UNITED STATES
SECURITIES AND EXCHANGE COMMISSION
Washington, D.C. 20549

FORM SD
Specialized Disclosure Report

JOHNSON OUTDOORS INC.
(Exact name of registrant as specified in its charter)

Wisconsin
0-16255
39-1536083
 (State or other jurisdiction  of incorporation or organization)
(Commission File Number)
(IRS Employer Identification No.)

555 Main Street, Racine, Wisconsin 53403
(Address of principal executive offices)

Lori Strangberg, Corporate Controller, (262) 631-6600
(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:

☑   Rule 13p-1 under the Securities Exchange Act (17 CFR 240.13p-1) for the reporting period from January 1 to December 31, 2020.



Section 1 - Conflict Minerals Disclosure

Item 1.01
Conflict Minerals Disclosure and Report

Johnson Outdoors Inc. (“JOI” or “the Company”) is a leading global manufacturer and marketer of branded seasonal outdoor recreation products used primarily for fishing, diving, watercraft recreation and camping.

JOI has a publically available Conflict Minerals Policy that may be found at the following URL: https://www.johnsonoutdoors.com/legal/conflict-minerals-policy.  The content of any website referred to in this Form SD is included for general information only and is not incorporated by reference in this Form SD.

The Company has concluded in good faith that during the year ended December 31, 2020, conflict minerals were necessary to the functionality and/or production of products manufactured by JOI (such minerals are referred to as "necessary conflict minerals").  Necessary conflict minerals were sourced from the Company’s multi-tiered supply chain and were ultimately incorporated into its products via both internal manufacturing processes and by component manufacturers.  The Company, through its independent third-party consultant, conducted a reasonable country of origin inquiry (“RCOI”) with due diligence, based on the “Organisation for Economic Co-operation and Development Due Diligence guidance for Responsible Supply Chains of Minerals from Conflict-Affected and High-Risk Areas,” for its products which was designed to determine whether any of these conflict minerals originated in the Democratic Republic of the Congo (“DRC”) or an adjoining country (together, “Covered Countries”) or were from recycled or scrap sources. For a description of our due diligence, please see our Conflict Minerals Report (Exhibit 1.01).

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Item 1.02
Exhibit

The Company has filed a Conflict Minerals Report for the reporting period January 1, 2020 to December 31, 2020 as Exhibit 1.01 to this Form SD which further describes its products that contain necessary conflict minerals, RCOI methodology, due diligence procedures, results and steps that will be taken to mitigate the risk that necessary conflict minerals benefit armed groups, including steps to improve due diligence.

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Section 2 – Exhibits

Item 2.01
Exhibits

Exhibit 1.01 – Conflict Minerals Report as required by Items 1.01 and 1.02 of this Form. A copy of the Conflict Minerals Report is on the Company's website.

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.

JOHNSON OUTDOORS INC.

/s/ David W. Johnson
 
June 1st, 2021
David W. Johnson
Vice President and Chief Financial Officer
 
(Date)


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Exhibit 1.01

Johnson Outdoors Inc.
Conflict Minerals Report for Calendar Year 2020
June 1, 2021

Exhibit 1.01
to Specialized Disclosure Report Accompanying Form SD
Filed with the SEC on: June 1, 2021

Signed by:
/s/ David W. Johnson
 
Name, Title: David W. Johnson, Chief Financial Officer
Date: June 1, 2021

Introduction:

Johnson Outdoors Inc. (“JOI,” “we,” “us,” “our”) is a publicly traded U.S. company that recognizes itself as an issuer as defined under section 1502 of the Dodd-Frank Wall Street Reform and Consumer Protection Act of 2010, referred to in this report as “Dodd-Frank.”

JOI manufactures, and contracts to manufacture, products for which conflict minerals as defined by Dodd-Frank are necessary to functionality. JOI has reason to believe that some of these necessary conflict minerals may have originated from the Democratic Republic of Congo or adjoining countries, and that some of those minerals may not be solely from recycled or scrap sources. JOI has performed the requisite due diligence regarding the source and chain of custody of the 3TG conflict minerals (tin, tantalum, tungsten and gold) in its mineral supply chain in the most recently completed calendar year, also known as Reporting Year 2020 (RY2020). JOI continues to comply with all obligations as an issuer under applicable requirements of the U.S. Securities and Exchange Commission (the “SEC”) by implementing, executing, managing, and continually improving our Conflict Minerals Program as mandated by the legislation, and reporting our findings to the SEC.

Filing this Conflict Minerals Report with our Form SD fulfills the requirements of Rule 13p-1 of the Securities and Exchange Act of 1934, as amended (the “Conflict Minerals Rule” or the “Rule”). This report includes elements, efforts, results, and conclusions of JOI’s compliance and due diligence activities mandated by applicable SEC requirements.

