Document



UNITED STATES

SECURITIES AND EXCHANGE COMMISSION

Washington, D.C. 20549

FORM SD

SPECIALIZED DISCLOSURE REPORT

CREE, INC.
(Exact name of registrant as specified in its charter)


North Carolina
0-21154
56-1572719
(State or other jurisdiction of
incorporation)
(Commission File
Number)
(I.R.S. Employer
Identification Number)

4600 Silicon Drive
 
Durham, North Carolina
27703
(Address of principal executive offices)
(Zip Code)


Michael E. McDevitt (919) 407-5300
(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:

[ü]    Rule 13p-1 under the Securities Exchange Act (17 CFR 240.13p-1) for the reporting period from January 1 to December 31, 2017.






Section 1 – Conflict Minerals Disclosure

Item 1.01
Conflict Minerals Disclosure and Report

In accordance with Rule 13p-1 under the Securities and Exchange Act of 1934, as amended, Cree, Inc. (“Cree”) hereby files this Form SD and the associated Conflict Minerals Report with the SEC. The Conflict Minerals Report includes a description of Cree’s due diligence program, the efforts Cree undertook in making its determinations with respect to products manufactured by it in 2017, and the results of such efforts.

Conflict Minerals Disclosure

A copy of Cree’s Conflict Minerals Report is filed as Exhibit 1.01 to this Form SD and is publicly available at http://www.cree.com/about/suppliers-contractors/cree-supplier-resources/conflict-minerals. No contents from Cree’s website are incorporated into this Form SD by this reference.

Item 1.02
Exhibit

The Conflict Minerals Report required by Item 1.01 of Form SD is filed as Exhibit 1.01 to this Form SD.

Section 2 – Exhibits

Item 2.01
Exhibits

Exhibit 1.01
 






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 undersigned hereunto duly authorized.


 
CREE, INC.
 
 
 
 
 
 
 
 
 
By:
 
/s/ Michael E. McDevitt
 
 
 
Michael E. McDevitt
 
 
 
Executive Vice President and Chief Financial Officer


Date: May 30, 2018



Exhibit

Exhibit 1.01 to Form SD


Conflict Minerals Report

http://api.tenkwizard.com/cgi/image?quest=1&rid=23&ipage=12285024&doc=3

CREE, INC.
For The Year Ended December 31, 2017
This Conflict Minerals Report (CMR) of Cree, Inc. (Cree, the Company, we, us, or our) for the year ended December 31, 2017 is filed to comply with Rule 13p-1 under the Securities Exchange Act of 1934 (the Rule). The Rule imposes certain reporting obligations on U.S. Securities and Exchange Commission (“SEC”) issuers whose manufactured products contain certain minerals which are necessary to the functionality or production of their products. These minerals are cassiterite, columbite-tantalite (coltan), gold, and wolframite, and their derivatives, which are limited to tin, tantalum and tungsten (“3TG” or “Conflict Minerals”). The Rule focuses on 3TG originating from the Democratic Republic of the Congo (“DRC”) region and nine adjoining countries (together, the “Covered Countries”). If an issuer has reason to believe that any of the Conflict Minerals in their supply chain may have originated in the Covered Countries, or if they are unable to determine the country of origin of those Conflict Minerals, then the issuer must exercise due diligence on the Conflict Minerals’ source and chain of custody and submit a CMR to the SEC that includes a description of those due diligence measures. This CMR has been prepared on behalf of Cree management.

This CMR is based on due diligence activities performed in good faith through May 7, 2018 for the reporting period from January 1 to December 31, 2017 and is based on information available at the time of this filing, unless otherwise indicated. Factors that could affect the accuracy of these statements include, but are not limited to, incomplete supplier data or available smelter and refiner (collectively referred to as “smelters”) data, errors or omissions by suppliers or smelters, ongoing certifications of smelters, continued guidance or amendments to the Rule, and other issues. This CMR contains forward-looking statements that reflect steps we will strive to achieve in the future as we continue to improve our responsible sourcing program. These forward-looking statements are based on current expectations and assumptions that are subject to risks and uncertainties. Words such as “expects,” “intends,” “believes,” and similar expressions or variations of such words are intended to identify forward-looking statements but are not the exclusive means of identifying forward-looking statements in this CMR. Additionally, statements concerning future matters that are not historical are forward-looking statements. Forward-looking statements are inherently subject to risks and uncertainties that could cause actual results and performance to differ materially from the results and outcomes expressed in the forward-looking statements. These risks and uncertainties include, but are not limited to, (1) the implementation of satisfactory traceability and other compliance measures by our direct and indirect suppliers on a timely basis or at all, (2) whether smelters and refiners and other market participants responsibly source Conflict Minerals, (3) internal and external resource constraints, and (4) political and regulatory developments, whether in the DRC Region, the United States or elsewhere. We undertake no obligation to review or update any forward-looking statements to reflect events or circumstances occurring after filing this CMR with the SEC.



Cree performed due diligence measures as required by the Rule with the goal of determining the chain of custody and country of origin information for the necessary conflict minerals used in our products manufactured in 2017. In particular, we sought to determine whether any of the necessary conflict minerals in our product supply chain may have originated in the Covered Countries, and whether any conflict minerals originating in the Covered Countries directly or indirectly financed or benefited armed conflict. As used herein, the term “manufactured” includes products manufactured or contracted to be manufactured by Cree.

Because not all suppliers have provided smelter and refiner data and the data provided by some of our suppliers is incomplete, Cree is unable at this time to determine the exact origin of the conflict minerals in all the assemblies, components, and minerals supplied to us. Therefore, we cannot exclude the possibility that some conflict minerals used in our products manufactured in 2017 may have originated in the Covered Countries, come from sources other than recycled or scrap sources, or come from sources that directly or indirectly financed or benefited armed groups in the Covered Countries. We have obtained no information, however, to indicate that any conflict minerals used in our products manufactured in 2017 originated in the Covered Countries and directly or indirectly financed or benefited armed groups in the Covered Countries.

Pursuant to the Rule, Cree is submitting this CMR as an Exhibit to its Form SD.

Company and Product Overview
Cree is an innovator of wide bandgap semiconductor products for power and radio frequency (RF) applications, lighting-class light emitting diode (LED) products, and lighting products. Our products are targeted for applications such as transportation, electronic signs and signals, power supplies, inverters, wireless systems, indoor and outdoor lighting, and video displays.

Our Wolfspeed segment’s products consist of silicon carbide (SiC) and gallium nitride (GaN) materials, power devices and RF devices based on silicon (Si) and wide bandgap semiconductor materials. Our materials products and power devices are used in solar, electric vehicles, motor drives, power supplies and transportation applications. Our materials products and RF devices are used in military communications, radar, satellite and telecommunication applications. Our LED Products segment’s products consist of LED chips and LED components. Our LED products enable our customers to develop and market LED-based products for lighting, video screens, automotive and other industrial applications. Our Lighting Products segment’s products primarily consist of LED lighting systems and lamps. We design, manufacture and sell lighting fixtures and lamps for the commercial, industrial and consumer markets.

