealand Philippines
Republic of Korea Russian Federation
South Africa Taiwan
United States Uzbekistan |
|
|
|
Tin |
|
Algeria
Argentina
Bolivia
Brazil
China
Czech Republic
France
Germany
Indonesia
Japan
Malaysia
Netherlands
Peru
Philippines
Republic of Korea
Russian Federation
Switzerland
Taiwan
Thailand
United States
Vietnam |
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