All terms and definitions in this report are as defined by the Final Rules promulgated under Dodd-Frank and by the Organisation for Economic Co-operation and Development (OECD) Due Diligence Guidance for Responsible Supply Chains of Minerals from Conflict-Affected and High-Risk Areas.

As a supporter of a clean and responsible minerals trade and responsibly sourcing 3TG, JOI supports the Responsible Minerals Initiative’s (RMI) Responsible Minerals Assurance Process (RMAP). Additionally, JOI supports continued economic relationships with conflict-free smelters in Covered Countries (CCs). Covered Countries are defined as the Democratic Republic of Congo (DRC) and its nine adjoining countries: Angola, Burundi, Central African Republic, Republic of the Congo, Rwanda, South Sudan, Tanzania, Uganda, and Zambia.

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While all smelters identified in JOI’s conflict minerals supply chain are evaluated for the possibility of having any type of operations in Covered Countries, JOI conducts multi-layered due diligence to assess the locations and mines of origin of those smelters believed to have a presence in or through Covered Countries anywhere from point of extraction to end use. All results in this Conflict Minerals Report (CMR) are based on activities during the window in which the due diligence was performed.

JOI’s holistic approach to compliance with the Conflict Minerals Rule (the Rule) includes processes that span the entire calendar year, starting with evaluation of 100% of first-tier suppliers in each reporting year, regardless of scope applicability, commodity class or status. The consistent annual fulfillment of each task underscores the solid foundation of our Conflict Minerals Program and reiterates expectations from suppliers and internal staff. In addition to evaluating first-tier suppliers, JOI’s program includes assessment of Original Equipment Manufacturers (OEMs) that supply parts to JOI that may contain 3TG. Identification of all 3TG smelters and refiners (hereinafter referred to collectively as smelters or SORs) in JOI’s global conflict minerals supply chain is provided by in-scope first-tier suppliers and/or OEMs.

JOI’s smelter due diligence is focused on identifying the mines and country of origin to the greatest possible specificity and ensuring that no smelters in our global conflict minerals supply chain are known to us as having ties to armed groups, criminal mining activities, or other illicit activities, whether in or out of Covered Countries. Included in JOI’s due diligence activities is a review to ensure that no smelters known to us have ties to US sanctioned entities, ties to Specially Designated Nationals (SDN) and Blocked Persons, ties to entities on the Treasure Office of Foreign Assets Control (OFAC) list, or are linked to human rights violations, in or out of Covered Countries.

Because the primary identification of all smelters in our 3TG supply chain is made by our first-tier suppliers, each year all JOI first-tier suppliers, both in and out of scope of Conflict Minerals, are reminded of JOI’s Supplier Statement of Basic Standards that apply to all suppliers in our global supply chain. This Statement is updated annually and includes compulsory compliance with the Conflict Minerals Rule and the obligation for in-scope suppliers to return the completed Conflict Minerals Reporting Template (CMRT). This Statement also obliges suppliers to pursue conflict-free sourcing, furnish smelter names, not source (directly or indirectly) from smelters that have ties to sanctioned entities or entities on the SDN and OFAC lists, and to incorporate OECD supply chain policy standards. Included in JOI’s Annual Supplier Communication Plan is an annual audit of suppliers’ understanding of this Statement.

As part of JOI’s company policy to identify the chain of custody and traceability in our supply chain of conflict minerals originating from Covered Countries, JOI’s Reasonable Country of Origin Inquiry (RCOI) to applicable first-tier suppliers includes consistent specific mandates that suppliers perform their own due diligence regarding any and all smelters that are listed on their CMRT, and verify the legitimacy of identified smelters in their supply chains. The RCOI process also specifies other supplier compliance obligations, expectations, and performance risks. In order to fulfill the Rule’s requirement of making a reasonable attempt to determine the source and chain of custody of Conflict Minerals, JOI’s Conflict Minerals Program includes multiple RCOI requests to both applicable first-tier suppliers and smelters.

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The cornerstones of JOI’s Conflict Minerals Program include consistent education, outreach, and training to suppliers and JOI employees, as well as the assurance that all parties understand their roles and responsibilities in JOI’s global conflict minerals supply chain. These routine tasks are evaluated annually for their design, suitability, effectiveness, and results. Appropriate improvements are then made to enhance these performance indicators.

