UNITED STATES
SECURITIES AND EXCHANGE COMMISSION
Washington, D.C. 20549
FORM SD
SPECIALIZED DISCLOSURE REPORT
Conflict Minerals Disclosure
ESPEY MFG. &
ELECTRONICS CORP.
(Exact Name of Registrant as Specified in Charter)
NEW YORK |
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001-04383 |
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14-1387171 |
(State or Other Jurisdiction of
Incorporation) |
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(Commission File Number) |
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(IRS Employer Identification
Number) |
233 Ballston Avenue
Saratoga Springs, New York
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12866 |
(Address of Principal Executive Offices) |
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(Zip Code) |
Katrina Sparano
Principal Financial Officer
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(518) 245-4400 |
(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, 2023.
Section 1- Conflict Minerals Disclosure
Item 1.01 Conflict Minerals Disclosure and
Report
Espey Mfg. & Electronics Corp. (the
“Company”) has filed a Conflict Minerals Report for the calendar year ended December 31, 2023 as Exhibit 1.01 to this Specialized
Disclosure Report on Form SD.
A copy of Espey’s Conflict Minerals Report is publicly available on the Company’s website
at www.espey.com.
Item 1.02 Exhibit
A copy of Espey’s Conflict Minerals
Report as required by Item 1.01 is provided as Exhibit 1.01 hereto.
Section 2 - Exhibits
Item
2.01 Exhibit
Exhibit 1.01 - Conflict Minerals Report as required by Items 1.01 and 1.02 of this Form SD.
SIGNATURES
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 hereunto duly authorized.
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Date: May 30, 2024 |
ESPEY MFG. & ELECTRONICS CORP. |
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By: |
/s/ Katrina Sparano |
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Katrina Sparano |
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Principal Financial Officer |
Exhibit 1.01 Conflict Minerals Report
Espey Mfg.
& Electronics Corp.
Conflict Minerals
Report
For The Year
Ended December 31, 2023
This Conflict Minerals Report for Espey Mfg. &
Electronics Corp. for the year ended December 31, 2023 is presented to comply with Rule 13p-1 under the Securities Exchange Act of 1934
(“the Rule”). The Rule was adopted by the Securities and Exchange Commission (SEC) to implement reporting and disclosure requirements
related to conflict minerals as directed by the Dodd-Frank Wall Street Reform and Consumer Protection Act of 2010 (Dodd-Frank Act). The
Rule imposes certain reporting obligations on SEC registrants whose manufactured products contain conflict minerals which are necessary
to the functionality or production of their products. Conflict Minerals are defined as cassiterite, columbite-tantalite, gold, wolframite,
and their derivatives, which are limited to tin, tantalum, tungsten, and gold (3TG) for the purposes of this assessment.
This disclosure has been prepared by management
of Espey Mfg. & Electronics Corp., (herein referred to as “Espey” the “Company,” “we,” “us,”
or “our”). Espey is a Power Electronics Design and Original Equipment Manufacturing (OEM) company with a long history of developing
and delivering highly reliable products for use in military and severe environment applications. All design, manufacturing, and testing
is performed in our 150,000+ square foot facility located at 233 Ballston Ave Saratoga Springs, New York 12866.
During the reporting period from January 1, 2023
to December 31, 2023, Espey identified the following products that may contain conflict minerals:
Power Supplies, Power Converters, Filters, Power
Transformers, Magnetic Components, Power Distribution Equipment, UPS Systems, and High Power Radar Systems.
| 3. | Due Diligence Process - Reasonable Country of Origin Inquiry (RCOI) |
The company’s due diligence framework has
been designed to conform to the Organization for Economic Co-operation and Development (“OECD”) Due Diligence Guidance for
Responsible Supply Chains of Minerals from Conflict-Affected and High-Risk Areas and the related supplements for Conflict Minerals. This
process contains the following five steps:
Step 1: Establish strong company management systems.
Step 2: Identify and assess risks in the supply
chain.
Step 3: Design and implement a strategy to respond
to identified risks.
