Environmental, Health & Safety
Declaration of Compliance with
- Reduction Of Hazardous Substances (RoHS)
- Waste Electrical And Electronic Equipment (WEEE)
- California Code Of Regulations, Section 66260.202
- Registration, Evaluation, Authorization And Restriction Of Chemicals (REACH)
- Sourcing Materials From Conflict Regions
RoHS, WEEE and the California Code of Regulations
The Reduction of Hazardous Substances (RoHS) is an EU Directive (2002/95/EC) pertaining to the Restriction of Hazardous Substances in Electrical and Electronic Equipment (EEE). It was adopted by the EU in February 2003 and took effect on the 1st of July 2006.
This directive was brought into force in order to limit the component concentration of six hazardous substances found in EEE as they are harmful to the environment, mainly through the pollution of landfills. RoHS Directive covers a wide range of materials, including not only integrated electrical and electronic products but also individual parts, raw materials and packing cases. This directive is very closely related to the WEEE directive (Waste from Electrical and Electronic Equipment (2002/96/EC)) except RoHS regulates hazardous substances in EEE while WEEE regulates the disposal of the same equipment.
RoHS Restricted Substances and Limits
< 1000 ppm
< 1000 ppm
< 100 ppm
Hexavalent Chromium (Cr VI):
< 1000 ppm
Polybrominated Biphenyls (PBB):
< 1000 ppm
Polybrominated Diphenyl Ethers (PBDE):
< 1000 ppm
Subsequently, the State of California adopted within the California Code of Regulations, Title 22, Division 4.5, Chapter 10, Article 3, §66260.202 Restrictions on the Use of Heavy Metals in Covered Electronic Devices: “(a) On or after January 1, 2007, no person shall sell or offer for sale in California, a covered electronic device if the device is prohibited from being sold or offered for sale in the European Union on or after its date of manufacture due to the concentration of one or more heavy metals in the device exceeding its maximum concentration value, as specified in the Commission of European Communities’ Decision of August 18, 2005, amending Directive 2002/95/EC (European Union document 2005/618/EC), or as specified in a subsequent amendment to the Directive.”
Pure Wafer certifies that the silicon products that it manufactures and sells are compliant with all provisions set forth by EU Directive 2002/95/EC (RoHS) and the California Code of Regulations (CCR) §66260.202, and that the homogeneous material that composes our products contain less than the Maximum Concentration Values for all six of the RoHS substances listed above.
In addition, Pure Wafer’s silicon products are not subject to EU Directive 2002/96/EC (WEEE). However, we cannot certify the compliance and will not be responsible for any metal coatings or finishes that contain restricted substances that are requested, outsourced, and/or applied by our customers. Pure Wafer cannot and will not assume liability for the disposal of processed or modified products. Any product supplied by Pure Wafer that may require future disposal will be the responsibility of the purchaser in accordance with local laws and regulations.
Pure Wafer has evaluated the products it offers regarding their status under Registration, Evaluation, Authorization and Restriction of Chemicals (REACH) when products are put on the market in the European Economic Area (EEA). Section 2.1 of the ECHA guidance document (Requirements for Substances in Articles) defines an article as “an object which during production is given a special shape, surface or design which determines its function to a greater degree than its chemical composition”.
Pure Wafer’s products (silicon wafers) are considered articles under this definition and have been found not to contain Substances of Very High Concern (SVHC) as listed on the Candidate List of Substances of Very High Concern at concentrations above 0.1% (w/w). Section 4.1 of the ECHA guidance document covers substances in articles that are: (a) intended to be released from articles during normal conditions of use, and (b) the total amount of the substance produced or imported in all articles exceeds 1 tonne (2,204.6 lbs.) per year. The articles (silicon wafers) produced by Pure Wafer and covered under this statement do not exceed these limits, and therefore do not require registration or notification.
REACH regulations do not require Pure Wafer to register, notify or communicate substance information on products meeting these conditions that are offered in the EEA per section 4.2 of the ECHA guidance document. This statement covers all legitimate products (silicon wafers) offered by Pure Wafer.
Sourcing Materials from Conflict Regions
Pure Wafer is aware of the Dodd-Frank Wall Street Reform and Consumer Protection Act (Wall Street Reform Act) requirements regarding the sourcing of metals (tin, tantalum, tungsten, gold) from conflict regions. Pure Wafer requests all our relevant suppliers to source for minerals from regions that are conflict-free and not from The Democratic Republic of Congo (DRC) and its neighboring regions.
At this time, to the best of our knowledge, Pure Wafer’s products do not use materials that are sourced from mines in conflict regions in the eastern region of the DRC (“Conflict Regions”). As the list of CFSP(Conflict-Free Smelter Program) Compliant Tungsten Smelters is still in progress, Pure Wafer will continue to work with our suppliers on this matter.