The majority of our products are manufactured at our production facilities located in North Carolina, Wisconsin, California (starting in calendar 2018), and China. We also use contract manufacturers for certain aspects of product fabrication, assembly, and packaging.

Our SiC materials, in the form of substrates and boules, do not contain any 3TGs, and thus no further due diligence is required with respect to those products. All other Cree products have the potential to include one or more of the conflict minerals. Table 1 below outlines Cree’s products and provides typical conflict mineral content along with the percent of revenue per business unit.

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Table 1
Cree Business Unit
Percent of Cree Revenue*
Products
Percentage of Products that contain Conflict Minerals?
Typical Conflict Mineral Content by Weight Percentage
Au
Sn
W
Ta
LED Lighting Products
40%
LED Lamps and Bulbs
100%
0.1 - 1%
0.1 - 1%
< 0.1%
< 0.1%
LED Lighting
100%
0.05 - 1%
0.1 - 1%
< 0.1%
< 0.05%
Accessories
50-75%
< 0.1%
0 - 1%
< 0.05%
< 0.1%
LED Products
41%
LED Chips
100%
0.5 - 3%
0.2 - 10%
0 - 0.6%
0%
LED Components
100%
0.1 - 0.3%
0 - 0.3%
0 - 0.1%
0 - 0.1%
Modules + Drivers
100%
0.1 - 0.3%
0.1 - 0.5%
0 - 0.01%
0 - 0.1%
Accessories
30-50%
< 0.1%
< 0.5%
0%
0%
Wolfspeed Products
19%
Materials
0%
N/A
N/A
N/A
N/A
RF Die
100%
0.5 - 35%
0.2 - 10%
0 - 0.6%
0%
Power Diodes
100%
< 0.05%
< 0.05%
< 0.1%
0%
RF Transistor Packages
100%
0.01 - 0.1%
< 0.01%
0 - 85%
< 0.05%
*Note: Based on reported revenue for six months ended December 24, 2017.

Conflict Minerals Policy

Cree has adopted a Conflict Minerals Policy under which it expects its suppliers to develop internal conflict mineral policies, due diligence frameworks, and management systems that meet the minimum requirements of the guidelines developed by the Organisation for Economic Co-operation and Development (OECD). Our suppliers’ conflict minerals policies must be designed to identify and eliminate from use in products sold to Cree any conflict minerals which are known to come from sources funding armed groups in the DRC region. Cree requires its direct suppliers to source conflict minerals originating from the DRC region from smelters and refiners whose due diligence practices have been validated by an independent third-party audit program such as the Responsible Minerals Initiative (“RMI”) (formerly Conflict-Free Sourcing Initiative, or “CFSI”); the London Bullion Market Association (“LBMA”); and the Responsible Jewellery Council (“RJC”). Cree fully expects our suppliers to cooperate with us and to provide information to support these efforts, even if the supplier is not directly subject to the Rule. Suppliers that do not reasonably comply with Cree’s Conflict Mineral Policy will be reviewed by Cree’s supply chain management to assess whether Cree will conduct business with those suppliers in the future.

To view Cree’s complete Conflict Minerals Policy, visit our webpage located at: http://www.cree.com/about/suppliers-contractors/cree-supplier-resources/conflict-minerals. With this reference we are incorporating into this Conflict Minerals Report only our Conflicts Minerals Policy and not the entire contents of our webpage.

Description of Our RCOI Process
Cree’s scoping process included creating a master list of potential in-scope suppliers for 2017 by

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filtering our supplier database to remove those known to be outside the scope of the reasonable country of origin inquiry (“RCOI”), such as service providers, equipment vendors, and indirect material suppliers. The objective of filtering was to identify only the suppliers that provided to Cree items potentially containing 3TGs that were incorporated into final products in calendar year 2017.

Once filtered, the master list was provided to Cree’s third-party conflict mineral compliance service provider (the CSP) to conduct a survey using the Conflict Minerals Reporting Template (“CMRT”) created by the RMI. The CMRT is the industry standard template developed to facilitate the transfer of information through the supply chain regarding mineral country of origin and smelters and refiners being utilized. During the RCOI, suppliers were contacted, and responses were tracked, using the CSP’s interactive cloud-based platform. Suppliers were given the option to submit their completed CMRT via email or by uploading it to a supplier-specific website on the CSP platform.

The CSP launched Cree’s 2017 campaign by providing information about itself and training materials to educate the suppliers believed to be in-scope on 3TGs and the CSP’s reporting system. The full campaign involved multiple communications by the CSP and/or Cree to each relevant supplier, including automated emails, personalized emails, and, in some instances, phone calls. All significant communications were monitored and tracked in the CSP’s platform for transparency and future reporting.

Based on supplier feedback, the CSP and Cree determined which surveyed suppliers were also outside the scope of the RCOI. These suppliers were marked out-of-scope on the master list. In all other cases, the CSP and Cree reviewed the information provided by each supplier to determine the quality and nature of the response and to determine whether further action was needed to meet Cree’s expectations at this point in the process.

Although 98% of Cree’s in-scope suppliers responded to the RCOI, some of those suppliers have not yet provided complete smelter or refiner data after several requests by Cree and the CSP. For the suppliers that responded and provided smelter or refiner data, the CSP reviewed all supplier responses that claimed in the declaration section of the CMRT to have known DRC sourced material. The CSP compared the smelting and refining facilities identified in each of these surveys to the list of facilities that have received a “conformant” designation through an independent third-party audit of smelter/refiner management systems and sourcing practices to validate conformance with protocols of the RMI Responsible Minerals Assurance Process and current global standards.

Because there is considerable overlap between our RCOI and due diligence processes, the determinations we were able to make based on our survey efforts are discussed in more detail in the section below entitled “Due Diligence Results.”

Design of Our Due Diligence Process

Cree’s due diligence measures have been designed to conform in all material respects with the 5-step framework in The OECD Due Diligence Guidance for Responsible Supply Chains of Minerals from Conflict-Affected and High-Risk Areas, Third Edition, and the related Supplements for gold and for tin, tantalum and tungsten (collectively, the “OECD Guidance”) as it relates to our position in the conflict minerals supply chain. A summary of the correlation between our due diligence measures

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and the 5-step framework set forth in the OECD Guidance is described below.

Step 1: Establish strong company management systems

Cree has established a strong management system to address our compliance with the Rule. Our management system is sponsored by the Company’s Chief Financial Officer with support from a team of internal subject matter experts from relevant functions such as Compliance, Engineering, Procurement, Legal, and Internal Audit. The team of subject matter experts is responsible for implementing Cree’s conflict minerals compliance strategy and reports to the CFO, who serves as the conflict minerals program manager. The program manager informs senior management about the results of our due diligence efforts on a regular basis and briefs the Company’s Audit Committee at least quarterly.

