UNITED STATES
SECURITIES AND EXCHANGE COMMISSION
Washington, D.C. 20549
FORM SD
SPECIALIZED
DISCLOSURE REPORT
VERIZON COMMUNICATIONS INC.
(Exact name of the registrant as specified in its charter)
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Delaware |
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1-8606 |
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23-2259884 |
(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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1095 Avenue of the Americas
New York, New York |
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10036 |
(Address of principal executive offices) |
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(Zip code) |
Mary Louise Weber,
Esq.
(908) 559-5636
(Name and telephone number, including area code, of the
person to contact in connection with this 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:
x |
Rule 13p-1 under the Securities Exchange Act (17 CFR 240.13p-1) for the reporting period from January 1 to December 31, 2014. |
Section 1 Conflict Minerals Disclosure
Item 1.01 Conflict Minerals Disclosure and Report
Verizon Communications Inc. has issued a Conflict Minerals Report for the period from January 1, 2014 to December 31, 2014. A copy
of the Conflict Minerals Report is filed herewith as Exhibit 1.01 and is available at http://www.verizon.com/about/financial-reporting-summary.
Item 1.02 Exhibit
See Item 2.01
Section 2
Exhibits
Item 2.01 Exhibits
Exhibit 1.01 Conflict Minerals Report as required by Items 1.01 and 1.02 of this Form.
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,
thereunto duly authorized.
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Verizon Communications Inc. |
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(Registrant) |
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Date: May 29, 2015 |
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/s/ Francis J. Shammo |
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Francis J. Shammo |
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Executive Vice President and Chief Financial Officer |
Exhibit 1.01
Verizon Communications Inc. Conflict Minerals Report for Calendar Year 2014
This is the Conflict Minerals Report (CMR) of Verizon Communications Inc. (Verizon, Company or we) for the
reporting period covering January 1, 2014 through December 31, 2014 in accordance with Rule 13p-1 under the Securities Exchange Act of 1934 (the Conflict Minerals Rule) and Form SD.
Introduction
The Conflict Minerals Rule requires issuers
to annually file a Form SD with the United States Securities and Exchange Commission to disclose information regarding the use and origin of Conflict Minerals necessary for the functionality or production of products manufactured or
contracted to be manufactured by such issuer. Under the Conflict Minerals Rule, Conflict Minerals currently include columbite-tantalite (coltan), cassiterite, gold, wolframite, and also their derivatives tantalum, tin and tungsten. We
refer to gold, tantalum, tin and tungsten collectively as 3TG. The purpose of the Conflict Minerals Rule is to discover if covered issuers use of 3TG may have directly or indirectly financed or benefitted armed groups in the
Democratic Republic of Congo and its adjoining countries (the DRC Region).
This CMR describes how Verizons Conflict Minerals due
diligence program is designed, as well as what steps have been taken to implement the due diligence program and determine in good faith the country of origin, source, and chain of custody of the minerals used in the Verizon products that are within
the scope of the Conflict Minerals Rule (see Product Description and Determination).
This CMR is based on information available at the time
of filing. This CMR may contain forward-looking statements regarding steps to be taken in the future as we improve our due diligence measures with respect to 3TG, and those statements are subject to risks and uncertainties. References to any website
in this Form SD or CMR do not incorporate information from that website within this filing.
Forward-looking statements are subject to risks and
uncertainties that could cause actual actions or performance to differ materially from those expressed in the forward-looking statements. These risks and uncertainties include, but are not limited to, (1) the implementation of satisfactory
traceability and other compliance measures by our direct and indirect suppliers on a timely basis or at all, (2) whether smelters and refiners and other market participants responsibly source Conflict Minerals, (3) internal and external
resource constraints, and (4) political and regulatory developments, whether in the DRC Region, the United States or elsewhere. You are cautioned not to place undue reliance on these forward-looking statements, which speak only as of the date
of filing of this CMR. We do not intend, and undertake no obligation, to publish revised forward-looking statements to reflect events or circumstances after the date of filing of this CMR or to reflect the occurrence of unanticipated events.
