Good People

I looked at the "Conflict Minerals" legislation and concluded that the
reporting requirements will only applied to a company that directly procured
these materials or directly used the mineral to manufacture a component.

I do not see this as similar to REACH, where all interests up and down the
supply stream must indicate control and tracebility.

Please correct me otherwise.

thanks,
Brian 

-----Original Message-----
From: [email protected] [mailto:[email protected]]On Behalf Of Steve Baldwin
Sent: Wednesday, September 01, 2010 4:01 PM
To: [email protected]
Subject: IEEE PSES SCV Meeting Announcement for September 28th 2010; What's in
your electronic product, where does it come from, and why should a Product
Safety Engineer be concerned?

---------- Forwarded message ----------

From: Roberto Pasos [mailto:[email protected]] 

IEEE Product Safety
Engineering Society
Santa Clara Valley Chapter

 Meeting Date:  Tuesday, September 28, 2010
 Dinner:  5:30 – 6:45 p.m.
 Socialize with your colleagues and tonight’s speaker at:  El Torito Mexican
Restaurant, 2950 Lakeside Drive, Santa Clara, CA 95054, (408-727-4426) -- just
two blocks north of the meeting site.  No RSVP required.
 7:00 – 8:30 p.m: Presentation 
Topic:  What’s in your electronic product, where does it come from, and why
should a Product Safety Engineer be concerned?
Three trends make mineral sourcing an issue of potentially compelling interest
to product safety engineers. First, many more minerals are used today in
manufacturing electronics than just a couple of decades ago. For example,
Intel estimates that, whereas computer chips contained 11 mineral-derived
elements in the 1980s, potentially up to 60 elements will be used in coming
years. Second, the downstream manufacturer is being held increasingly
accountable for the traceability and regulation of materials in his product.
Such traceability has commonly been non-existent for many complex electronic
products. Section 1502 of the Dodd-Frank Wall St. Reform and Consumer
Protection Act, signed into law on July 21, 2010, will require U.S. public
companies to disclosure the use of “conflict minerals,” such as tantalum
>from the Democratic Republic of the Congo, in manufacturing their products;
and over 60 percent of tantalum used in the U.S. is used in capacitors. This
law imposes a soci!
 al responsibility on manufacturers, and adds to a growing international
pattern of laws and regulations with environmental and public health and
safety objectives. Finally, concern is growing in some quarters about the
availability, pricing, and sourcing of minerals (some of which are difficult
to replace in certain electronic applications) as global demand rises, the
grade of mineral deposits decline over time, and competitors such as China
threaten to “lock-up” supplies of rare earth minerals. Because earlier
material concerns have risen through the need to comply with EHS regulations
such as the RoHS, WEEE, and REACH directives in the European Union, product
safety engineers are as well placed as any professionals in the electronics
industry to take on a key company-wide coordinating role to help their
companies and industry remain profitable and resilient in the face of these
trends.
Speaker and Company:  
Rick Row is currently consulting on energy efficiency and low-carbon energy
generation and use, and on compliance with environmental regulations. From
2007 to 2009, he was the Executive Director of Sustainable Silicon Valley, a
non-profit that partners with businesses, governments, and other non-profit
organizations in Silicon Valley to create a more sustainable future. Partners
pledge to SSV to set their own CO2 reduction targets, report annually to SSV
on their performance against their targets, and collaborate with SSV to share
their CO2 reduction success stories publicly.

For the previous five years, he managed Global Care, an environmental, health
and safety (EHS) initiative, in the EHS Division at SEMI, a global industry
association for companies providing equipment, materials and services used to
manufacture semiconductors and related technologies.  He also worked with EHS
professionals in the industry to guide the industry's response to
environmental regulations such as the European Union's WEEE and RoHS
directives, and China's "China RoHS".

Meeting Site:  Applied Materials, Bowers Café, 3090 Bowers Ave, Santa Clara,
CA 95054 (map:  http://ewh.ieee.org/r6/scv/pses/directs.html
Chair: Shirley Tarantino, [email protected]

-
----------------------------------------------------------------
This message is from the IEEE Product Safety Engineering Society emc-pstc
discussion list. To post a message to the list, send your e-mail to
<[email protected]>

All emc-pstc postings are archived and searchable on the web at:
http://www.ieeecommunities.org/emc-pstc
Graphics (in well-used formats), large files, etc. can be posted to that URL.

Website:  http://www.ieee-pses.org/
Instructions:  http://listserv.ieee.org/request/user-guide.html
List rules: http://www.ieee-pses.org/listrules.html

For help, send mail to the list administrators:
Scott Douglas <[email protected]>
Mike Cantwell <[email protected]>

For policy questions, send mail to:
Jim Bacher:  <[email protected]>
David Heald: <[email protected]>

Reply via email to