As described above, Cree has adopted a Conflict Minerals Policy that includes our commitment and requirement for responsible sourcing of Conflict Minerals. Cree has developed a due diligence strategy to implement our policy that includes using a CSP to educate Cree’s suppliers on the requirements of the Rule annually, or more frequently when deemed necessary, survey our suppliers using the CMRT, review and analyze results, and maintain records for transparency, reporting, and accountability purposes. Consistent with the OECD Guidelines, documentation relevant to Cree’s compliance with the Rule will be retained for a minimum period of five years after the date the related CMR is submitted to the SEC.

We have strengthened engagement with our suppliers by providing education, through the CSP and RMI resources, on the Rule as well as by communicating, through our Conflict Minerals Policy and contractual provisions, our expectations for suppliers desiring to continue to do business with Cree. Specifically, this includes adding to our standard contracts language that obligates suppliers to exercise due diligence to comply with our Conflict Minerals Policy, which includes a requirement that the supplier must source conflict minerals originating in the Covered Countries from smelters and refiners whose due diligence practices have been validated by an independent third-party audit program, such as the RMI or a mutually agreed equivalent. As existing contracts are renewed with suppliers, the new conflict mineral language is being incorporated as well. We have also leveraged the existing communications between Cree’s procurement team and our suppliers to encourage the suppliers to interact with the CSP.

Cree’s Supplier Code of Conduct requires among other things that each Cree in-scope supplier eliminate from use in its products sold to Cree any Conflict Minerals which are known to come from sources funding armed groups in the DRC region. To assist in determining in-scope suppliers and to provide an opportunity for earlier interaction, our new supplier setup procedures include a section prompting the new supplier to indicate if any product(s) sold to Cree may contain 3TG material. In addition, we have a Cree conflict minerals on-line platform that provides employees, suppliers, and other stakeholders a place to report any grievances or concerns with our conflict minerals program (http://www.cree.com/about/suppliers-contractors/cree-supplier-resources/conflict-minerals/conflict-minerals-form). Lastly, Cree monitors the RMI Grievance Report and discussions for any applicable issues.


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Step 2: Identify and assess risk in the supply chain

Because of our size, the complexity of our products, our position in the supply chain, and the depth, breadth, and constant evolution of our supply chain, it is difficult to identify sources of conflict minerals upstream from our direct suppliers. Further, we typically do not have direct relationships with 3TG smelters or refiners. Accordingly, we must rely on our direct suppliers to provide information on the origin of the 3TGs contained in assemblies, components, and materials supplied to us - including sources of 3TGs that are supplied to them from upstream sources.

The RCOI activities described above are an integral part of Cree’s efforts to identify and assess the risks in our supply chain. As further described below regarding our due diligence process, our CSP’s system is designed to automatically identify and flag missing information and inconsistencies in supplier CMRTs. Flagged suppliers are contacted to gather pertinent data and perform an assessment of the supplier's commitment to the due diligence process. A revised CMRT is requested and stored in the CSP’s database along with all of the information and findings from this process. During the RCOI process, known DRC sources are identified, and the smelter or refiner (“SOR”) status is validated against the current RMI status. If further investigation of a SOR is deemed necessary, we gather additional information through other independent third-party audit programs such as TI-CMC, the Responsible Jewellery Council’s Chain-of-Custody Certification Program, and the London Bullion Market Association’s Responsible Gold Programme.

Step 3: Design and implement a strategy to respond to identified risks

While many risks exist in the search for the origin of the conflict minerals used in assemblies, components, and materials supplied to Cree, we believe that one of the greatest risks to Cree is the inability to obtain complete and accurate information to make determinations about our own products. Without this information, we in turn become an obstacle to our customers making determinations about their products.

While there are numerous initiatives working to improve transparency and accountability at the smelter and refiner levels of the supply chain, we can only benefit from the information being developed by these initiatives if our suppliers are able to trace back the conflict minerals in their products to a specific smelter or refiner.

This objective is reflected in our Conflict Minerals Policy, which indicates that we expect all of our suppliers to develop their own conflict mineral policies, due diligence frameworks, and management systems, and to provide us all information reasonably needed for us to comply with the Rule. We have included similar obligations in our contractual agreements with our direct suppliers. Our primary focus has shifted from ascertaining whether our immediate suppliers have undertaken efforts to build their own due diligence capabilities meeting the expectations set forth in our Conflicts Minerals Policy to collecting and validating smelter information in completed CMRTs. Our due diligence framework also includes a corrective action management plan designed to move our suppliers toward compliance with our Conflict Minerals Policy. This includes a requirement that any suppliers identified as utilizing a smelter that is known to process Conflict Minerals from sources funding armed groups in the DRC region be placed in escalation mode for further review by our supply chain management and interaction with the supplier in accordance with our Conflict Minerals

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Policy. For 2017, all known DRC sources identified in our supply chain were either RMI “conformant” or “active”.

Step 4: Carry out independent third-party audit of smelter/refiner’s due diligence practices
We typically do not have direct relationships with any 3TG smelter or refiner, so it is impracticable, if not impossible, for us to perform or direct audits of these entities within our supply chain. Rather, we have relied on audits conducted under the Responsible Minerals Assurance Process driven by the RMI and other reputable auditors. The RMI publishes a list of smelters, by conflict mineral, found to be conformant with the protocols of the RMAP. Pursuant to the RMAP, a smelter voluntarily submits to an independent third-party evaluation of its procurement activities and an assessment as to whether the materials processed by the smelter originated from conflict-free sources. If the smelter is able to demonstrate that the materials it processes are conflict-free, based on the sourcing location requirements of the RMAP, the smelter will be considered RMAP-conformant.

The RMI also makes available to its members information on the countries of origin of the conflict minerals processed by each conformant smelter. We are an active member of the RMI in order to support their efforts and to have broader access to the country of origin information as well as other valuable tools and resources provided to its members.

Cree management has determined that it is reasonable and appropriate to rely on the results of the RMAP audits and other comparable audits. Given our position in the supply chain, however, our due diligence measures can provide only reasonable assurances, not guarantees, regarding the chain of custody and country of origin of the necessary conflict minerals in our products.