Reasonable Country of Origin Inquiry
In accordance with
the Conflict Minerals Rule, Verizons compliance process includes a reasonable country of origin inquiry (RCOI) seeking the location of the smelters or refiners used to refine or process the 3TG used in products that are
within the scope of the Conflict Minerals Rule. Verizon requested that its relevant supplier complete a Conflict Minerals Reporting Template (the CFSI Template) to support our Conflict Minerals due diligence program. The CFSI Template
was developed by the Conflict Free Sourcing Initiative (the CFSI, see http://www.conflictfreesourcing.org) to assist companies in determining the smelters or refiners contributing 3TG to their products.
With respect to the products described in the Product Description and Determination section of this
CMR (the Covered Products), Verizon received a CFSI Template response from its supplier that jointly covered both products. Therefore Verizon could not definitely determine which smelter/refiner contributed to which specific Verizon
product. Certain areas of the CFSI Template submission we received were incomplete.
Verizon is a member of the CFSI. As a CFSI member, Verizon has access
to country of origin information for smelters/refiners known to CFSI. Some of the smelters/refiners disclosed by our supplier were indicated by the CFSI country of origin data to source 3TG from the DRC Region. Accordingly, Verizon is required to
exercise due diligence on the source and chain of custody of the 3TG within the affected Verizon products. Verizons due diligence process is described below.
Due Diligence Framework
Verizon designed its due
diligence process to conform, in all material respects, with the Organization for Economic Cooperation and Developments Due Diligence Guidance for Responsible Supply Chains of Minerals from Conflict-Affected and High-Risk Areas and
accompanying Supplements (the OECD Framework) as applicable for downstream companies (as defined in the OECD Framework), taking into account Verizons position in the 3TG supply chain and the fact that Verizon does not
typically contract to manufacture the products associated with its business, and typically has limited engagement with suppliers beyond its direct suppliers.
The OECD Framework recommends a five step process for Conflict Minerals due diligence. Verizons implementation of these five steps is described below.
STEP 1: ESTABLISHING STRONG COMPANY MANAGEMENT SYSTEMS
Verizon has taken the following steps to strengthen its company management systems with respect to Conflict Minerals matters:
Established a Conflict Minerals Policy. Our Conflict Minerals policy communicates Verizons perspective regarding the use of Conflict
Minerals, our support of certain cross-industry efforts to address them, and our intent to avoid sourcing 3TG that directly or indirectly benefit non-state armed groups. It also references (and excerpts) a section within our Supplier Code of Conduct
devoted to Conflict Minerals. That Supplier Code of Conduct subsection sets forth expectations for our suppliers, including the need for suppliers to assist us with any required RCOI investigations, and the requirement that suppliers of applicable
products complete a CFSI Template to support our Conflict Minerals due diligence programs.
Our Conflict Minerals policy can be found on the web at:
http://www.verizon.com/about/responsibility/policies/
Created a Team of Appropriate Personnel to Support Conflict Minerals Due Diligence. We assembled an internal team to support our compliance plan.
The team includes representatives from our Legal, Sustainability, Global Corporate Citizenship, Supply Chain, External Communications and Internal Audit functions, as well as the appropriate Sourcing teams responsible for managing relevant supplier
relationships. Team members periodically review the goals for our Conflict Minerals compliance program, with Legal, Sourcing, Internal Audit and Supply Chain teams taking primary responsibility for supplier-facing diligence and compliance measures.
Established a System of Controls and Transparency Over the Mineral Supply Chain.
Because Verizon does not typically contract to manufacture the products associated with our business, much of our visibility into the mineral supply chain
must necessarily come via our suppliers. Verizon has inserted a detailed set of contractual provisions in its supply contracts for products within the scope of Verizons reporting obligations under the Conflict Minerals Rule. The provisions
require the supplier to establish processes consistent with the Conflict Minerals Rule and the OECD Framework in order to determine the smelters or refiners from which the 3TG originates. The contract provision also requires Suppliers periodic
engagement with Verizon with respect to Conflict Minerals due diligence. The provision requires that the supplier complete and submit a CFSI Template for review by Verizon.