Routine involvement by support staff, business group leaders, and legal personnel throughout the year-long process demonstrates JOI’s company-wide commitment to the success and improvement of the Program as it evolves from year to year. Annual engagement of senior management and senior executives for review and evaluation of JOI’s vigorous Conflict Minerals Program ensures this continued strong company management system. In addition to the commitment from a host of internal JOI resources, participation from JOI’s first-tier suppliers demonstrates a comprehensive multi-tiered solution that allows JOI to fulfill its Conflict Minerals legal and stakeholder obligations with transparency, truthfulness, and integrity.

This Conflict Minerals Report is inclusive for all JOI products at a company level, and all covered products in all JOI business groups. This report may be found on our website at: https://www.johnsonoutdoors.com/legal/conflict-minerals-policy.

JOI’s Conflict Minerals Program:

Since the inception of the Conflict Minerals Rule, JOI’s Conflict Minerals Program has been designed to fulfill all the requirements of the Rule in order to appropriately report the source and chain of custody of conflict minerals in our 3TG supply chain that are necessary to the functionality or production of products manufactured by JOI, or contracted to be manufactured for JOI. While our Program continues to evolve with improvements each year, the focus remains on research and disclosure of information about our due diligence measures taken to determine to the greatest possible specificity the source of mineral ores containing tin, tantalum, tungsten and gold (3TG).

While performing due diligence regarding source and chain of custody of 3TG from extraction through end use in our conflict minerals supply chain, JOI concurrently promotes responsible sourcing from, and economic relationships with, legitimate smelters of 3TG from the Democratic Republic of Congo and its nine adjoining countries (Covered Countries).

Our due diligence efforts are disclosed in this Conflict Minerals Report and include continuous improvements recorded from each previous reporting year. This demonstrates our commitment to: compliance with the Conflict Minerals Rule, expanded identification and disclosure of smelter locations in our 3TG supply chain to ensure responsible sourcing of 3TG, and mitigating the risk that any smelters in our supply chain may benefit armed groups. Specifics regarding our policies, practices, and performance in each required step of Conflict Minerals compliance are included in this report, as well as our conclusion, all based on JOI’s good-faith efforts to accurately research, verify, and report our findings. Each year these findings continue to expand as the increased transparency of 3TG smelters is determined by our due diligence team as well as by the industry as a whole.

The commitments from JOI’s senior management and executives for compliance with the Conflict Minerals Rule remain as strong as they did since the inception of the Rule. As part of its Corporate Social Responsibility (CSR) practices, JOI’s Conflict Minerals Program is driven by internal dedication to increased performance and consistent delivery of JOI’s obligations under the Rule. As an issuer under the Rule, JOI’s dedication of senior management and executives cascades throughout our internal staff that have roles, responsibilities, and obligations to fulfill the SEC disclosure requirements under the Rule.

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The foundation of this strong company management system is represented to all JOI first-tier suppliers as a demonstration of JOI’s seriousness that suppliers understand, participate and fulfill the obligations that apply to them and their role, or potential role, in the success of JOI’s Conflict Minerals Program. Consistent and routine communication of expectations to both internal and external resources, as well as communication regarding JOI’s position and policy on Conflict Minerals, is woven throughout our Conflict Minerals Program. This commitment is underscored throughout our Conflict Minerals Program as multiple RCOIs are made to our first-tier suppliers and smelters in order to identify all 3TG smelters in Covered Countries and their mine locations with the greatest possible specificity. In order to support legitimate trade of conflict minerals in Covered Countries, JOI encourages all suppliers to source from conflict-free smelters within the global supply chain. Suppliers are also clearly notified that JOI is unable to purchase goods and services from suppliers who source from smelters engaged in criminal mining activities, including but not limited to supporting armed groups in Covered Countries.

The effective coordination of the numerous parts of our Conflict Minerals Program, and the honing of these activities from year to year, we believe has produced a very capable and robust program that continues to successfully satisfy every obligation of the Rule.

JOI’s annual Conflict Minerals Program includes, but is not limited to, the following:

Conformance to an internationally recognized due diligence framework.

Maintenance of a publicly available corporate conflict minerals policy.

Design and implementation of an annual organization-wide process that ensures conflict minerals awareness, outreach, and training offered to 100% of JOI suppliers, both in-scope and out-of-scope of the Rule.

Annual notification of JOI’s policy and standards regarding sourcing of conflict minerals to 100% of JOI suppliers, both in-scope and out-of-scope of the Rule.

Making 100% of JOI’s in-scope suppliers aware of their obligations to JOI, and JOI’s own obligations, regarding compliance with the Rule and adherence to JOI’s conflict minerals policy.

Maintenance of internal protocols that ensure conflict minerals supply chain due diligence and compliance obligations are clearly presented, understood and fulfilled by JOI employees who have responsibility for the SEC disclosure requirements under the Rule including senior executives, senior management, business group leaders, legal staff, support staff, and others.

