UNITED STATES
SECURITIES AND EXCHANGE COMMISSION
Washington, D.C. 20549
FORM SD
SPECIALIZED DISCLOSURE REPORT
Magna International Inc.
Ontario, Canada |
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001-11444 |
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98-0037983 |
(State or other jurisdiction of |
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(commission file number) |
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(IRS Employer Identification No.) |
incorporation or organization) |
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337 Magna Drive, Aurora, Ontario, Canada L4G
7K1
(Address of principal executive offices)
Bassem A. Shakeel
Corporate
Secretary
(905) 726-2462
(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 |
A copy of Magna International Inc.’s Conflict Minerals
Report which covers the reporting period from January 1, 2023 to December 31, 2023 is provided as Exhibit 1.01 to this Form SD and
is also publicly available in the “Company - Investors” section of Magna’s corporate website under:
“Financial Reports and Public Filings” — “Tax and Other Reports” — “Form SD and Exhibit
1.01 (Conflict Minerals Report dated June 4, 2024 )”. The website and information accessible through it are not incorporated
into this document.
See item 2.01 of this Form SD.
SECTION 2 - EXHIBITS
The following exhibit is filed as part of this Form SD.
Exhibit 1.01 — Conflict Minerals Report as required by Items 1.01 and 1.02 of this Form.
Signature
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 duly authorized undersigned.
Date: June 4, 2024
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Magna International Inc. |
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(Registrant) |
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/s/Kathy
Worthen |
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By: |
Kathy Worthen |
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VP, Operations |
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/s/ Bassem Shakeel |
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By: |
Bassem A. Shakeel |
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Vice-President, Associate General Counsel and
Corporate Secretary |
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Exhibit 1.01
MAGNA INTERNATIONAL INC.
CONFLICT MINERALS REPORT
(For the reporting period from January
1, 2023 to December 31, 2023)
SECTION 1: INTRODUCTION
A. Background
(a) The Conflict Minerals Rule
This Conflict Minerals Report (the “Report”) of Magna
International Inc. (referred to as “Magna”, “we”, “us” or “our” in this Report) has been
prepared in accordance with Securities and Exchange Commission’s (“SEC”) Rule 13p-1 (17 CFR 240.13p-1) (the “Rule”)
adopted under the Securities and Exchange Act of 1934. The Rule requires SEC registrant companies to disclose the use of “Conflict
Minerals” in their products, where such use is “necessary to the functionality or production of a product” manufactured
by that company. The Rule defines “Conflict Minerals” as cassiterite, columbite-tantalite, wolframite, and their derivatives
tin, tantalum and tungsten, as well as gold (collectively, “3TG minerals” or “3TG”) that originated in the Democratic
Republic of the Congo or an adjoining country specified in the Rule (collectively, the “Covered Countries”).
As a registrant with 3TG minerals present in certain of our manufactured
products, Magna is required to comply with the Rule, including performing a “reasonable country of origin inquiry” (“RCOI”)
into the sources of the 3TG minerals to determine whether any such minerals in our products originated in a Covered Country. The results
of our RCOI are detailed in Section 2 of this Report.
(b) Forward-Looking Statements
This Report contains forward-looking statements relating to actions
that we may take in the future with respect to our conflict minerals compliance program (the “Program”). Such statements
are based on the current expectations of our management as of the date of this Report and are not promises or guarantees of future performance
of such actions. Subsequent events and developments may cause management’s views to change.
(c) Documents Incorporated by Reference
Unless expressly incorporated by reference in this Report, any documents,
third-party materials or references to websites (including Magna’s website) are not incorporated by reference in, nor considered
a part of, this Report.
B. Company Overview
(a) Our Company
We
are more than one of the world’s largest suppliers in the automotive space. We are a mobility technology company built to innovate,
with a global, entrepreneurial-minded team of over 179,000 employees across 342 manufacturing operations and 104 product development,
engineering and sales centres spanning 28 countries. These figures include manufacturing operations, product development, engineering
and sales centres and employees in certain equity- accounted operations.
(b) Our Products
Our products are designed primarily to meet the requirements and specifications
of our automotive customers. Certain of these requirements and specifications entail the use of 3TG minerals. In addition to complete
vehicle engineering and contract manufacturing expertise, our product capabilities include producing body, chassis, exterior, seating,
powertrain, active driver assistance, electronics, mechatronics, mirrors, lighting and roof systems. We also have electronic and software
capabilities across many of these areas. In addition, we are leveraging our capabilities and platform technologies in areas such as battery
management, software stack, and sensors to enter growing adjacent mobility markets such as micromobility. A more detailed description
of our products can be found on pages 30-38 of our Annual Information Form, which is available in the “Company - Investors”
section of Magna’s corporate website under: “Financial Reports and Public Filings” — “Annual Information
Forms” — “ Annual Information Form dated March 27, 2024 ”.