Step 5: Report on supply chain due diligence

The measures we took in 2017 to exercise due diligence on the source and chain of custody of our conflict minerals were as follows:

communicated our Conflict Minerals Policy to our suppliers and posted a copy on our webpage at http://www.cree.com/about/suppliers-contractors/cree-supplier-resources/conflict-minerals;
directed our in-scope suppliers to provide information concerning SORs in their supply chains by completing and sending to us the Conflict Minerals Reporting Template (CMRT) that provides a common means for suppliers to provide customers with information on the source of conflict minerals;
analyzed suppliers’ CMRT responses for completeness and accuracy and pursued further information from the supplier when warranted;
sent outreach letters to SORs to influence and leverage their participation to becoming RMAP-conformant;
sent outreach letters to in-scope suppliers to influence and leverage, or ultimately remove SORs who are not conformant; and
communicated our Supplier Code of Conduct defining our expectations of our in-scope suppliers to develop internal Conflict Minerals policies, due diligence frameworks, and management systems that are designed to identify and eliminate from use in products sold to

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Cree any conflict minerals that are known to come from sources funding armed groups in the Covered Countries. Our Supplier Code of Conduct is located at http://www.cree.com/about/suppliers-contractors/cree-supplier-resources.

No other contents from our website are intended to be incorporated into the Conflict Minerals Report by these website references.

Description of Our Due Diligence Process

Cree’s due diligence process reflects our strategy for identifying, assessing, and responding to the risk that conflict minerals known to have directly or indirectly financed or benefited armed groups in the Covered Countries may be included in our product supply chains. This description is of our process only and is not intended to imply that we have fully implemented this process for all suppliers in calendar year 2017.

Our due diligence process includes data evaluation in three phases, all of which are designed to move supplier responses toward compliance with our Conflict Minerals Policy:

Phase 1 - Did the supplier pass our minimum criteria for its CMRT, as assessed by our CSP?
Phase 2 - Did the supplier provide information in its 2017 CMRT survey response which passed Cree’s data validation criteria, as assessed by our CSP?
Phase 3 - Were the CSP’s conclusions reasonable, as assessed by Cree’s subject matter experts on the products supplied to us, and can the smelter information be validated by Cree?

In designing our due diligence process for calendar year 2017, we first reviewed prior year minimum criteria for evaluation during Phase 1 and reaffirmed the applicability for 2017. In evaluating a supplier’s CMRT, we primarily look for three things: (1) effective dateis the information in the report current; (2) completenessare all questions reasonably answered; and (3) consistencyare the supplier’s responses internally consistent.

Suppliers that do not meet these three requirements are contacted with the objective of helping them to understand the requirements for submitting a valid and complete CMRT. Phase 1 is essentially Cree’s corrective action management stage. By implementing supplier corrective action measures, Cree is helping to ensure its suppliers put policies and procedures in place that will produce the necessary data in an accurate and reliable manner.

During Phase 2, the CSP reviews the supplier’s information in its 2017 survey response to validate smelter and refiner information. Smelter and refiner information is reviewed and corrected, and duplicate information is removed whenever possible. All of this data and correspondence is stored in the CSP’s platform. Verified smelter and refiner information is used to obtain reliable information from RMI and other reputable auditors on the country of origin of the conflict minerals processed by the known smelters or refiners in Cree’s supply chain.


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If there are no obvious inaccuracies in the supplier’s CMRT responses, the supplier’s CMRT is deemed reliable by the CSP. If the supplier’s CMRT response is inadequate, the supplier’s survey response will be placed in escalation mode and corrective action measures will be applied.

After the CSP completes its analysis under the first two phases, Cree commences its own evaluation in Phase 3. During this evaluation, Cree’s subject matter experts review the information provided by each supplier and the conclusions reached by the CSP from that supplier’s survey data to determine whether those conclusions were reasonable based on information the experts have about the assemblies, components, or materials supplied to Cree. By bringing our specialized knowledge of the industry and Cree’s products into the analysis, Cree is able to identify inaccuracies and inconsistencies in the survey data that may not be obvious to the CSP. If Cree finds inaccuracies and inconsistencies in the survey data, the supplier’s survey response will be placed in escalation mode and corrective action measures will be applied.

Additionally, during Phase 3 Cree validates supplier provided smelter information against the most current known RMI aliases, smelter status, and mine sourcing. This step allows Cree to determine the certification status of the smelters, as provided in Table 3 below.

There were many challenges in 2017 similar to the previous year’s RCOI, and it is clear that many suppliers do not fully understand the scope of the requirements of the Rule, and that many privately held companies commit limited resources into screening their SOR lists. This, coupled with SOR and recycler dynamics, such as acquisitions, mergers, relocation, or businesses ceasing operations, resulted in uncertainty with respect to SOR accuracy at any given moment in time. We continue to be reminded that it is impractical to expect all supply chain participants to have completed their due diligence procedures or even to be at the same stage of completion. Accordingly, our goal at this point, as reflected in our multi-phase due diligence efforts, is to get all suppliers to demonstrate that they are implementing appropriate procedures to obtain and provide to Cree complete and accurate SOR data. We believe that this will enable us in future years to better determine the facilities used to process the necessary conflict minerals used in the assemblies, components, and materials supplied to us, the country of origin of the necessary conflict minerals in those items, and the mine or location of origin with the greatest possible specificity.

Due Diligence Results
We received responses from the majority of our suppliers known to be in scope. We reviewed the responses against the minimum criteria we developed to determine which ones required further assistance to progress through Phase 3. The CSP and Cree worked directly with the suppliers that required further assistance to obtain revised responses or a commitment to meet the minimum criteria within a reasonable period of time.

Of the responses received, most of our suppliers met our minimum criteria for Phase 1. Of the suppliers contacted for additional information and clarification, a significant percentage provided sufficient information in Phase 2 to validate the accuracy of the survey responses. Further, during our evaluation in Phase 3, Cree determined that the conclusions reached by the CSP in Phase 2 were correct in substantially all cases and that most of the smelters could be validated and accurately classified.

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Despite our efforts, our due diligence measures can provide only reasonable, not absolute, assurances regarding the source and chain of custody of the necessary conflict minerals because we are relying on source information provided by our suppliers, many of whom in turn obtained the information from their suppliers. We also are relying on information obtained and disseminated by independent third-party audit programs, and such sources of information may provide inaccurate or incomplete information.

Additionally, a majority of the responses that included SOR data provided data at a company level as opposed to a product level. We were therefore unable to determine with certainty that the 3TGs reported by these suppliers were contained in assemblies, components, or materials supplied to us in 2017. None of the respondents, however, provided information that the necessary conflict minerals used in the assemblies, components, and materials they supplied to Cree were known to have directly or indirectly financed or benefited armed groups in the Covered Countries.

Table 2 lists the number of known and verified SORs identified by our suppliers as potentially having processed the necessary conflict minerals in each of Cree’s specific business units.


Table 2
Cree Business Unit
Number of SORs*
LED Lighting Products
308
LED Products
294
Power & RF Products
307
*It should be noted that the number of SORs in each Cree business unit is inflated from the actual number that would have provided necessary conflict minerals to Cree because most suppliers are reporting at a company level instead of a product level.