Survey and analysis of all first-tier suppliers and other identifiable sources of 3TG, including distributors and OEMs.

Annual implementation of a supply chain communication plan that includes requests, and repeated requests where necessary, for the completed and current RMI CMRT from in-scope first-tier suppliers in order to facilitate supply chain transparency by gathering, surveying, and evaluating suppliers and sources of 3TG, and identifying 3TG smelters in JOI’s supply chain.

Annual internal audit of all new first-tier suppliers, and other suppliers based on risk, regarding their understanding of the Conflict Minerals Rule, their obligations regarding the Rule, and JOI’s expectations regarding their compliance with the Rule.

Escalation of audit results and risk assessments to JOI business group leaders as appropriate.

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Identification of priority first-tier suppliers that supply electrical and electronic equipment (EEE) and electrical and electronic parts (EEP).

Escalation of RCOI efforts to JOI business group leaders, including identification of smelters from priority suppliers of EEE and EEP.

Collection of conflict minerals information from first-tier suppliers and OEMs as a result of RCOIs to identify 3TG in our supply chain and the sources of 3TG in Covered Countries.

Identification and mitigation of risk where our products may contain conflict minerals that could directly or indirectly finance or benefit armed groups in Covered Countries.

Specific risk identification and mitigation regarding suppliers that may source from smelters that have been suspected of any conflict mining activities, other illegal activities, human rights violations, and/or possible association with entities on the OFAC and/or SDN lists or US sanctioned entities.

Identification of global 3TG smelters in order to determine the locations, country of origin, and mines of these ores, as well as the processing facilities, operations, or trade routes of 3TG from extraction to end use with the greatest possible specificity.

Reliance on the RMAP and other industry-approved mechanisms to validate smelter supply chain due diligence and provide independent third-party audits of smelter management systems, sourcing and due diligence practices.

Reliance on RMI and other industry-approved mechanisms to determine the validity of a smelter in the global sourcing community.

Review of due diligence for RMAP smelters to ensure the validity and current state of RMI information.

Performance of due diligence for RMAP and non-RMAP smelters to determine and/or confirm presence in Covered Countries.

Performance of internal research and due diligence to evaluate and validate smelters not participating in the RMAP or other industry-approved mechanisms.

Making annual requests that first-tier and subsequent-tier suppliers only source from RMAP participating smelters and/or smelters as that have been validated as sourcing under an accredited conflict-free protocol.

Making direct contact with smelters that are not participating in an RMAP protocol to encourage them to participate in an RMAP program, wherever possible.

Performance of peer review and evaluation of public reports.

Performance of multi-tiered assessment and risk mitigation throughout our supply chain including review, evaluation and escalation to, and by, business group leaders and senior management.

Maintenance of an annual improvement plan based on previous reporting years and annual lessons learned.

Maintenance of an online grievance mechanism that allows JOI, its suppliers, and any concerned parties to communicate concerns regarding our Conflict Minerals Program.

Public disclosure and reporting of the results of our due diligence.

Secure maintenance of all records relating to our smelter due diligence efforts and Conflict Minerals Program for a minimum of five years.

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Due Diligence:

Design of Due Diligence:

As an issuer under the Conflict Minerals Rule, JOI understands our obligation to conform to a nationally or internationally recognized due diligence framework to satisfy the SEC requirements of the Rule.

JOI satisfies this requirement in our Conflict Minerals Program by adopting the five steps outlined in the “Five Step Framework for Risk-Based Due Diligence in the Mineral Supply Chain” (Annex I) and the “Model Supply Chain Policy for a Responsible Global Supply Chain of Minerals from Conflict-Affected and High-Risk Areas” (Annex II) included in the Organisation for Economic Co-operation and Development (OECD) Due Diligence Guidance for Responsible Supply Chains of Minerals from Conflict-Affected and High-Risk Areas (Third Edition).

Due Diligence Performed:

The Five Steps outlined by the OECD Guidance are listed below and are mapped to the specific due diligence steps taken by JOI to satisfy the fulfillment of each step in the framework. JOI follows each step in the due diligence process to determine and disclose the chain of custody of Conflict Minerals in our supply chain as well as the sourcing practices of 3TG smelters identified by our first-tier suppliers and OEMs.

Details of the 5 steps that JOI has taken to perform due diligence on the source and chain of custody of the 3TG in our in-scope products include, but are not limited to, the following:

 
OECD Steps:
 
JOI Due Diligence Measures Performed:
 
Step 1:
Establish strong
company
management
systems.
 