(c) Reliance on Supply Chain &
Industry-Driven Initiatives
Due to the number and complexity of the products we manufacture, our
multi-tiered supply chain consists of a substantial number of suppliers globally, the composition of which changes within each calendar
year and from year to year. Moreover, we are generally many tiers removed from the smelters or refiners (“SORs”) of 3TG minerals
in our supply chain. We do not, to the best of our knowledge, directly purchase 3TG minerals from any of the Covered Countries. As a downstream
consumer of 3TG minerals, Magna must rely on its direct suppliers to gather and report to us information about SORs in the supply chain.
Our direct suppliers are similarly reliant upon information provided to them by their own suppliers.
The structure, size and breadth of our supply chain, as well as the
fact that a substantial portion of the suppliers in our supply chain are not obligated to file reports with the SEC (including reports
under the Rule), makes gathering of complete and accurate conflict minerals information a lengthy and challenging process.
In most cases, we do not have meaningful leverage over upstream suppliers
or other actors in the supply chain. As a result of these challenges, in addition to our ongoing engagement with our direct production
suppliers as part of our Program, we participate in several industry-driven associations that maintain initiatives aimed at increasing
awareness of, and participation in, conflict minerals reporting by suppliers, including as discussed in Section 3.B.vi below.
SECTION 2: REASONABLE COUNTRY OF ORIGIN INQUIRY &
CONCLUSION
Magna conducted the following RCOI for the 2023 reporting year:
A. Supplier
Coverage
For the 2023 program year, we invited all of our direct production
suppliers (the “2023 In-Scope Suppliers”) to participate in the Program.
B. Conclusion
based on RCOI
Based on the RCOI conducted, we concluded in good faith that during
the 2023 calendar year Magna:
| i. | manufactured
and/or contracted to manufacture products containing 3TG minerals and determined that the
use of such minerals was necessary to the functionality or production of these products;
and |
| ii. | could
not exclude the possibility that a portion of the 3TG minerals in the Company’s products
originated in one or more Covered Countries (and were not from recycled or scrap sources). |
As a result of this conclusion, Magna conducted due diligence activities
on the source and chain of custody of these necessary conflict minerals as described in Section 3 of this Report.
SECTION 3: DUE DILIGENCE PROCESS
| A. | Design
of Due Diligence Framework |
On the basis of the information obtained as part of our RCOI, we conducted
due diligence regarding the source and chain of custody of the 3TG minerals contained in our products. Magna designed its due diligence
measures to be in conformity, in all material respects, with the internationally recognized due diligence framework as set forth in the
Organization for Economic Cooperation and Development (OECD) Due Diligence Guidance for Responsible Supply Chains of Minerals from Conflict-Affected
and High-Risk Areas (OECD, 2013) and related supplements for gold and for tin, tantalum and tungsten (collectively, the “OECD Guidance”).
The OECD Guidance specifies a five-step framework for risk-based due diligence for responsible supply chains of minerals sourced from
conflict-affected and high-risk areas, which are described below in connection with our Program.
B. Due
Diligence Measures Performed
Magna’s due diligence measures for the 2023 reporting year included
the following:
| a. | Establish
Strong Company Management Systems |
We previously established and maintain company management systems
with regard to conflict minerals reporting, the main elements of which are described below:
| i. | Conflict
Minerals Compliance Team & Program |
We maintain a cross-functional conflict minerals compliance team (the
“CM Compliance Team”), comprised of representatives from Magna’s legal and purchasing departments that is tasked with
managing and directing the day-to-day activities of the Program, including monitoring the execution and effectiveness of the Program;
overseeing the activities of our Program team members in each region in which we operate; monitoring conflict minerals and responsible
sourcing regulatory developments and evolving industry best practices; and conflict minerals reporting to our automotive customers. The
Program, which includes a supply chain system of controls and transparency through the adoption and use of the CMRT (defined in Subsection
3(b) (ii) below), facilitates the transfer of information through the supply chain regarding, among other things: (i) mineral
country of origin; (ii) SORs being utilized; and (iii) the identity of new SORs to potentially undergo an audit through the
Responsible Minerals Assurance Process (“RMAP”) described below.