Step 4: Carry out independent third-party audit
of supply chain due diligence at identified points in the supply chain.
Step 5: Report on supply chain due diligence.
In conducting our RCOI due diligence, Espey issued
letters to our current and active suppliers that provide components or engage in manufacturing activities that are likely to contain conflict
minerals. This letter explained the rules outlined by the SEC, and respectfully requested our suppliers forward their completed Conflict
Materials Reporting Template (CMRT), which is an industry-standard template for conflict mineral reporting developed by the Conflict-Free
Sourcing Initiative (CFSI). The following documents were attached to this mailing to all active Espey product related suppliers:
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Conflict Minerals Reporting Template CMRT 6.31 |
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· |
A list of frequently asked questions & answers to assist suppliers |
Step 1: Establish strong company management
systems.
Espey has established a management system for
complying with the applicable SEC rules. The Espey management team, led by the Strategic Sourcing Manager, includes a team of subject
matter experts from relevant functional areas; such as, purchasing, quality control, engineering and manufacturing. The Strategic Sourcing
Manager is responsible for implementing the conflict minerals compliance strategy and briefing senior management on a regular basis regarding
the results of our due diligence efforts.
Regarding the OECD requirement to strengthen engagement
with suppliers, Espey ensures that all Purchase Orders contain a mandatory flow-down statement requiring our suppliers to certify that
their products containing conflict minerals are not sourced from DRC or any adjoining country. Espey has established a rigorous compliance
process consisting of supplier documentation and a related records retention mechanism to ensure Espey can accurately report findings,
support an outside audit, and demonstrate SEC compliance.
Step 2: Identify and assess risk in the supply
chain.
The supply chain team analyzed and identified
the suppliers, who during calendar year 2023, provided products and component parts or who were suspected of engaging in manufacturing
activities that are at risk of containing conflict minerals necessary to the functionality or production of products manufactured.
Step 3: Design and implement a strategy to
respond to identified risks.
Espey issued a survey (Conflict Minerals Reporting
Template CMRT 6.31) to only those current and active suppliers identified as having provided products and component parts or who were
suspected of engaging in manufacturing activities that are likely to contain conflict minerals during calendar year 2023. The survey is
used as a means to identify what conflict minerals were used by the supplier and the source of those identified conflict minerals. A letter
provided to the supplier explained the rules outlined by the SEC, and respectfully requested our suppliers forward their completed Conflict
Materials Reporting Template (CMRT), which is an industry-standard template for conflict mineral reporting developed by the Conflict-Free
Sourcing Initiative (CFSI). The following documents were attached to this mailing to all active Espey product related suppliers:
| · | Conflict Minerals Reporting Template CMRT 6.31 |
| · | A list of frequently asked questions & answers
to assist suppliers |
Espey shall continue to conduct a RCOI with our
supply base as part of our due diligence process by collecting and evaluating supplier responses using the industry established conflict
minerals reporting templates.
As part of the Espey Purchase Order flow-down
requirements, our suppliers whose products contain conflict minerals are required to establish their own policies and perform due diligence
with their supply base by maintaining a management system consistent with the Organization for Economic Co-operation and Development (OECD)
Due Diligence Guidance for Responsible Supply Chains of Minerals from Conflict- Affected and High Risk-Areas.
Espey believes in establishing and maintaining
long-term relationships with suppliers whenever possible. However, if Espey determines that a supplier presents a reasonable risk of non-compliance
with the flow-down requirements policy, Espey shall require the supplier to undertake a suitable corrective action plan to remove the
source and move to a conflict free source. If suitable action is not taken, Espey shall procure product from an alternative and compliant
source of supply. In addition, if Espey determines that any of the components within our product line contain minerals from a mine or
facility that is “non-conflict free,” Espey shall transition to products that are “conflict free.” As such, Espey
shall fully disclose and comply with any and all SEC reporting requirements.
Step 4: Carry out independent third-party audit
of supply chain due diligence at identified points in the supply chain.