The contractual provisions described above are detailed and collaborative, requiring periodic meetings and resource dedication to assure that due diligence
proceeds throughout each reporting period. The collaborative nature of the provisions is designed to strengthen engagement with our suppliers in accordance with the OECD Framework. The contractual provisions are separate and in addition to the
Conflict Minerals-related obligations contained within our Supplier Code of Conduct and our Conflict Minerals policy.
Provided a Company-level
Grievance Mechanism. In accordance with our public Supplier Code of Conduct, issues with respect to Conflict Minerals can be reported at any time to our Office of Ethics and Business Conduct through the VZ Compliance Guideline at
844-VZGUIDE (844.894.8433) (within the U.S.), (+)800.0.624.0007 (outside the U.S.), or online at www.verizonguideline.com.
STEP 2: IDENTIFYING AND
ASSESSING RISKS
We use the CSFI Template for data collection. The contractual provisions referred to in Step 1 provide a schedule for delivery of the CFSI
Template by suppliers first in draft and then final form, allowing additional time to address any red flags as required by the Conflict Minerals Rule. Typically, the CFSI Template reflects the list of smelters or refiners known by the
supplier, or reported to our direct supplier by its own sub-tier suppliers, that contribute 3TG contained in the product to which the CFSI Template relates. We then compare this list with CFSIs smelter/refiner information.
STEP 3: RESPONDING TO IDENTIFIED RISKS
We conducted our first
round of Conflict Minerals sourcing data collection in the third quarter of 2014. Upon receipt of CFSI Templates from our supplier, we analyzed the responses and where smelters/refiners were not listed as compliant with the CFSI audit protocols or
were not listed as active (that is, having committed to undergo a CFSI facility audit) within CFSIs audit program, we engaged our supplier for further information and a strategy to manage and mitigate identified risks. In response,
we received a limited number of certifications with respect to several of those smelters not indicated to be compliant. We reported to management on the findings derived from the measures taken under Step 2 above. We also took or will take the
additional steps described in the section below titled Steps Taken Or To Be Taken in 2015 To Mitigate Risk And Improve Due Diligence. Due to our downstream position in the supply chain, we believe that seeking information about 3TG
smelters/refiners in our supply chain and otherwise participating in the CFSI program as described represents a reasonable effort to determine the mines or locations of origin of 3TG in our supply chain.
STEP 4: AUDITING SUPPLY CHAIN DUE DILIGENCE.
Because we do not have a direct relationship with any smelter or refiner for minerals contained in our products, we are unable to conduct audits of these
entities. Instead, as recommended by the OECD Framework, we participate in industry initiatives for the development and implementation of a smelter/refiner audit program through our membership in the CFSI, which administers the Conflict Free Smelter
audit program.
STEP 5: PUBLICALLY REPORTING ON SUPPLY CHAIN DUE DILIGENCE.
Our Form SD and CMR for 2014 are publicly available on Verizons website at http://www.verizon.com/about/financial-reporting-summary.
Results of Due Diligence. As a result of the due diligence described above, we identified, based on data we received from our supplier, 162
unique smelters or refiners contributing 3TG contained in our Covered Products for 2014.
Based on data we received from our supplier, we believe that the
smelters/refiners listed (with their geographic location) on Annex I may have contributed 3TG to our Covered Products.
Of the 162 smelters or refiners
identified, 82 were included on the CFSI list of certified Conflict Free Smelters as of February 2015. Based on data we have access to as members of the CFSI regarding compliant smelters/refiners, we believe that the 3TG used in our Covered Products
from those smelters or refiners may have come from the countries listed on Annex II, or from recycled or scrap materials. Certain of the CFSI-compliant smelters/refiners have not disclosed their sourcing locations to CFSI, so additional countries
may have contributed 3TG to those smelters/refiners.
Of the remaining 80 smelters or refiners, an additional 18 facilities were reflected as
active within the CFSI audit program as of February 2015.
Consistent with our Conflict Minerals Policy, which encourages the responsible
sourcing of minerals from within the DRC Region, five CFSI-compliant smelters or refiners sourced from within the DRC Region, and an additional four CFSI-compliant smelters or refiners sourced from the Democratic Republic of Congo itself.
We do not have additional information regarding the smelters/refiners not identified as compliant by the CFSI.