The CM Compliance Team reports the status of the Program to designated
senior management.
| iii. | Policy
Statement & Grievance Mechanism |
We are committed to working with our supply chain to ensure compliance
with the Rule. We previously adopted a policy statement which addresses our commitment to comply with the Rule and the expectations
we place on our suppliers with respect to engagement in due diligence of their supply chains, as well as conflict minerals reporting
to us. The policy statement is publicly available in the “Company – Company Information - Leadership and Governance”
section of our corporate website under: “Corporate Governance Documents” — “Conflict Minerals Policy Statement”.
The policy statement includes a grievance mechanism to facilitate
reporting of concerns relating to Magna’s Program through Magna’s confidential and anonymous whistle-blower hotline (the
“Hotline”) (www.magnahotline.com). The Hotline is structured such that submissions are received and tracked by an independent
third-party provider and any such submissions relating to the Program are communicated to members of the CM Compliance Team for review
and appropriate action. To date, we have not received any Hotline submissions regarding our Program.
We have a policy to retain conflict minerals documentation for at
least five (5) years from the date of creation.
| v. | Supply
Chain Engagement |
Our Supplier Code of Conduct and Ethics (“Supplier Code”),
which outlines our expectations for every company that supplies goods and services to Magna, specifically addresses the reporting obligations
of our suppliers to us with respect to conflict minerals. In addition, Magna’s standard global contract terms and conditions, including
our global standard supplier requirements manual, require suppliers to provide information or certification with respect to the origin
of their products supplied to Magna. The requirements manual is incorporated by reference into our standard global contract terms and
conditions. Purchase orders and other agreements in place with our direct suppliers are, however, typically in force for several years
and during the term of an existing purchase order, we may not be able to impose new contract terms, or other requirements that our suppliers
must flow down to their own suppliers.
We
also communicated with all In-Scope Suppliers regarding our Program and maintain a dedicated email address (conflict.minerals@magna.com)
to facilitate supplier communication with us regarding the Program, including requests for assistance in fulfilling their reporting obligations
to Magna.
| vi. | Industry
Participation & Collaboration |
The OECD Guidance encourages participation in industry-driven programs
to establish a system of controls over the mineral supply chain which includes either a chain of custody or traceability system.
With respect to initiatives aimed at improving SOR validation, we
continue to support the Responsible Minerals Initiative (“RMI”) as a member, as well as through participation, from time
to time, in RMI plenary member conference calls and its Due Diligence Practice Team. The RMI has designed and manages
the RMAP, a process designed to identify the SORs that process 3TG minerals. The RMAP consists of an independent third-party
assessment of SOR management systems and sourcing policies to validate conformance with RMAP standards and current global standards,
including the OECD Guidance. Our membership in the RMI, which we view as critical to our Program, gives us access to RCOI and
smelter validation data, information regarding sourcing initiatives and regulatory developments, and valuable tools and resources
which we are able to use to enhance our Program. Through our membership, we also support several complementary
programs/organizations with which the RMI regularly collaborates to address conflict minerals issues from an industry
perspective.
Throughout 2023, we also engaged with and participated as
a member of several industry associations, particularly the Automotive Industry Action Group (AIAG). The initiatives of the AIAG and
its Responsible Minerals Working Group include: efforts to improve supply chain transparency and compliance with the conflict minerals
reporting requirements; development of best practices for conducting due diligence, supply chain engagement and reporting; development
of common standards and reporting tools; engagement with SORs to promote conflict-free validation programs; and provision of training
and awareness.
| b. | Identification
and assessment of risks in the supply chain |
| i. | Identification
of Risks |
To identify risks in the supply chain, Magna undertook the following
measures:
| · | Ensured
changes to our supplier list were captured in our Program. |
| · | Determined the Supplier Coverage described in Section 2.A. of
this Report. |
| · | Communicated
regularly with all In-Scope Suppliers (as described below). |
| · | Reviewed
summary red flag metrics generated by supplier survey responses. |
| · | Validated
the accuracy and completeness of the SORs identified by In-Scope Suppliers, including by
reviewing the list of such SORs against the RMI (members-only access) list of processing
facilities which have received a “RMAP Conformant” or other status designation
under the RMAP. |
| ii. | In-Scope
Supplier Due Diligence |
Our
due diligence efforts were focused primarily on communicating with the In-Scope Suppliers to obtain information with respect to
the source and chain of custody of the necessary 3TG minerals in the products they supplied to us. All In-Scope Suppliers were sent an
initial communication requesting that they complete a survey based on the standardized template originally developed by the Responsible
Business Alliance (founder of the RMI) known as the “Conflict Minerals Reporting Template” or “CMRT”. The CMRT
was developed to facilitate disclosure and communication of information regarding SORs that provide materials in a company’s supply
chain and includes, among other things, questions regarding a supplier’s conflict minerals policy, engagement with its own suppliers,
origin of 3TG minerals in its products, and supplier due diligence. Our suppliers were requested to obtain completed CMRTs from their
own production suppliers and encourage those suppliers to cascade the same requirement throughout their supply chain.We also obtain information relating to management of conflict minerals sourcing from suppliers required to complete
an annual self-assessment questionnaire (SAQ).