Table 3 below lists the SORs identified by our suppliers as potentially having processed the necessary conflict minerals in Cree’s products that are known and verified by the CFSI.


Table 3
#
Mineral
Smelter or Refiner Facility Name
Country Location of Smelter
1
Gold
Abington Reldan Metals, LLC
United States of America
2
Gold
Advanced Chemical Company *
United States of America
3
Gold
Aida Chemical Industries Co., Ltd. *
Japan
4
Gold
Al Etihad Gold LLC *
United Arab Emirates
5
Gold
Allgemeine Gold-und Silberscheideanstalt A.G. *
Germany
6
Gold
Almalyk Mining and Metallurgical Complex (AMMC) *
Uzbekistan
7
Gold
AngloGold Ashanti Corrego do Sitio Mineracao *
Brazil
8
Gold
Argor-Heraeus S.A. *
Switzerland
9
Gold
Asahi Pretec Corp. *
Japan

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#
Mineral
Smelter or Refiner Facility Name
Country Location of Smelter
10
Gold
Asahi Refining Canada Ltd. *
Canada
11
Gold
Asahi Refining USA Inc. *
United States of America
12
Gold
Asaka Riken Co., Ltd. *
Japan
13
Gold
Atasay Kuyumculuk Sanayi Ve Ticaret A.S.
Turkey
14
Gold
AU Traders and Refiners *
South Africa
15
Gold
Aurubis AG *
Germany
16
Gold
Bangalore Refinery ^
India
17
Gold
Bangko Sentral ng Pilipinas (Central Bank of the Philippines) *
Philippines
18
Gold
Boliden AB *
Sweden
19
Gold
C. Hafner GmbH + Co. KG *
Germany
20
Gold
Caridad
Mexico
21
Gold
CCR Refinery - Glencore Canada Corporation *
Canada
22
Gold
Cendres + Metaux S.A. *
Switzerland
23
Gold
Chimet S.p.A. *
Italy
24
Gold
Chugai Mining
Japan
25
Gold
Daejin Indus Co., Ltd. *
Korea, Republic of
26
Gold
Daye Non-Ferrous Metals Mining Ltd.
China
27
Gold
Degussa Sonne / Mond Goldhandel GmbH
Germany
28
Gold
DODUCO Contacts and Refining GmbH *
Germany
29
Gold
Dowa *
Japan
30
Gold
DSC (Do Sung Corporation) *
Korea, Republic of
31
Gold
Eco-System Recycling Co., Ltd. *
Japan
32
Gold
Elemetal Refining, LLC
United States of America
33
Gold
Emirates Gold DMCC *
United Arab Emirates
34
Gold
Fidelity Printers and Refiners Ltd.
Zimbabwe
35
Gold
GCC Gujrat Gold Centre Pvt. Ltd.
India
36
Gold
Geib Refining Corporation *
United States of America
37
Gold
Gold Refinery of Zijin Mining Group Co., Ltd. *
China
38
Gold
Great Wall Precious Metals Co., Ltd. of CBPM
China
39
Gold
Guangdong Jinding Gold Limited
China
40
Gold
Guoda Safina High-Tech Environmental Refinery Co., Ltd.
China
41
Gold
Hangzhou Fuchunjiang Smelting Co., Ltd.
China
42
Gold
HeeSung Metal Ltd. *
Korea, Republic of
43
Gold
Heimerle + Meule GmbH *
Germany
44
Gold
Heraeus Metals Hong Kong Ltd. *
China
45
Gold
Heraeus Precious Metals GmbH & Co. KG *
Germany
46
Gold
Hunan Chenzhou Mining Co., Ltd.
China
47
Gold
HwaSeong CJ CO., LTD.
Korea, Republic of
48
Gold
Inner Mongolia Qiankun Gold and Silver Refinery Share Co., Ltd. *
China
49
Gold
Ishifuku Metal Industry Co., Ltd. *
Japan

11


#
Mineral
Smelter or Refiner Facility Name
Country Location of Smelter
50
Gold
Istanbul Gold Refinery *
Turkey
51
Gold
Italpreziosi *
Italy
52
Gold
Japan Mint *
Japan
53
Gold
Jiangxi Copper Co., Ltd. *
China
54
Gold
JSC Ekaterinburg Non-Ferrous Metal Processing Plant *
Russian Federation
55
Gold
JSC Uralelectromed *
Russian Federation
56
Gold
JX Nippon Mining & Metals Co., Ltd. *
Japan
57
Gold
Kaloti Precious Metals
United Arab Emirates
58
Gold
Kazakhmys Smelting LLC
Kazakhstan
59
Gold
Kazzinc *
Kazakhstan
60
Gold
Kennecott Utah Copper LLC *
United States of America
61
Gold
KGHM Polska Miedz Spolka Akcyjna ^
Poland
62
Gold
Kojima Chemicals Co., Ltd. *
Japan
63
Gold
Korea Zinc Co., Ltd. *
Korea, Republic of
64
Gold
Kyrgyzaltyn JSC *
Kyrgyzstan
65
Gold
Kyshtym Copper-Electrolytic Plant ZAO
Russian Federation
66
Gold
L'azurde Company For Jewelry
Saudi Arabia
67
Gold
Lingbao Gold Co., Ltd.
China
68
Gold
Lingbao Jinyuan Tonghui Refinery Co., Ltd.
China
69
Gold
L'Orfebre S.A. ^
Andorra
70
Gold
LS-NIKKO Copper Inc. *
Korea, Republic of
71
Gold
Luoyang Zijin Yinhui Gold Refinery Co., Ltd.
China
72
Gold
Marsam Metals *
Brazil
73
Gold
Materion *
United States of America
74
Gold
Matsuda Sangyo Co., Ltd. *
Japan
75
Gold
Metalor Technologies (Hong Kong) Ltd. *
China
76
Gold
Metalor Technologies (Singapore) Pte., Ltd. *
Singapore
77
Gold
Metalor Technologies (Suzhou) Ltd. *
China
78
Gold
Metalor Technologies S.A. *
Switzerland
79
Gold
Metalor USA Refining Corporation *
United States of America
80
Gold
Metalurgica Met-Mex Penoles S.A. De C.V. *
Mexico
81
Gold
Mitsubishi Materials Corporation *
Japan
82
Gold
Mitsui Mining and Smelting Co., Ltd. *
Japan
83
Gold
MMTC-PAMP India Pvt., Ltd. *
India
84
Gold
Modeltech Sdn Bhd ^
Malaysia
85
Gold
Morris and Watson
New Zealand
86
Gold
Morris and Watson Gold Coast
Australia
87
Gold
Moscow Special Alloys Processing Plant *
Russian Federation
88
Gold
Nadir Metal Rafineri San. Ve Tic. A.S. *
Turkey
89
Gold
Navoi Mining and Metallurgical Combinat
Uzbekistan
90
Gold
Nihon Material Co., Ltd. *
Japan