Steps Taken Or To Be Taken In 2015 To Mitigate Risk And Improve Due Diligence:
During the first quarter of 2015, members of Verizons Internal Audit team travelled to certain of our suppliers locations in Taiwan and China and
performed a review of certain aspects of our suppliers Conflict Minerals practices as described in their CFSI Template submission to us. We obtained copies of our suppliers Conflict Minerals policy and found that our supplier requires
its second-tier suppliers to avoid the use of 3TG that may finance armed groups in the DRC Region, and to disclose the country of origin for all Conflict Minerals used, and further requires its second tier suppliers to provide their upstream
suppliers with a copy of suppliers Conflict Minerals policy. Additionally, as part of this review, our team also selected a sample of seven second-tier component
suppliers to confirm that each of those seven provided a CFSI Template to our direct supplier, and that all smelters reported by such second tier suppliers (a
total of 16) within their CFSI Template submissions were also present on our direct suppliers CFSI Template.
We will continue to mitigate risk and improve our due diligence process including, but not limited to, taking the
following steps:
In 2015, we will continue to engage with suppliers to gain better visibility into our 3TG supply chains, and encourage the further
adoption of the CFSI Template.
In 2015, we will continue to be an active member of the CFSI.
In 2015, we will continue to work with direct suppliers and engage with our supply chain to increase the quality of the data provided to us.
As smelter/refiner auditing regimes mature, we will refine and improve contractual provisions that direct suppliers to prefer sources from smelters/refiners
that are listed as certified by the CFSI.
We will send letters to smelters/refiners identified in our supply chains that are not yet compliant with the
CFSI program, and for which we are able to verify contact information, expressing Verizons concerns in regards to Conflict Minerals and encouraging those smelters/refiners to participate in the CFSI program.
PRODUCT DESCRIPTION AND DETERMINATION
The due diligence measures set forth above, including the RCOI, were undertaken with respect to suppliers of products that Verizon contracts to manufacture
listed below. The products described below are complex devices with many subcomponents contributed by sub-suppliers at multiple tiers within the supply chain. As a result of such measures, the below products are DRC Conflict
Undeterminable as defined in the Conflict Minerals Rule:
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FiOS Quantum Gateway Router |
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FiOS uIPC (This equipment will be used to provide a consumer Verizon service not yet deployed in 2014 that is to be returned to Verizon by the customer once the service terminates) |
Annex I
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3TG
Metal |
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Smelter Name |
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Smelter Country |
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Gold |
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Heraeus Ltd. Hong Kong |
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Hong Kong |
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Gold |
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Mitsui Mining and Smelting Co., Ltd. |
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Japan |
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Gold |
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Mitsubishi Materials Corporation |
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Japan |
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Gold |
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Sumitomo Metal Mining Co., Ltd. |
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Japan |
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Gold |
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Kojima Chemicals Co., Ltd |
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Japan |
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Gold |
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Heraeus Precious Metals GmbH & Co. KG |
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Germany |
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Gold |
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Asahi Pretec Corporation |
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Japan |
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Gold |
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Eco-System Recycling Co., Ltd. |
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Japan |
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Gold |
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Ishifuku Metal Industry Co., Ltd. |
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Japan |
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Gold |
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Jiangxi Copper Company Limited |
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China |
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Gold |
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JX Nippon Mining & Metals Co., Ltd. |
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Japan |
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Gold |
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Matsuda Sangyo Co., Ltd. |
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Japan |
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Gold |
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Nihon Material Co. LTD |
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Japan |
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Gold |
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Solar Applied Materials Technology Corp. |
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Taiwan |
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Gold |
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Tanaka Kikinzoku Kogyo K.K. |
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Japan |
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Gold |
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Tokuriki Honten Co., Ltd |
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Japan |
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Gold |
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Johnson Matthey Inc. |
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United States |
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Gold |
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Japan Mint |
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Japan |
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Gold |
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The Refinery of Shandong Gold Mining Co. Ltd |
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China |
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Gold |
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Zhongyuan Gold Smelter of Zhongjin Gold Corporation |
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China |
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Gold |