In-Scope Suppliers that provided responses in a format other than
the CMRT were advised to resubmit their response in the requested format. In-Scope Suppliers that failed to respond at all to Magna were
sent reminders to submit a CMRT by a specified deadline.
Magna reviews summary red flag metrics in the Supplier Assurance platform
relating to the CMRT responses received from In-Scope Suppliers. No supplier indicated that they receive any 3TG minerals from sources
that directly or indirectly financed or benefitted armed groups within the meaning of the Rule.
| iv. | Efforts
to Determine Mine or Location of Origin |
As a downstream company, the primary focus of our due diligence on
the source and chain of custody of the 3TG minerals in our supply chain was the collection and analysis of the CMRT responses received
from our direct production suppliers. As described in this report, we verify the SOR information in the CMRT responses with data obtained
from the RMI. We believe this represents the most reasonable effort we can make to determine the mines or locations of origin of any
3TG minerals that may be used in our products, as discussed in Section 4 below.
| c. | Design
and implement a strategy to respond to identified risks |
Magna designed a risk management plan to identify, monitor and mitigate
identified risks, the key elements of such plan being:
| · | Based
on the red flag review, In-Scope Suppliers whose responses to select CMRT questions
were identified as incomplete, inconsistent or inaccurate, will be asked to address and resolve
the red flag(s) in the upcoming program year. |
| · | In-Scope
Suppliers that did not respond to Magna’s initial survey request were sent follow-up
reminders through periodic communications requesting that they complete a CMRT. |
| · | Suppliers
who sent responses to Magna in a format other than the CMRT were asked to resubmit a response
using the CMRT. |
| d. | Carry
out independent third-party audit of SOR due diligence practices |
Magna is a downstream consumer of necessary conflict minerals and
is several supply chain tiers removed from smelters and refiners which provide minerals and ores. Therefore, Magna does not perform,
or direct the performance of, audits of SORs within the supply chain. As outlined in the OECD Guidance upon which our Program is based,
we support the RMI’s cross-industry initiative that audits SORs to identify those facilities that have systems in place to assure
sourcing of only conflict-free materials. The data on which we relied for certain statements in this Conflict Minerals Report (including
in Appendix I) was obtained using the RCOI report we receive through our membership in the RMI (Unique RMI membership code: MAGN).
| e. | Report
annually on supply chain due diligence |
Magna’s conflict minerals policy states that we will comply
with the Rule, which includes filing our Specialized Disclosure Form (Form SD) and the associated Conflict Minerals Report
with the SEC (www.edgar.com) and making both documents publicly available on our corporate website (www.magna.com).
We also completed Conflict Minerals Reporting Templates for each of
our customers who requested us to do so for the 2023 reporting year, in support of such customers’ reporting obligations under
the Rule.
SECTION 4: DETERMINATION
Magna does not, to the best of its knowledge, directly purchase
3TG from any of the Covered Countries. As a downstream consumer of 3TG, Magna must rely on its direct production suppliers to gather
information about smelters and refiners in the supply chain. Those direct production suppliers are similarly reliant upon
information provided by their suppliers throughout the supply chain. There are generally multiple tiers of suppliers between 3TG
SORs and Magna. We have determined that our efforts to seek information about the smelters and refiners in our supply chain through
the submission of CMRTs from our suppliers, as well as efforts to determine and improve the accuracy and quality of such
submissions, represents the most reasonable effort Magna can make to determine the mines or locations of origin of the necessary
conflict minerals in our supply chain. However, most of the In-Scope Suppliers who responded to us did so at a company level and not
a product level. Four of the SORs identified by our In-Scope Suppliers in their CMRTs are located in one of the Covered Countries (2
Rwanda, 1 Congo, 1 Zimbabwe). Three of the SORs were categorized as RMAP “Conformant”, and one categorized as “RMI
Due Diligence Review”.