Assign and implement multi-disciplinary responsibilities to internal JOI senior executives, senior management, business group leaders, legal staff, support staff, and our third-party consultant to carry out all elements of JOI’s Conflict Minerals Program.
 
Annually re-evaluate business group leaders and renew internal commitments.
 
Maintain a detailed project plan and hold biweekly meetings for JOI employees, business group leaders, senior management members and legal staff who have responsibility for the SEC disclosure requirements under the Rule and related regulatory guidance, and publish updates to this project plan on JOI’s intranet after each meeting.
 
Annually review JOI’s Conflict Minerals Program and results by senior management, senior executives, and legal counsel.
 
Annually discuss evaluations and conclusions made by business group leaders, senior management, senior executives and legal counsel regarding the due diligence results and reporting used to create the Conflict Minerals Report.
 
Annually implement improvements to the Conflict Minerals Program based on lessons learned.
 
Maintain records in a secure computerized database repository for a minimum of five years.
 
Educate business group leaders, senior management and legal staff regarding any potential changes in the Rule, best practices, and provide any relevant training regarding responsible minerals sourcing.

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Step 2:
Identify and
assess risk in the
supply chain.
 
Annually evaluate 100% of JOI’s first-tier suppliers across all business groups as being in or out of scope of the Conflict Minerals Program.
 
Evaluate new suppliers and assess risk based on commodity class.
 
Review and verify supplier commodity class and status for all first-tier suppliers, regardless of scope.
 
Determine priority suppliers, based on supplier ranking, commodity class, business group, and previous response level(s).
     
Assess risk in our mineral supply chain according to commodity class, supplier status and supplier responses.
     
Hold business group leaders accountable for escalations of supplier RCOIs and supplier risk assessments in their respective groups.
     
Engage suppliers by performing multi-tiered survey of 100% of JOI in-scope and first-tier conflict minerals suppliers by requesting current, complete, and accurate CMRTs in order to identify 3TG smelters in the supply chain and set expectations for compliance.
     
Annually redistribute copies of our conflict minerals policy and basic standards to all active first-tier suppliers, regardless of commodity class or scope status of conflict minerals.
     
Analyze smelter information from suppliers with the information available from the RMI, the London Market Bullion Association (LBMA), the Responsible Jewellery Council (RJC), and other accredited industry mechanisms.
     
Analyze smelter information from suppliers via other sources, including but not limited to information from: iTSCi (ITRI Tin Supply Chain Initiative), extensive internet research including smelter websites and company profiles, non-governmental organization (NGO) websites, in-region sourcing programs, industry leader CMRTs and reports, specialized SEC research reports, public news articles and publications.
     
Perform peer review and evaluation of public and private reports.
     
Identify smelters of 3TG that appear to have facilities, or likelihood of facilities, operations or trade routes, in or through Covered Countries.
     
Report identified and/or potential supply chain risks to business group leaders and senior management.
     
Report potential supply chain risks to applicable suppliers and request further supplier due diligence where needed.
     
Evaluate change in first-tier supplier CMRT status, including change in smelter identification status.
     
Record changes in CMRT responses and evaluate for red flags.
     
Evaluate conflict minerals statements, status and CMRTs from OEMs.
     
Maintain an online and open grievance mechanism for other risks to be evaluated if applicable.

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Step 3:
Design and
implement a
strategy to
respond to
identified risks.
 
Perform internal audit of the distribution of our conflict minerals policy in order to evaluate and ensure supplier understanding, acknowledgment, and adherence to this policy and to our Supplier Basic Standards; escalate risks to business group leaders.
 
Perform internal multi-tiered analysis of our suppliers’ CMRTs including: completeness, reasonable response based on commodity class and scope, reasonableness of information supplied, consistency with previous reporting year(s) information, identification of smelters.
 
Communicate supplier expectations for response and return of the most current CMRT including identification of all valid and current smelters and responses to all questions.
 
Communicate supplier expectation to notify us of any risks and red flags identified by their own expected due diligence activities regarding smelters.
 
Communicate supplier expectation that they notify us immediately of any smelters that are not conflict-free.
 
Inform suppliers that JOI is unable to purchase goods and services from suppliers who source, directly or indirectly, from smelters that have ties to sanctioned entities on the SDN and/or OFAC lists and smelters engaged in criminal activities, including criminal mining activities, regardless of sourcing from Covered Countries.
     
Communicate supplier expectations that suppliers perform due diligence regarding all smelters that are listed on CMRT declarations and verify the legitimacy of smelters in their supply chains.
     
Evaluate elevated risk of first-tier suppliers that identify high-risk suppliers in our supply chain.
     