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China National Gold Group Corporation |
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China |
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Gold |
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Guangdong Jinding Gold Limited |
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China |
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Gold |
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Shandong Zhaojin Gold & Silver Refinery Co. Ltd |
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China |
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Gold |
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Metalor Technologies SA |
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Switzerland |
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Gold |
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Heimerle + Meule GmbH |
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Germany |
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Gold |
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Navoi Mining and Metallurgical Combinat |
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Uzbekistan |
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Gold |
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Western Australian Mint trading as The Perth Mint |
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Australia |
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Gold |
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LS-NIKKO Copper Inc. |
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Korea, Republic of |
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Gold |
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Argor-Heraeus SA |
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Switzerland |
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Gold |
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Dowa |
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Japan |
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Gold |
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Metalor USA Refining Corporation |
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United States |
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Gold |
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Royal Canadian Mint |
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Canada |
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Gold |
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CCR Refinery Glencore Canada Corporation |
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Canada |
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Gold |
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Inner Mongolia Qiankun Gold and Silver Refinery Share Company Limited |
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China |
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Gold |
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Umicore SA Business Unit Precious Metals Refining |
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Belgium |
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Gold |
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United Precious Metal Refining, Inc. |
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United States |
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Gold |
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Allgemeine Gold-und Silberscheideanstalt A.G. |
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Germany |
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Gold |
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Materion |
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United States |
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Gold |
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Chugai Mining |
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Japan |
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Gold |
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Johnson Matthey Ltd |
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Canada |
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Gold |
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Valcambi SA |
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Switzerland |
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Gold |
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Caridad |
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Mexico |
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Gold |
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Metalor Technologies (Hong Kong) Ltd |
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Hong Kong |
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Gold |
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Aida Chemical Industries Co. Ltd. |
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Japan |
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Gold |
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Yokohama Metal Co. Ltd |
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Japan |
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Gold |
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Sabin Metal Corp. |
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United States |
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Gold |
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Rand Refinery (Pty) Ltd |
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South Africa |
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Gold |
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Ohio Precious Metals, LLC |
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United States |
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Gold |
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So Accurate Group, Inc. |
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United States |
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Gold |
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Chimet S.p.A. |
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Italy |
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Gold |
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Asaka Riken Co. Ltd |
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Japan |
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Gold |
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Torecom |
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Korea, Republic of |
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Gold |
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Hwasung CJ Co. Ltd |
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Korea, Republic of |
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Gold |
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AngloGold Ashanti Córrego do Sítio Minerção |
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Brazil |
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Gold |
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PAMP SA |
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Switzerland |
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Gold |
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SEMPSA Joyería Platería SA |
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Spain |
