RoHS
 
RoHS regulations limit or require disclosure concerning the use of certain hazardous materials in various types of automotive, electronic, electrical, medical, packaging, and consumer products. This statement confirms that restricted materials are not intentionally added to any product sold by Produt Components Corporaton/
 
Please be advised that based on the information available to us from our raw material suppliers, our products do not contain hazardous materials prohibited by RoHS legislations including those listed below:
  • California: The Electronic Waste Recycling Act (SB 20/50) (“California RoHS”)
  • China: Article 11, Administration on the Control of Pollution Caused by Electronic Information Products (“China RoHS”)
  • European Union: 
  • Directive EU/2015/863
  • Directive 2011/65/EU (“RoHS 2 Directive”) – replacing Directive 2002/95/EC (“RoHS 1 Directive”)
  • Directive 2002/96/EC (“WEEE Directive”) – including all amendments through 2003/108/EC
  • Directive 94/62/EC (“Packaging Directive”)
  • Directive 2005/84/EC (“Phthalates Directive”) – including any amendments
  • Directive 2000/53/EC (“ELV Directive”) as amended by Comission Directive 2011/37/EU (March 30, 2011)
  • Japan: JIS C 0950, Amendment to the Law for the Promotion of Effective Utilization of Resources (“Japan RoHS”)
  • Korea: Act 6319, Act for Resource Recycling of Electrical and Electronic Equipment and Vehicles (“Korea RoHS”)
  • Norway: Prohibition on Certain Hazardous Substances in Consumer Products (“Norway PoHS”)
  • CONEG: (Coalition of Northeastern Governors) Model Toxics in Packaging Legislation.
Per RoHS 3:
  • Lead (Pb): < 1000 ppm
  • Mercury (Hg): < 100 ppm
  • Cadmium (Cd): < 100 ppm
  • Hexavalent Chromium: (Cr VI) < 1000 ppm
  • Polybrominated Biphenyls (PBB): < 1000 ppm
  • Polybrominated Diphenyl Ethers (PBDE): < 1000 ppm
  • Bis(2-Ethylhexyl) phthalate (DEHP): < 1000 ppm
  • Benzyl butyl phthalate (BBP): < 1000 ppm
  • Dibutyl phthalate (DBP): < 1000 ppm
  • Diisobutyl phthalate (DIBP): < 1000 ppm

REACH

Please be advised that based on the information available to us from our suppliers, our products do not contain as intentionally added additives or ingredients, any of the identified Substances of Very High Concern (SVHC) above the 0.1% threshold or any of the substances added to the Annex XIV Authorization list. This is includes all the substances added to the list up to and including the most recent update. A complete list can be found at http://echa.europa.eu/candidate-list-table. Product Components Corporation will continue to monitor the REACH requirements for any changes in the SVHC list. Should any changes be made that require a change in our statement we will notify you accordingly.

CA PROP 65

Based on information from our suppliers, Product Components Corporation products - when used as intended - do not expose consumers to hazardous substances contained in the CA prop 65 - Safe Drinking Water & Toxic Enforcement Act (https://oehha.ca.gov/proposition-65/proposition-65-list). Any substances are bound within a polymer matrix and do not meet the specified qualifiers in the regulation that would require labeling.

PFAS

Based on information from our suppliers, the substances below are not used int the manufacture of materials use to produce the products sold by Product Components Corporation.

  • Perfluorinated Compounds (PFC)
  • Per- and Polyfluoralkyl Substances (PFAS)
  • Perfluoroalkyl Carboxylic Acids (PFCA)
  • Perfluorooctanoic Acid (PFOA)
  • Perfluorooctanesulfonic Acid (PFOS)
  • Perfluorohexanoic Acid (PFHxA)
  • Perfluorohexane Sulfonice Acid (PFHxS)

This assessment is based on information from their raw material suppliers or vendor Safety Data Sheets (SDS) and knowledge of their manufacturing processes. The above substances are not intentionally added during the manufacturing process.

CMRT

No 3TG (Tantalum, Tin, Gold, Tungsten) is intentionally added to or used in the product(s) or in the production process of the products sold by Product Components Corporation.