Perform ongoing internal and external training of the Rule, including notification of risks to JOI employees and all suppliers in the conflict minerals supply chain.
     
Engage JOI business group leaders, support staff, and our third-party consultant in multi-tiered follow ups and escalations with suppliers in an effort to obtain a higher quantity and quality of smelter identification and location, particularly from suppliers of EEE and EEP.
     
Use JOI’s level of influence to encourage suppliers to source from RMI audited and conformant smelters, and communicate the expectation that they source only from smelters participating in the RMAP or other industry-approved mechanisms.
     
Encourage identified smelters to participate in the RMAP and obtain RMAP Conformant certification if they have not already done so.
     
Continue to improve efficiency and effectiveness of our Conflict Minerals Program to close gaps and mitigate risks in each reporting year.
     
Perform risk mitigation efforts to ensure all suppliers are in conformance with our conflict minerals policy and expectations.
     
Execute a risk mitigation plan that improves supply chain due diligence and mitigates the risk that any conflict minerals identified in our supply chain may benefit any armed groups in Covered Countries.
     
Communicate risks to business group leaders, our internal conflict minerals senior management team and senior executives.
     
Request that business group leaders evaluate and identify any additional risks throughout the due diligence process.
     
Perform gap analysis and communicate these gaps and issues to our conflict minerals senior management, senior executives, and legal counsel.
     
Review and discuss supplier and smelter gaps with business group leaders, conflict minerals senior management team, senior executives, and legal counsel.

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Step 4:
Carry out
independent
third-party audit of
smelter due
diligence
practices.
 
 
Identify smelters in Covered Countries that are conflict-free, or are participating in an accredited conflict-free program as recognized by the RMI.
 
Rely on the RMI RMAP as our primary third-party audit resource and status for smelters in our supply chain.
 
Rely on the due diligence performed by the LBMA and RJC as supplemental/secondary due diligence of the conflict-free status of smelters.
 
Review RMI smelter information for timeliness, accuracy, and changes, including smelters that no longer meet the definition of a smelter and/or an operating smelter according to the RMI, and associated dates of categorization changes.
 
Review RMAP corrective action plans and schedules for relevant smelters.
 
Contact smelters directly, where needed and if possible, in the form of an RCOI regarding chain of custody of conflict minerals, evidence of due diligence, and request for conflict minerals statement for whom we were unable to confirm conflict-free status via the sources above.
     
Conduct screening of smelters against the current OFAC and SDN lists.
 
Step 5:
Report on supply
chain due diligence.
 
In compliance with Dodd-Frank and the Rule, on or before May 31st of each calendar year (or such business day immediately following such due date), JOI will file Form SD and the Conflict Minerals Report with the SEC, as well as publish this information on its website.

Results of Due Diligence:

JOI identified 331 unique and validated 3TG smelters in its supply chain in RY2020. These are associated with the 3TG as follows:


Gold: 164

Tantalum: 41

Tin: 71

Tungsten: 55

Out of these 331 smelters, JOI identified 172 unique smelters that we have reason to believe either source 3TG from the DRC and/or surrounding countries (Covered Countries) or have some type of facility, operation, or trade route in or through Covered Countries anywhere from extraction to end use. JOI exercised due diligence on the conflict minerals (CM) source and chain of custody for these 172 smelters who we believe may have a presence in Covered Countries.

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Conflict-free (CF) status and believed Covered Country facility location for these 172 smelters are summarized in the table below. The conflict-free status is based on due diligence research performed starting on January 29th, 2021 and concluding on March 18th, 2021. Additional details regarding specific smelter names, countries, and believed facility locations of 3TG may be shared upon request.

Smelter Table:

 
3TG; # of Smelters:
 
172 Smelters with 668 Possible Locations in Covered Countries (CCs):

Gold:
88 Smelters
 
261 possible presences located in 10 CCs:
   
77 RMI RMAP SORs include 231 possible presences in the following CCs: DRC (73), Angola (0), Burundi (1), Central African Republic (0), Republic of the Congo (1), Rwanda (7), S. Sudan (0), Tanzania (74), Uganda (3), Zambia (72)
       
1 RMI Active, CF self-declared and believed to be CF SOR includes 3 possible presences in the following CCs: DRC (1), Angola (0), Burundi (0), Central African Republic (0), Republic of the Congo (0), Rwanda (0), S. Sudan (0), Tanzania (1), Uganda (0), Zambia (1)
       
8 CF self-declared and believed to be CF SORs include 22 possible presences in the following CCs: DRC (7), Angola (0), Burundi (0), Central African Republic (0), Republic of the Congo (0), Rwanda (2), S. Sudan (0), Tanzania (6), Uganda (0), Zambia (7)
       