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Gold |
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Daejin Indus Co. Ltd |
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Korea, Republic of |
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Gold |
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Do Sung Corporation |
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Korea, Republic of |
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Gold |
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Korea Metal Co. Ltd |
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Korea, Republic of |
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Gold |
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SAMWON METALS Corp. |
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Korea, Republic of |
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Gold |
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Almalyk Mining and Metallurgical Complex (AMMC) |
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Uzbekistan |
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Gold |
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Aurubis AG |
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Germany |
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Gold |
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Kazzinc Ltd |
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Kazakhstan |
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Gold |
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FSE Novosibirsk Refinery |
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Russian Federation |
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Gold |
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DaeryongENC |
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Korea, Republic of |
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Gold |
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Kennecott Utah Copper LLC |
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United States |
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Gold |
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Umicore Brasil Ltda |
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Brazil |
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Gold |
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Cendres & Métaux SA |
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Switzerland |
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Gold |
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The Great Wall Gold and Silver Refinery of China |
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China |
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Gold |
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Zijin Mining Group Co. Ltd |
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China |
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Gold |
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PT Aneka Tambang (Persero) Tbk |
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Indonesia |
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Gold |
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Prioksky Plant of Non-Ferrous Metals |
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Russian Federation |
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Gold |
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L azurde Company For Jewelry |
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Saudi Arabia |
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Gold |
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Atasay Kuyumculuk Sanayi Ve Ticaret A.S. |
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Turkey |
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Gold |
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YAMAMOTO PRECIOUS METAL CO., LTD. |
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Japan |
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Gold |
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Daye Non-Ferrous Metals Mining Ltd. |
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China |
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Gold |
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Luoyang Zijin Yinhui Metal Smelt Co. Ltd |
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China |
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Gold |
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Yunnan Copper Industry Co. Ltd |
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China |
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Tin |
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PT Bukit Timah |
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Indonesia |
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Tin |
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Thaisarco |
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Thailand |
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Tin |
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Malaysia Smelting Corporation (MSC) |
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Malaysia |
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Tin |
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PT Timah (Persero), Tbk |
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Indonesia |
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Tin |
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Mitsubishi Materials Corporation |
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Japan |
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Tin |
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Yunnan Tin Company, Ltd. |
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China |
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Tin |
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EM Vinto |
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Bolivia |
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Tin |
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Minsur |
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Peru |
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Tin |
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OMSA |
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Bolivia |
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Tin |
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China Tin Group Co., Ltd. |
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China |
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Tin |
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Yunnan Chengfeng Non-ferrous Metals Co., Ltd. |
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China |
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Tin |
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Gejiu Zi-Li |
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China |
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Tin |
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Huichang Jinshunda Tin Co. Ltd |
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China |
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Tin |
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PT Bangka Putra Karya |
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Indonesia |