12


#
Mineral
Smelter or Refiner Facility Name
Country Location of Smelter
91
Gold
Ogussa Osterreichische Gold- und Silber-Scheideanstalt GmbH *
Austria
92
Gold
Ohura Precious Metal Industry Co., Ltd. *
Japan
93
Gold
OJSC "The Gulidov Krasnoyarsk Non-Ferrous Metals Plant" (OJSC Krastsvetmet) *
Russian Federation
94
Gold
OJSC Novosibirsk Refinery *
Russian Federation
95
Gold
PAMP S.A. *
Switzerland
96
Gold
Pease & Curren
United States of America
97
Gold
Penglai Penggang Gold Industry Co., Ltd.
China
98
Gold
Planta Recuperadora de Metales SpA *
Chile
99
Gold
Prioksky Plant of Non-Ferrous Metals *
Russian Federation
100
Gold
PT Aneka Tambang (Persero) Tbk *
Indonesia
101
Gold
PX Precinox S.A. *
Switzerland
102
Gold
Rand Refinery (Pty) Ltd. *
South Africa
103
Gold
Refinery of Seemine Gold Co., Ltd.
China
104
Gold
Remondis Argentia B.V. ^
Netherlands
105
Gold
Republic Metals Corporation *
United States of America
106
Gold
Royal Canadian Mint *
Canada
107
Gold
SAAMP *
France
108
Gold
Sabin Metal Corp.
United States of America
109
Gold
Safimet S.p.A *
Italy
110
Gold
SAFINA A.S. ^
Czech Republic
111
Gold
Sai Refinery
India
112
Gold
Samduck Precious Metals *
Korea, Republic of
113
Gold
Samwon Metals Corp.
Korea, Republic of
114
Gold
SAXONIA Edelmetalle GmbH *
Germany
115
Gold
SEMPSA Joyeria Plateria S.A. *
Spain
116
Gold
Shandong Tiancheng Biological Gold Industrial Co., Ltd.
China
117
Gold
Shandong Zhaojin Gold & Silver Refinery Co., Ltd. *
China
118
Gold
Sichuan Tianze Precious Metals Co., Ltd. *
China
119
Gold
Singway Technology Co., Ltd. *
Taiwan, Province of China
120
Gold
SOE Shyolkovsky Factory of Secondary Precious Metals *
Russian Federation
121
Gold
Solar Applied Materials Technology Corp. *
Taiwan, Province of China
122
Gold
State Research Institute Center for Physical Sciences and Technology
Lithuania
123
Gold
Sudan Gold Refinery
Sudan
124
Gold
Sumitomo Metal Mining Co., Ltd. *
Japan
125
Gold
SungEel HiMetal Co., Ltd. *
Korea, Republic of
126
Gold
T.C.A S.p.A *
Italy
127
Gold
Tanaka Kikinzoku Kogyo K.K. *
Japan
128
Gold
The Refinery of Shandong Gold Mining Co., Ltd. *
China

13


#
Mineral
Smelter or Refiner Facility Name
Country Location of Smelter
129
Gold
Tokuriki Honten Co., Ltd. *
Japan
130
Gold
Tongling Nonferrous Metals Group Co., Ltd.
China
131
Gold
Tony Goetz NV
Belgium
132
Gold
TOO Tau-Ken-Altyn
Kazakhstan
133
Gold
Torecom *
Korea, Republic of
134
Gold
Umicore Brasil Ltda. *
Brazil
135
Gold
Umicore Precious Metals Thailand *
Thailand
136
Gold
Umicore S.A. Business Unit Precious Metals Refining *
Belgium
137
Gold
United Precious Metal Refining, Inc. *
United States of America
138
Gold
Universal Precious Metals Refining Zambia
Zambia
139
Gold
Valcambi S.A. *
Switzerland
140
Gold
Western Australian Mint (T/a The Perth Mint) *
Australia
141
Gold
WIELAND Edelmetalle GmbH *
Germany
142
Gold
Yamakin Co., Ltd. *
Japan
143
Gold
Yokohama Metal Co., Ltd. *
Japan
144
Gold
Yunnan Copper Industry Co., Ltd.
China
145
Gold
Zhongyuan Gold Smelter of Zhongjin Gold Corporation *
China
146
Tantalum
Asaka Riken Co., Ltd. *
Japan
147
Tantalum
Changsha South Tantalum Niobium Co., Ltd. *
China
148
Tantalum
D Block Metals, LLC *
United States of America
149
Tantalum
Exotech Inc. *
United States of America
150
Tantalum
F&X Electro-Materials Ltd. *
China
151
Tantalum
FIR Metals & Resource Ltd. *
China
152
Tantalum
Global Advanced Metals Aizu *
Japan
153
Tantalum
Global Advanced Metals Boyertown *
United States of America
154
Tantalum
Guangdong Rising Rare Metals-EO Materials Ltd. *
China
155
Tantalum
Guangdong Zhiyuan New Material Co., Ltd. *
China
156
Tantalum
H.C. Starck Co., Ltd. *
Thailand
157
Tantalum
H.C. Starck Hermsdorf GmbH *
Germany
158
Tantalum
H.C. Starck Inc. *
United States of America
159
Tantalum
H.C. Starck Ltd. *
Japan
160
Tantalum
H.C. Starck Smelting GmbH & Co. KG *
Germany
161
Tantalum
H.C. Starck Tantalum and Niobium GmbH *
Germany
162
Tantalum
Hengyang King Xing Lifeng New Materials Co., Ltd. *
China
163
Tantalum
Jiangxi Dinghai Tantalum & Niobium Co., Ltd. *
China
164
Tantalum
Jiangxi Tuohong New Raw Material *
China
165
Tantalum
JiuJiang JinXin Nonferrous Metals Co., Ltd. *
China
166
Tantalum
Jiujiang Tanbre Co., Ltd. *
China
167
Tantalum
Jiujiang Zhongao Tantalum & Niobium Co., Ltd. *
China
168
Tantalum
KEMET Blue Metals *
Mexico
169
Tantalum
KEMET Blue Powder *
United States of America