2 U/K CM compliant SORs include 5 possible presences in the following CCs: DRC (2), Angola (1), Burundi (0), Central African Republic (0), Republic of the Congo (0), Rwanda, (0) S. Sudan (0), Tanzania (0), Uganda (1), Zambia (1)
 
Tantalum:
34 Smelters
 
204 possible presences located in 10 CCs:
   
32 RMI RMAP SORs include 191 possible presences in the following CCs: DRC (28), Angola (15), Burundi (28), Central African Republic (15), Republic of the Congo (17), Rwanda (28), S. Sudan (15) Tanzania (15), Uganda (15), Zambia (15)
       
2 CF self-declared and believed to be CF SORs include 13 possible presences in the following CCs: DRC (2), Angola (1), Burundi (2), Central African Republic (1), Republic of the Congo (1), Rwanda (2), S. Sudan (1) Tanzania (1), Uganda (1), Zambia (1)

Tin:
14 Smelters
 
49 possible presences located in 10 CCs:
   
12 RMI RMAP SORs include 46 possible presences in the following CCs: DRC (9), Angola (2), Burundi (8), Central African Republic (2), Republic of the Congo (3), Rwanda (8), S. Sudan (2), Tanzania (2), Uganda (8), Zambia (2)
   
1 RMI Active, CF self-declared and believed to be CF SOR includes 1 possible presence in the following CCs: DRC (0), Angola (0), Burundi (0), Central African Republic (0), Republic of the Congo (1), Rwanda (0), S. Sudan (0), Tanzania (0), Uganda (0), Zambia (0)
   
1 U/K CM compliant SOR includes 2 possible presences in the following CCs: DRC (1), Angola (0), Burundi (0), Central African Republic (0), Republic of the Congo (0), Rwanda, (0) S. Sudan (0), Tanzania (0), Uganda (0), Zambia (1)

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Tungsten:
36 Smelters
 
154 possible presences located in 10 CCs:
   
33 RMI RMAP SORs include 147 possible presences in the following CCs: DRC (33), Angola (3), Burundi (32), Central African Republic (3), Republic of the Congo (3), Rwanda (32), S. Sudan (3), Tanzania (3), Uganda (32), Zambia (3)
   
2 CF self-declared and believed to be CF SORs include 5 possible presences in the following CCs: DRC (1), Angola (0), Burundi (1), Central African Republic (0), Republic of the Congo (0), Rwanda (2), S. Sudan (0), Tanzania (0), Uganda (1), Zambia (0)
   
1 U/K CM compliant SOR includes 2 possible presences in the following CCs: DRC (1), Angola (0), Burundi (0), Central African Republic (0), Republic of the Congo (0), Rwanda, (0) S. Sudan (0), Tanzania (0), Uganda (0), Zambia (1)

3TG Conflict-Free Due Diligence Summary:

The conflict-free (CF) status for all 3TG smelters that may have facilities located in CCs is as follows:


Gold appears to be 98% CF

Tantalum appears to be 100% CF

Tin appears to be 93% CF

Tungsten appears to be 97% CF

RMAP Participation Summary:

The conflict-free status of the 172 smelters listed as having possible presences in Covered Countries is as follows:


154 (90%) are RMI RMAP Conformant

2 (1%) are RMI Active and are believed to be CF due to self-declaration or other acceptable accreditation(s)

12 (7%) do not have RMAP status and are believed to be CF due to self-declaration or other acceptable accreditation(s)

4 (2%) are unknown CF status, as no information was available from public sources and the smelters were not able to be confirmed as CF via direct RCOI

Due Diligence Conclusion:


98% of all 3TG smelters that may be in Covered Countries appear to be conflict-free

2% of all 3TG smelters that may be in Covered Countries are of unknown conflict-free status

91% of all 3TG smelters that may be in Covered Countries were participating in an RMI program either as RMAP Conformant or RMI Active

99% of the 3TG smelters in JOI’s entire supply chain, believed to source either in or out of Covered Countries, are believed to be conflict-free

11

Improvements:

JOI’s Conflict Minerals Program includes methods and metrics to evaluate improvements from each year to the next. In RY2020, JOI experienced improvements in overall supplier response rate in providing CMRT information, 3TG smelter identification, and the likelihood of smelter presences in Covered Countries.

The total number of valid 3TG smelters identified in JOI’s supply chain in RY2020 is 8.5% higher than those identified in RY2019 (331 versus 305). The total number of smelters identified as having reason to believe do business in or through Covered Countries grew by 81%, from 95 in RY2019 to 172 in RY2020.