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Tin |
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PT Stanindo Inti Perkasa |
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Indonesia |
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Tin |
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Metallo Chimique |
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Belgium |
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Tin |
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PT Tambang Timah |
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Indonesia |
|
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Tin |
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PT Belitung Industri Sejahtera |
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Indonesia |
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Tin |
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Mineração Taboca S.A. |
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Brazil |
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Tin |
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CV United Smelting |
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Indonesia |
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Tin |
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Gejiu Non-Ferrous Metal Processing Co. Ltd. |
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China |
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Tin |
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PT REFINED BANGKA TIN |
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Indonesia |
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Tin |
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Fenix Metals |
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Poland |
|
|
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Tin |
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PT Artha Cipta Langgeng |
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Indonesia |
|
|
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Tin |
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PT Babel Inti Perkasa |
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Indonesia |
|
|
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Tin |
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Alpha |
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United States |
|
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Tin |
|
CV Serumpun Sebalai |
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Indonesia |
|
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Tin |
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PT Mitra Stania Prima |
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Indonesia |
|
|
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Tin |
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PT Tinindo Inter Nusa |
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Indonesia |
|
|
|
Tin |
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Jiangxi Nanshan |
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China |
|
|
|
Tin |
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Kai Unita Trade Limited Liability Company |
|
China |
|
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|
Tin |
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PT Eunindo Usaha Mandiri |
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Indonesia |
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Tin |
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PT Sariwiguna Binasentosa |
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Indonesia |
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Tin |
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PT DS Jaya Abadi |
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Indonesia |
|
|
|
Tin |
|
Novosibirsk Integrated Tin Works |
|
Russian Federation |
|
|
|
Tin |
|
Linwu Xianggui Smelter Co. |
|
China |
|
|
|
Tin |
|
PT Bangka Tin Industry |
|
Indonesia |
|
|
|
Tin |
|
CNMC (Guangxi) PGMA Co. Ltd. |
|
China |
|
|
|
Tin |
|
Minmetals Ganzhou Tin Co. Ltd. |
|
China |
|
|
|
Tin |
|
Cooper Santa |
|
Brazil |
|
|
|
Tin |
|
PT Prima Timah Utama |
|
Indonesia |
|
|
|
Tin |
|
Soft Metais, Ltda. |
|
Brazil |
|
|
|
Tin |
|
Rui Da Hung |
|
Taiwan |
|
|
|
Tin |
|
Estanho de Rondônia S.A. |
|
Brazil |
|
|
|
Tantalum |
|
H.C. Starck Group |
|
Germany |
|
|
|
Tantalum |
|
Global Advanced Metals |
|
United States |
|
|
|
Tantalum |
|
Ulba |
|
Kazakhstan |
|
|
|
Tantalum |
|
Exotech Inc. |
|
United States |
|
|
|
Tantalum |
|
Ningxia Orient Tantalum Industry Co., Ltd. |
|
China |
|
|
|
Tantalum |
|
Zhuzhou Cement Carbide |
|
China |
|
|
|
Tantalum |
|
F&X Electro-Materials Ltd. |
|
China |
|
|
|
Tantalum |
|
Duoluoshan |
|
China |
|
|
|
Tantalum |
|
Plansee |
|
Austria |
|
|
|
Tantalum |
|
Mitsui Mining & Smelting |
|
Japan |
|
|
|
Tantalum |
|
Hi-Temp |
|
United States |
|
|
|
Tantalum |
|
Conghua Tantalum and Niobium Smeltry |
|
China |
|
|
|
Tantalum |
|
JiuJiang JinXin Nonferrous Metals Co., Ltd. |
|
China |
|
|
|
Tantalum |
|
Solikamsk Metal Works |
|
Russian Federation |
|
|
|
Tantalum |
|
Kemet Blue Powder |
|
United States |
|
|
|
Tantalum |
|
Telex |
|
United States |
|
|
|
Tantalum |
|
Tantalite Resources |
|
South Africa |
|
|
|
Tantalum |
|
LSM Brasil S.A. |
|
Brazil |
|
|
|
Tantalum |
|
Taki Chemicals |
|
Japan |
|
|
|
Tungsten |
|
Zhuzhou Cemented Carbide Group Co. Ltd |
|
China |
|
|
|
Tungsten |
|
Global Tungsten & Powders Corp. |
|
United States |
|
|
|
Tungsten |
|
Ganzhou Huaxing Tungsten Products Co., Ltd. |
|
China |
|
|
|
Tungsten |
|
Xiamen Tungsten (H.C.) Co., Ltd. |
|
China |
|
|
|
Tungsten |
|
Wolfram Company CJSC |
|
Russian Federation |
|
|
|
Tungsten |
|
Guangdong Xianglu Tungsten Industry Co., Ltd. |
|
China |
|
|
|
Tungsten |
|
Chongyi Zhangyuan Tungsten Co. Ltd |
|
China |
|
|
|
Tungsten |
|
Hunan Chun-Chang Nonferrous Smelting & Concentrating Co., Ltd. |
|
China |
|
|
|
Tungsten |
|
HC Starck GmbH |
|
Germany |
|
|
|
Tungsten |
|
Wolfram Bergbau und Hütten AG |
|
Austria |
|
|
|
Tungsten |
|
Ganzhou Non-ferrous Metals Smelting Co., Ltd. |
|
China |
|
|
|
Tungsten |
|
Fujian Jinxin Tungsten Co., Ltd. |
|
China |
|
|
|
Tungsten |
|
Kennametal Huntsville |
|
United States |
|
|
|
Tungsten |
|
Hunan Chenzhou Mining Group Co. |
|
China |
|
|
|
Tungsten |
|
Japan New Metals Co. Ltd |
|
Japan |
|
|
|
Tungsten |
|
Tejing (Vietnam) Tungsten Co., Ltd. |
|
Vietnam |
|
|
|
Tungsten |
|
A.L.M.T. Corp. |
|
Japan |
|
|
|
Tungsten |
|
Dayu Weiliang Tungsten Co., Ltd. |
|
China |
|
|
|
Tungsten |
|
Kennametal Fallon |
|
United States |
|
|
|
Tungsten |
|
Xiamen Tungsten Co., Ltd |
|
China |
|
|
|
Tungsten |
|
Ganzhou Seadragon W & Mo Co., Ltd. |
|
China |
Annex II
Argentina
Australia
Austria
Belgium
Bolivia
Brazil
Burma
Canada
Chile
China
Colombia
Czech Republic
Djibouti
Egypt
Estonia
Ethiopia
France
Germany
Guyana
Hungary
India
Indonesia
Ireland
Israel
Ivory Coast
Japan
Kazakhstan
Laos
Luxembourg
Madagascar
Malaysia
Mongolia
Burma
Netherlands
Nigeria
Peru
Portugal
Russia
Sierra Leone
Singapore
Slovakia
South Korea
Spain
Suriname
Switzerland
Taiwan
Thailand
United Kingdom
Kenya
Mozambique
South Africa
Angola
Burundi
Central African Republic
Republic of Congo
Rwanda
South Sudan
Tanzania
Uganda
Zambia
The Democratic Republic of Congo
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