Proposition 65, also known as the Safe Drinking Water and Toxic Enforcement Act of 1986, is a California law that was approved by voters in November 1986. Its primary purpose is to protect California citizens from exposure to toxic chemicals by safeguarding the state’s drinking water sources. The statute prohibits businesses from knowingly discharging listed chemicals into drinking water sources.
Proposition 65 also requires that a business selling products that contain certain identified chemicals in excess of defined levels, provide a clear and reasonable warning of the potential hazard. For many listed Proposition 65 chemicals, no warning is required on products determined not to exceed “Safe Harbor” levels of exposure. Proposition 65 is administered by the California Office of Environmental Health Hazard Assessment (OEHHA), which publishes a list of chemicals known to cause cancer or birth defects. This list is periodically updated and currently contains over 800 chemicals. The list is accessible at www.oehha.ca.gov/chemicals.
We at EMTEK are committed to providing safe and compliant products for our customers. Our goal is to continually work with our vendors, supply chain partners, and resellers to source responsibly and to comply with regulatory and reporting requirements, including providing product warnings to our customers as required by laws like Proposition 65.
Approved Warnings – New OEHHA warning regulations that took effect on August 30, 2018, require more detailed product labelling. EMTEK ensures that its products that require Proposition 65 warnings are labelled in accordance with these new regulations, including identification of specific chemicals and exposure types. Specific product labels reflect the chemical composition of the labeled product. Below is an example of a label which may appear on EMTEK products in order to comply with this regulation:
WARNING: This product can expose you to chemicals including lead, which is known to the state of California to cause cancer and birth defects or other reproductive harm. For more information go to www.P65Warnings.ca.gov.
If you have a specific need or question related to these policies, please contact us at:
Armed groups engaged in mining operations in the Democratic Republic of the Congo and adjoining countries are believed to be subjecting workers to serious human rights abuses and are using proceeds from the sale of conflict minerals (tantalum, tin, tungsten, and gold, or “3TG”) to finance regional conflicts. In response to these concerns, the US Congress enacted Section 1502 of the Dodd‐Frank Wall Street Reform and Consumer Protection Act aimed at preventing the use of conflict minerals that finance or benefit these armed groups. The legislation requires US publicly traded companies using conflict minerals in their products to disclose the source of such minerals.
For more information on Conflict Minerals and Section 1502 of the Dodd‐Frank Wall Street Reform and Consumer Protection Act, please access the final rule on the SEC website: https://www.sec.gov/rules/final/2012/34-67716.pdf
ASSA ABLOY Opening Solutions, Americas Division Policy on Conflict Minerals
While ASSA ABLOY Opening Solutions, Americas Division is not a US publicly traded company subject to SEC reporting, ASSA ABLOY Opening Solutions, Americas Division fully supports avoiding the use of conflict minerals and will act responsibly to ensure that our products meet the needs of our customers and to support the aim of this legislation.
Some products from ASSA ABLOY Opening Solutions, Americas Division brands, use 3TG materials as they are required for the functional performance of the products. However, ASSA ABLOY Opening Solutions, Americas Division does not purchase these materials directly from smelters or mines, so we must rely on information provided by our suppliers to determine the origin of the materials. Affected suppliers to ASSA ABLOY Opening Solutions will be required to be or commit to becoming “conflict-free” (which means that such supplier does not source conflict minerals that directly or indirectly finance or benefit armed groups in the DRC or adjoining countries). Each affected supplier to ASSA ABLOY Opening Solutions will be required to provide a completed Conflict Minerals Reporting Template (CMRT) evidencing such supplier’s commitment to becoming conflict-free and documenting facilities refining and smelting the tin, tantalum, tungsten, and gold that it supplies to ASSA ABLOY Opening Solutions.
Updates to ASSA ABLOY Opening Solutions Americas Division conflict minerals status and policy will be posted on our sustainability website:
If you have specific questions regarding ASSA ABLOY Opening Solutions, Americas Division products and Conflict Minerals policy or wish to obtain a copy of our CMRT please contact ConflictMinerals.Americas@assaabloy.com.