UNITED STATES
SECURITIES AND EXCHANGE COMMISSION
Washington, D.C. 20549
FORM SD
Specialized Disclosure Report
Waters Corporation
(Exact name of registrant as specified in its charter)
Delaware | 01-14010 | |
(State or other jurisdiction | (Commission | |
of incorporation) | file number) | |
34 Maple Street, Milford, Massachusetts | 01757 | |
(Address of principal executive offices) | (Zip code) |
Keeley A. Aleman 508-478-2000
(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:
☒ | Rule 13p-1 under the Securities Exchange Act (17 CFR 240.13p-1) for the reporting period from January 1 to December 31, 2023. |
☐ | Rule 13q-1 under the Securities Exchange Act (17 CFR 240.13q-1) for the fiscal year ended. |
Section 1 - Conflict Minerals Disclosure
Item 1.01 Conflict Minerals Disclosure
This filing is being made by Waters Corporation (Waters, the Company, we, us, or our) for the calendar year January 1 to December 31, 2023 in accordance with Rule 13p-1 (Rule 13p-1) under the Securities Exchange Act of 1934 (the 1934 Act) and Form SD (collectively, the Conflict Minerals Rule). Consistent with the Conflict Minerals Rule, as used herein, Conflict Minerals or 3TG are tin (cassiterite), tungsten (wolframite), tantalum (columbite-tantalite or coltan) and gold. In accordance with the Updated Statement on the Effect of the Court of Appeals Decision on the Conflict Minerals Rule issued by the Division of Corporation Finance of the Securities and Exchange Commission on April 7, 2017, we have not included a Conflict Minerals Report exhibit as part of this filing.
Company Overview
Waters is a specialty measurement company that operates with a fundamental purpose to advance the science that enables our customers to enhance human health and well-being. The Company has pioneered analytical workflow solutions involving liquid chromatography, mass spectrometry, thermal analysis and light scattering innovations serving the life, materials, and food sciences.
| Waters sells and services high performance liquid chromatography, ultraperformance liquid chromatography and mass spectrometry technology systems and support products, including chromatography columns, other consumable products, and comprehensive post-warranty service plans. These systems are complementary products that are frequently employed together and sold as integrated instrument systems using common software platforms. |
| Waters is also a developer and supplier of advanced software-based products that interface with the Companys instruments, as well as other manufacturers instruments. |
| Through its TA Instruments product line the Company designs, manufactures, sells, and services thermal analysis, rheology and calorimetry instruments. |
| Through Wyatt Technology (a business acquired by Waters in May 2023), Waters researches, develops and commercializes light scattering instruments used in the pharmaceutical, and biotechnology academic institutions. |
Product Scoping; Reasonable Country of Origin Inquiry (RCOI)
The Company determined that 3TG are used in certain components contained in the Companys instrument systems, which are products that the Company manufactures. These 3TG are necessary to the functionality or production of the Companys instrument systems.
As required by the Conflict Minerals Rule, the Company conducted a RCOI to determine whether any of the 3TG in the Companys products originate in the Democratic Republic of the Congo (the DRC) or its adjoining countries or are from recycled or scrap sources. The Companys due diligence program is based upon industry guidance published by the Organisation for Economic Co-operation and Development, the Due Diligence Guidance for Responsible Supply Chains of Minerals from Conflict-Affected and High-Risk Areas (the OECD Guidance).
As part of our RCOI, we asked 5,722 potentially in-scope suppliers to complete the Conflict Minerals Reporting Template (CMRT), developed by the Responsible Minerals Initiative (the RMI). The CMRT includes questions about suppliers uses and sourcing of 3TG, as well as questions about their own due diligence measures. All potentially in-scope suppliers received a letter from the Companys Senior Vice President of Global Operations, requesting their compliance with the annual RCOI process.