Espey does not have any direct relationships with
3TG smelters and refiners, nor do we perform direct audits of these entities that provide our supply chain with the 3TG component. Tracing
materials back to their mine of origin is a complex aspect of responsible sourcing that resides in our supply chain. By adopting joint
industry programs and outreach initiatives with our suppliers, Espey has determined that the smelters and refiners within our supply chain
represent the most reasonable known mine of origin information available.
Step 5: Report on supply chain due diligence.
The Company’s Form SD and this report are
publicly available via the Investors section of the Company’s website at www.espey.com
Espey has conducted an analysis of our products
related to SEC defined “conflict minerals,” which are tin, tantalum, tungsten, and gold (3TG) and based on Espey’s reasonable
country of origin inquiry (RCOI) efforts, Espey has determined that we have conducted our due diligence and assessed the risk but due
to the complexity of our Supply Chain and our high dependency on distribution networks, Espey is unable to definitively determine that
we are DRC Conflict Free. Espey will seek to ensure that minerals from the conflict region do not enter our supply chain, including requesting
reliable certificates of origin for all material that might possibly originate in conflict areas or adjacent countries. Espey has
insured a compliant supply chain and will continue to enforce and audit our process as described above.
In support of this statement, Espey is providing
the supporting metrics outlining the results of our due diligence efforts. Espey identified key suppliers where the products supplied
are incorporated into our final product. Utilizing the criteria, we identified 246 suppliers selected for audit and issued Conflict Minerals
Reporting Template CMRT 6.31 to all 246. Espey has had an initial response rate of 61.4% of the suppliers that accounted for 78.0% of
the material received during this period (Exhibit 1). In order to achieve these results Espey leveraged supplier responses, supplier
websites and expanded to top suppliers that certified the previous reporting period.
Exhibit 1
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Questionnaires Sent |
Responses Acquired |
Totals: |
246 |
151 |
% of Total Sent: |
100% |
61.4% |
% Spend Totals: |
100% |
78.0% |
As stated above, Espey RCOI due diligence efforts
included utilizing the standard Conflict Minerals reporting templates (CMRT) established by the Conflict-Free Sourcing Initiative (CFSI),
and those templates and relevant information were communicated to and returned from our suppliers allowing Espey to evaluate 151 Suppliers
in the following manner (Exhibit 2):
Exhibit 2
CMRT Question #3 |
Yes |
No |
Unknown |
Do any of the smelters in their supply chain source the 3TG from the covered countries? |
38 |
102 |
11 |
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CMRT Question #4 |
Yes |
No |
Unknown |
Do any of the smelters in your supply chain source the 3TG from conflict affected and high risk areas? |
29 |
105 |
17 |
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CMRT Question #5 |
Yes |
No |
Unknown |
Does 100 percent of the 3TG originate from recycled or scrap sources? |
1 |
136 |
14 |
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CMRT Question #6 |
= 100% |
< 100% |
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What percentage of relevant suppliers have provided a response to your supply chain survey? |
111 |
40 |
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CMRT Question #7 |
Yes |
No |
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Have you identified all of the smelters supplying the 3TG to your supply Chain? |
122 |
29 |
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CMRT Question #8 |
Yes |
No |
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Has all applicable smelter information received by your company been reported in this declaration? |
148 |
3 |
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Although Espey did not receive a 100% response
rate from our suppliers, it is our interpretation that we are compliant with the SEC reporting and disclosure requirements for calendar
year 2023.
Espey shall continue to conduct a RCOI with our
supply base as part of our due diligence process by collecting and evaluating supplier responses using the industry established conflict
minerals reporting templates.
| 5. | Additional Risk Mitigation |
As we continue to enhance our due diligence program,
Espey shall take the following steps to continue to mitigate any possible risk that could possibly support and benefit armed groups in
the DRC or adjoining countries:
| · | Enhance supplier communications and training,
as required; |
| · | Follow-up with suppliers who failed to respond
to the Espey surveys, or whose responses were incomplete; |
| · | Identify and assess possible risks in the supply
chain. |
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