14


#
Mineral
Smelter or Refiner Facility Name
Country Location of Smelter
170
Tantalum
LSM Brasil S.A. *
Brazil
171
Tantalum
Metallurgical Products India Pvt., Ltd. *
India
172
Tantalum
Mineracao Taboca S.A. *
Brazil
173
Tantalum
Mitsui Mining and Smelting Co., Ltd. *
Japan
174
Tantalum
Ningxia Orient Tantalum Industry Co., Ltd. *
China
175
Tantalum
NPM Silmet AS *
Estonia
176
Tantalum
Power Resources Ltd. *
Macedonia, the Former Yugoslav Republic of
177
Tantalum
QuantumClean *
United States of America
178
Tantalum
Resind Industria e Comercio Ltda. *
Brazil
179
Tantalum
RFH Tantalum Smeltery Co., Ltd./Yanling Jincheng Tantalum & Niobium Co., Ltd. *
China
180
Tantalum
Solikamsk Magnesium Works OAO *
Russian Federation
181
Tantalum
Taki Chemical Co., Ltd. *
Japan
182
Tantalum
Telex Metals *
United States of America
183
Tantalum
Ulba Metallurgical Plant JSC *
Kazakhstan
184
Tantalum
XinXing HaoRong Electronic Material Co., Ltd. *
China
185
Tin
Alpha *
United States of America
186
Tin
An Vinh Joint Stock Mineral Processing Company
Vietnam
187
Tin
Chenzhou Yunxiang Mining and Metallurgy Co., Ltd. *
China
188
Tin
China Tin Group Co., Ltd. *
China
189
Tin
CV Ayi Jaya *
Indonesia
190
Tin
CV Dua Sekawan *
Indonesia
191
Tin
CV Gita Pesona *
Indonesia
192
Tin
CV Tiga Sekawan *
Indonesia
193
Tin
CV United Smelting *
Indonesia
194
Tin
CV Venus Inti Perkasa *
Indonesia
195
Tin
Dowa *
Japan
196
Tin
Electro-Mechanical Facility of the Cao Bang Minerals & Metallurgy Joint Stock Company
Vietnam
197
Tin
EM Vinto *
Bolivia (Plurinational State of)
198
Tin
Estanho de Rondonia S.A.
Brazil
199
Tin
Fenix Metals *
Poland
200
Tin
Gejiu Fengming Metallurgy Chemical Plant *
China
201
Tin
Gejiu Jinye Mineral Company *
China
202
Tin
Gejiu Kai Meng Industry and Trade LLC *
China
203
Tin
Gejiu Non-Ferrous Metal Processing Co., Ltd. *
China
204
Tin
Gejiu Yunxin Nonferrous Electrolysis Co., Ltd. *
China
205
Tin
Gejiu Zili Mining And Metallurgy Co., Ltd.
China
206
Tin
Guangdong Hanhe Non-Ferrous Metal Co., Ltd. *
China
207
Tin
Guanyang Guida Nonferrous Metal Smelting Plant *
China
208
Tin
HuiChang Hill Tin Industry Co., Ltd. *
China
209
Tin
Huichang Jinshunda Tin Co., Ltd. *
China

15


#
Mineral
Smelter or Refiner Facility Name
Country Location of Smelter
210
Tin
Jiangxi Ketai Advanced Material Co., Ltd. *
China
211
Tin
Jiangxi New Nanshan Technology Ltd. *
China
212
Tin
Magnu's Minerais Metais e Ligas Ltda. *
Brazil
213
Tin
Malaysia Smelting Corporation (MSC) *
Malaysia
214
Tin
Melt Metais e Ligas S.A. *
Brazil
215
Tin
Metallic Resources, Inc. *
United States of America
216
Tin
Metallo Belgium N.V. *
Belgium
217
Tin
Metallo Spain S.L.U. *
Spain
218
Tin
Mineracao Taboca S.A. *
Brazil
219
Tin
Minsur *
Peru
220
Tin
Mitsubishi Materials Corporation *
Japan
221
Tin
Modeltech Sdn Bhd ^
Malaysia
222
Tin
Nghe Tinh Non-Ferrous Metals Joint Stock Company
Vietnam
223
Tin
O.M. Manufacturing (Thailand) Co., Ltd. *
Thailand
224
Tin
O.M. Manufacturing Philippines, Inc. *
Philippines
225
Tin
Operaciones Metalurgical S.A. *
Bolivia (Plurinational State of)
226
Tin
PT Aries Kencana Sejahtera *
Indonesia
227
Tin
PT Artha Cipta Langgeng *
Indonesia
228
Tin
PT ATD Makmur Mandiri Jaya *
Indonesia
229
Tin
PT Babel Inti Perkasa *
Indonesia
230
Tin
PT Bangka Prima Tin *
Indonesia
231
Tin
PT Bangka Serumpun *
Indonesia
232
Tin
PT Bangka Tin Industry *
Indonesia
233
Tin
PT Belitung Industri Sejahtera *
Indonesia
234
Tin
PT Bukit Timah *
Indonesia
235
Tin
PT DS Jaya Abadi *
Indonesia
236
Tin
PT Eunindo Usaha Mandiri *
Indonesia
237
Tin
PT Inti Stania Prima *
Indonesia
238
Tin
PT Karimun Mining *
Indonesia
239
Tin
PT Kijang Jaya Mandiri *
Indonesia
240
Tin
PT Lautan Harmonis Sejahtera *
Indonesia
241
Tin
PT Menara Cipta Mulia *
Indonesia
242
Tin
PT Mitra Stania Prima *
Indonesia
243
Tin
PT Panca Mega Persada *
Indonesia
244
Tin
PT Premium Tin Indonesia *
Indonesia
245
Tin
PT Prima Timah Utama *
Indonesia
246
Tin
PT Refined Bangka Tin *
Indonesia
247
Tin
PT Sariwiguna Binasentosa *
Indonesia
248
Tin
PT Stanindo Inti Perkasa *
Indonesia
249
Tin
PT Sukses Inti Makmur *
Indonesia
250
Tin
PT Sumber Jaya Indah *
Indonesia
251
Tin
PT Timah (Persero) Tbk Kundur *
Indonesia