As a result, despite receiving CMRT responses from In-Scope Suppliers
that included SOR names, such suppliers were unable to accurately report with specificity those facilities that were part of the supply
chain for the products or components that were sold to Magna in 2023. Certain SORs in CMRT responses received by Magna indicate that
they source from the Covered Countries (as summarized in Appendix I to this Conflict Minerals Report), based on the due diligence efforts
described in this Report, we are unable to determine the source and chain of custody of the necessary conflict minerals in our products
for the 2023 reporting year.
SECTION 5: CONTINUOUS IMPROVEMENT EFFORTS TO MITIGATE RISK
Magna continues to examine ways to enhance the Program to further
mitigate the risk that necessary conflict minerals used in Magna products may benefit armed groups in the Covered Countries, including
the following:
| · | Continuing
to work with our suppliers to increase the completeness and accuracy of conflict minerals
reporting. |
| · | Assessing
opportunities to provide additional awareness, training, best practices or other assistance
to our suppliers with respect to conflict minerals reporting. |
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· |
Conduct outreach directly, or through RMI, for the RMAP Non-Conformant SORs identified in supplier CMRT responses. |
| · | Introducing an ESG component into our program award criteria as part
of Magna’s strategy to improve sustainability performance across our supply chain. The criteria includes a supplier’s NQC
Self-Assessment Questionnaire (SAQ) score, which includes a conflict minerals component. |
| · | Maintaining
our support for industry initiatives aimed at improving supply chain transparency, including,
through our membership and participation in the AIAG, OESA and other industry associations. |
| · | Supporting
ongoing SOR audit and validation initiatives, including through our membership and participation
in the RMI. |
| · | Annually
evaluating opportunities to enhance our Program, including by monitoring best practices adopted
by peer companies and automotive customers, and those developed by industry organizations. |
| · | Continuing
to monitor legislative developments regarding responsible sourcing, including new or incremental
reporting requirements. |
APPENDIX I
TO
THE 2023 CONFLICT MINERALS
REPORT OF MAGNA INTERNATIONAL INC.
SUMMARY OF RMAP STATUS OF PROCESSING FACILITIES
IDENTIFIED IN SUPPLIER CMRT RESPONSES
In reviewing the tables below, the following should be considered:
| · | Most
of the In-Scope Suppliers who responded to us did so at a company level and not a product
level. Accordingly, the table may reflect SORs that did not actually process 3TG contained
in our products. |
| · | RMAP
Status definitions indicated below can be found at: |
http://www.responsiblemineralsinitiative.org/members/database-field-definitions/.
| A. | SUMMARY
OF SOR RMAP STATUS |
The following table reflects the number of processing facilities,
by 3TG mineral, identified in supplier CMRT responses to Magna, as well as the validation status of such facilities under the RMAP based
on the RMI Standard Smelter List as at May 28, 2024:
| |
RMAP
Conformant(1) | | |
RMAP Non-
Conformant | |
3TG | |
# | | |
% | | |
# | | |
% | |
Tin | |
| 70 | | |
| 90 | % | |
| 8 | | |
| 10 | % |
Tantalum | |
| 38 | | |
| 97 | % | |
| 1 | | |
| 3 | % |
Tungsten | |
| 35 | | |
| 88 | % | |
| 5 | | |
| 12 | % |
Gold | |
| 90 | | |
| 85 | % | |
| 16 | | |
| 15 | % |
TOTAL | |
| 233 | | |
| 89 | % | |
| 30 | | |
| 11 | % |
| (1) | The
following facilities identified in supplier responses were listed in the RMAP database under
status definitions other than Conformant or Non-Conformant. These facilities have not been
included for purposes of calculating the percentages above: |
| · | 2 facilities listed as having ceased operations |
| · | 4 facilities listed as “Active” (scheduled or in progress
RMI Assessment) |
| · | 6 facilities listed as “Communication Suspended – Not Interested” |
| · | 21 facilities listed as “RMI Due Diligence Review – Unable
to Proceed” |
| · | 61 facilities listed as “Outreach Required” |
| B. | SUMMARY
OF LOCATION OF MINE RESPONSES |
39 supplier CMRT responses received as part of our 2023 Program
indicated that they “Source from DRC or Covered Countries” or have “Reason to believe they
source from the DRC or Covered Countries”.
Grafico Azioni Magna (NYSE:MGA)
Storico
Da Dic 2024 a Gen 2025
Grafico Azioni Magna (NYSE:MGA)
Storico
Da Gen 2024 a Gen 2025