Due Diligence Program
The Company has designed its due diligence program to align with ongoing compliance with the Conflict Minerals Rule. As recommended by the OECD Guidance, the Company published a Conflict Minerals Statement, which is made available to employees, suppliers and the public on our website at https://www.waters.com/nextgen/us/en/about-waters/corporate-governance/conflict-minerals-statement.html. Among other things, the Companys due diligence program includes the review of its worldwide supply chain for materials that contain 3TG and the evaluation of the risk that these materials are from sources that directly or indirectly finance or benefit armed groups in the DRC or an adjoining country.
The Companys program has several elements including, but not limited to, the following:
| Establishing a cross-functional team with representation from Product Stewardship, Trade Compliance, Procurement, Sustainability, Legal, Finance, and Investor Relations to monitor supply chain due diligence and reporting. Waters has permanent staff dedicated to the management of this program. |
| Having a Supplier Environmental and Social Responsibility (ESR) Code of Conduct. Pursuant to the ESR Code of Conduct, the Company expects its suppliers to exercise due diligence on their own supply chains and to make their due diligence findings available to the Company. The ESR Code of Conduct indicates that the Company reserves the right to take remedial action up to and including termination in the event of supplier non-compliance. |
| Including language in the Companys purchase order terms and conditions related to Conflict Minerals reporting and compliance. |
| Holding periodic virtual training with certain critical suppliers about our Conflict Minerals compliance program, our reporting obligations, and the importance of supplier participation. |
| Engaging with a third-party vendor to administer the supplier survey, to tabulate survey results, and to help measure year-over-year performance. |
| Utilizing our Conflict_Minerals@waters.com email as a mechanism for our suppliers and other third parties to report compliance questions or issues to the Company. |
| Notifying the Companys Procurement organization about suppliers who do not respond to the RCOI. |
| In certain circumstances where a supplier acknowledges the use of smelters not certified by the RMI, removing the supplier from the Companys approved vendor list. |
Findings and Results
For calendar year 2023, the number of our total in-scope suppliers increased from 5008 to 5,722. This increase is due to the net addition of suppliers in the ordinary course of business and the acquisition of Wyatt Technologies. Our methodology is intended to increase visibility into our products and their components, including those components we consider to be at lower risk of containing 3TG. The Company received responses from 69% of the 5,722 potentially in-scope suppliers contacted, and the responses received were applicable to 78.6% of the 89,928 parts from those suppliers.
| Some suppliers indicated that the products, components, and materials they sold the Company contained no 3TG, or that they only source 3TG from smelters and refiners that conformed with the RMIs Responsible Minerals Assurance Process assessment. |
| Some suppliers indicated that they could not determine which smelters or refiners produced the 3TG used in the products, components and materials sold to the Company or could not determine the county of origin of the 3TG used in their products. |
| No suppliers informed the Company, in response to the Companys RCOI survey, that they obtained 3TG from mines controlled by armed groups in the DRC or an adjoining country. |
As a result of the information the Company received from its suppliers for calendar year 2023, the Company was not able to determine with certainty the country of origin of the 3TG in our products. However, the Company does not have reason to believe that any 3TG used in its products originated from mines controlled by an armed group in the DRC or an adjoining country.
Future Due Diligence Considerations
The Company is committed to continuing to evolve our RCOI and due diligence program. The Company intends to work to improve survey response rates from its suppliers over time. The Company also intends to continue to update our RCOI and due diligence program processes and procedures as appropriate.
The Companys Form SD is publicly available on our website at https://ir.waters.com/financials/sec-filings.
Section 2- Resource Extraction Issuer Disclosure
Item 2.01 Resource Extraction Issuer Disclosure and Report
Not applicable.
Section 3 -Exhibits
Item 3.01 Exhibits
Not applicable.
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 duly authorized undersigned.
Waters Corporation | ||
(Registrant) | ||
/s/ Christos Ross |
May 28, 2024 | |
By Christos Ross | ||
Senior Vice President, Global Operations |