16


#
Mineral
Smelter or Refiner Facility Name
Country Location of Smelter
252
Tin
PT Timah (Persero) Tbk Mentok *
Indonesia
253
Tin
PT Tinindo Inter Nusa *
Indonesia
254
Tin
PT Tommy Utama *
Indonesia
255
Tin
Resind Industria e Comercio Ltda. *
Brazil
256
Tin
Rui Da Hung *
Taiwan, Province of China
257
Tin
Soft Metais Ltda. *
Brazil
258
Tin
Super Ligas
Brazil
259
Tin
Thaisarco *
Thailand
260
Tin
Tuyen Quang Non-Ferrous Metals Joint Stock Company
Vietnam
261
Tin
White Solder Metalurgia e Mineracao Ltda. *
Brazil
262
Tin
Yunnan Chengfeng Non-ferrous Metals Co., Ltd. *
China
263
Tin
Yunnan Tin Company Limited *
China
264
Tungsten
A.L.M.T. TUNGSTEN Corp. *
Japan
265
Tungsten
ACL Metais Eireli *
Brazil
266
Tungsten
Asia Tungsten Products Vietnam Ltd. *
Vietnam
267
Tungsten
Chenzhou Diamond Tungsten Products Co., Ltd. *
China
268
Tungsten
Chongyi Zhangyuan Tungsten Co., Ltd. *
China
269
Tungsten
Fujian Jinxin Tungsten Co., Ltd. *
China
270
Tungsten
Ganzhou Haichuang Tungsten Co., Ltd. ^
China
271
Tungsten
Ganzhou Huaxing Tungsten Products Co., Ltd. *
China
272
Tungsten
Ganzhou Jiangwu Ferrotungsten Co., Ltd. *
China
273
Tungsten
Ganzhou Seadragon W & Mo Co., Ltd. *
China
274
Tungsten
Ganzhou Yatai Tungsten Co., Ltd.
China
275
Tungsten
Global Tungsten & Powders Corp. *
United States of America
276
Tungsten
Guangdong Xianglu Tungsten Co., Ltd. *
China
277
Tungsten
H.C. Starck Smelting GmbH & Co. KG *
Germany
278
Tungsten
H.C. Starck Tungsten GmbH *
Germany
279
Tungsten
Hunan Chenzhou Mining Co., Ltd. *
China
280
Tungsten
Hunan Chuangda Vanadium Tungsten Co., Ltd. Wuji *
China
281
Tungsten
Hunan Chunchang Nonferrous Metals Co., Ltd. *
China
282
Tungsten
Hunan Litian Tungsten Industry Co., Ltd.
China
283
Tungsten
Hydrometallurg, JSC *
Russian Federation
284
Tungsten
Japan New Metals Co., Ltd. *
Japan
285
Tungsten
Jiangwu H.C. Starck Tungsten Products Co., Ltd. *
China
286
Tungsten
Jiangxi Dayu Longxintai Tungsten Co., Ltd.
China
287
Tungsten
Jiangxi Gan Bei Tungsten Co., Ltd. *
China
288
Tungsten
Jiangxi Minmetals Gao'an Non-ferrous Metals Co., Ltd.
China
289
Tungsten
Jiangxi Tonggu Non-ferrous Metallurgical & Chemical Co., Ltd. *
China
290
Tungsten
Jiangxi Xinsheng Tungsten Industry Co., Ltd. *
China
291
Tungsten
Jiangxi Yaosheng Tungsten Co., Ltd. *
China
292
Tungsten
Kennametal Fallon *
United States of America

17


#
Mineral
Smelter or Refiner Facility Name
Country Location of Smelter
293
Tungsten
Kennametal Huntsville *
United States of America
294
Tungsten
Malipo Haiyu Tungsten Co., Ltd. *
China
295
Tungsten
Moliren Ltd. *
Russian Federation
296
Tungsten
Niagara Refining LLC *
United States of America
297
Tungsten
Nui Phao H.C. Starck Tungsten Chemicals Manufacturing LLC *
Vietnam
298
Tungsten
Philippine Chuangxin Industrial Co., Inc. *
Philippines
299
Tungsten
South-East Nonferrous Metal Company Limited of Hengyang City *
China
300
Tungsten
Tejing (Vietnam) Tungsten Co., Ltd. *
Vietnam
301
Tungsten
Unecha Refractory metals plant *
Russian Federation
302
Tungsten
Vietnam Youngsun Tungsten Industry Co., Ltd. *
Vietnam
303
Tungsten
Wolfram Bergbau und Hutten AG *
Austria
304
Tungsten
Woltech Korea Co., Ltd. *
Korea, Republic of
305
Tungsten
Xiamen Tungsten (H.C.) Co., Ltd. *
China
306
Tungsten
Xiamen Tungsten Co., Ltd. *
China
307
Tungsten
Xinfeng Huarui Tungsten & Molybdenum New Material Co., Ltd. *
China
308
Tungsten
Xinhai Rendan Shaoguan Tungsten Co., Ltd. *
China

* RMI Conformant Smelters/refiners as of May 7, 2018
^ RMI Active Smelters/refiners as of May 7, 2018

Based upon the RCOI data made available from the RMI, the countries of origin of the conflict minerals sourced and processed by the RMAP-conformant smelters and refiners identified as potentially being in Cree’s product supply chains may include, but are not necessarily limited to, the following:
Andorra, Australia, Austria, Belgium, Bolivia (Plurinational State Of), Brazil, Canada, China, Czech Republic, Estonia, France, Germany, India, Indonesia, Italy, Japan, Kazakhstan, Korea, Republic Of, Kyrgyzstan, Lithuania, Macedonia, The Former Yugoslav Republic Of Macedonia, Malaysia, Mexico, Netherlands, New Zealand, Peru, Philippines, Poland, Russian Federation, Saudi Arabia, Singapore, South Africa, Spain, Sudan, Sweden, Switzerland, Taiwan, Province Of China, Thailand, Turkey, United Arab Emirates, United States Of America, Uzbekistan, Viet Nam, Zambia and Zimbabwe.

This CMR describes Cree’s efforts to determine the SOR and the country of origin of the necessary conflict minerals in our products manufactured in 2017 with the greatest possible specificity. In response to our RCOI inquiry, our suppliers identified a total of 308 known and verified SORs that may have processed the necessary conflict minerals contained in the materials provided to Cree. Based on the information obtained in our due diligence process, we have no reason to believe that any of these 308 SORs directly or indirectly finance or benefit armed groups in the Covered Countries.


18


While we have not yet succeeded in obtaining a complete and accurate list of SORs for all of our products that include necessary conflict minerals, we believe that we have made good progress given the current state of the data available to us and the relative lack of sophistication of certain portions of our supply chain with respect to the requirements of the Rule.

Steps to Mitigate Risk
The previous parts of this CMR detail the steps taken in 2017 to mitigate risk. In the future, we plan to take or continue taking the following actions to improve the due diligence conducted on our supply chain to further mitigate any risk that the necessary 3TGs in our products could finance or benefit armed groups in the Covered Countries:

a. Leverage our direct suppliers that can most effectively and most directly mitigate the identified risks;
b. Continue to be an active RMI member and, as a member, support SOR and recycler outreach programs by sending letters and/or emails to them explaining the importance of audit certification;
c. Work with upstream distributors in our supply chain and develop best practices to improve the quality and reporting of RCOI data;
d. Continue to strengthen engagement with relevant suppliers and to provide training, as appropriate, to help them understand and comply with Cree requirements related to 3TG minerals under the Rule;
e. Continue to seek qualitative improvements in supplier and smelter due diligence of conflict minerals;
f. Enhance program transparency through improved monitoring, reporting and risk reviews; and
g. Monitor to determine if any additional changes in our procurement process are needed to improve visibility to necessary 3TGs in the assemblies, components, and materials purchased.
During the sixth year of Cree’s conflict minerals program, the Company will continue its focus on obtaining complete and reliable SOR and country of origin data by requiring suppliers to provide in a timely manner accurate smelter identification numbers and supplemental information that will allow Cree to determine the correlation between the identified SORs, countries of origin, and the assemblies, components, and materials supplied to Cree.



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19