Conflict Minerals - Suppliers Letter

Subject: Conflict Minerals

To: All FIAMM Energy Technology S.p.A. Suppliers

The U.S. Securities and Exchange Commission (SEC) has adopted rules and regulations to implement disclosure requirements related to “Conflict Minerals”, as directed by the Dodd-Frank  Wall  Street  Reform and Consumer Protection Act of 2010. It requires to Manufacturers to file certain reports declaring whether the products they manufacture or contract to manufacture contain “Conflict Minerals” that are “necessary to the functionality or production” of those products.
“Conflict Minerals” refers to gold, tin, tantalum and tungsten, regardless of where they are sourced, processed or sold. The intent of these requirements is to support the humanitarian efforts of ending violent conflict in the Democratic Republic of the Congo (DRC) and in surrounding countries, which has been and are partially financed by the mining and trade of conflict minerals.
To ensure compliance with these requirements, FIAMM Energy Technology S.p.A. requires that eachsupplier in our supply chain provide information regarding the use of conflict minerals and solicit that information from the next tier of suppliers.
Therefore, FIAMM Energy Technology S.p.A. impose new reporting requirements on its global supply chains, regardless of where the components and materials are purchased.
FIAMM Energy Technology S.p.A. requires to our supplier partners to undertake the following actions:
- to report all uses of the designated minerals and derivatives for any materials, components or products supplied to FIAMM Energy Technology S.p.A..
- To communicate the designated conflict minerals representative within your company to
- Return a completed Electronic Industry Citizenship Coalition and Global e-Sustainability Initiative (EICC-GeSI) Conflict Minerals Reporting Template, including all smelter information for all of the designated   minerals to
The excel template can be found at
- Document all steps taken to collect and report conflict minerals informatio and preserve that documentation. Suppliers will possibly be audited in their efforts to collect andupdate this information from their supply chain. Prompt action is required and mandatory to proceed with sourcing. Once you provide conflict minerals data, any next steps will be handled on a company-by-company basis.
Please for any questions you may have on this subject write to and we will contact you directly.

Energy Technology S.p.A.
Purchasing Department