The number of possible presences of smelters identified as doing business in or through Covered Countries increased significantly by 62% from 412 in RY2019 to 668 in RY2020. The higher number of possible presences in Covered Countries is attributed to the number of first-tier suppliers and/or OEMs engaged with the RMI and their ability to report on an increased number of RMAP smelters doing business in Covered Countries. The greater transparency of the RMI reporting covered country instances applies only to RMAP smelters. Increased transparency in Covered Country presences for non-RMAP smelters is attributed to the greater transparency of supplier and/or OEM Covered Country identification via public resources and JOI’s due diligence activities. The UK Conflict Minerals Regulation that went into effect in January 2021 also likely contributed to greater overall transparency and smelter statements found for RY2020.

Despite the significant increases in both the number of valid smelters in Covered Countries and their possible number of presences in Covered Countries, the number of smelters that were identified as conflict status unknown only increased by one smelter. This represents a 1% drop from 3% in RY2019 to 2% in RY2020 of smelters with unknown status. Consistent since RY2015, the total percentage of all 3TG conflict-free smelters in JOI’s conflict minerals supply chain that were both in and out of Covered Countries remained at 99%.

Compared to RY2019, additional improvements in RY2020 include the following: the total number of listed smelters by first-tier suppliers and OEMs increased by over 10%; the number of invalid smelters listed increased by 65%; the total number of unique listed smelters increased by over 23%; the total supplier RCOI response rate increased by 1%; the percentage of 3TG suppliers that identified smelters increased by 4% and, of these, the total number of smelters identified by first-tier suppliers of EEE/EEP increased by 14%. Other notable improvements in RY2020 included a significant increase in RMI RMAP smelters in Covered Countries from 84 in RY2019 to 154 in RY2020, and the total number of conflict-free smelters in Covered Countries increased from 92 to 168.

Although all of these smelter numbers increased from RY2019, the percentage of unique smelters compared to total smelters listed remained consistent at 4%. This means that, for the second consecutive year, 96% of all smelter listings from first-tier suppliers and OEMs were duplicates. The higher number of all smelters in these categories combined with the consistently high percentage of duplicate smelters indicates that, regardless of the quantity of smelters identified, it is reasonable to believe that the unique smelters identified represent all of the smelters in JOI’s conflict minerals supply chain. Therefore, even though JOI did not receive 100% response from first-tier suppliers and smelter information was not available from all OEMs, JOI has satisfied the representative caveat that it has identified all smelters in its 3TG supply chain, that JOI has satisfied the obligation to make a reasonable attempt to obtain this information, and that any further smelter identification would not have materially changed the final smelter list in JOIs 3TG supply chain.

12

From RY2015 to date, JOI has been able to reasonably determine that the tantalum identified to be sourced from Covered Countries is 100% conflict-free. For RY2020, our due diligence has determined that the conflict-free status of the other conflict minerals in our supply chain is believed to be conflict-free as follows: gold appears to be 98% conflict-free, an increase of 1% over RY2019; tin appears to be 93% conflict-free, consistent with RY2019; and tungsten appears to be 97% conflict-free, an increase of 2% over RY2019.

Despite the increases in most metrics from RY2019 to RY2020, and some of these being significant improvements in the number of smelters and their possible locations in Covered Countries, the conflict-free percentage of smelters in Covered Countries increased only by 1% (from 97% to 98%). Additionally, the conflict-free percentage of all smelters in JOI’s conflict minerals supply chain (both in and out of CCs) has remained constant at 99% from when this metric was first recorded in RY2015.

For the second year in a row, RY2020 reflected a record number of total smelter listings. For a third year in a row, the total number of smelters increased, and most significantly, since the beginning of the Conflict Minerals rule, RY2020 recorded the highest number of possible presences of smelters in Covered Countries. The primary contributing factors to these consistent, and in some cases, significant improvements, can be attributed to the following: an increase in first-tier smelters and OEMs reporting RMAP smelter locations in Covered Countries; increased public transparency of smelter information from first-tier smelters and OEMs; effective due diligence performed in JOI’s Conflict Minerals Program; clear and consistent supplier communication, outreach and training to 100% of all first-tier and active suppliers in JOI’s supply chain; increased pressure on first-tier suppliers regarding due diligence of high-risk smelters in JOI’s 3TG supply chain; consistent risk assessments performed by JOI’s due diligence team and business group leaders; ongoing participation for JOI business group leaders regarding escalation of non-responsive suppliers; application of the EU Conflict Minerals Regulation and other corporate social responsibility pressures; increased industry use of the Cobalt Reporting Template; and a general increase in industry attention to approaches regarding the responsible sourcing in mineral supply chains worldwide.

Additional information regarding statistical improvements may be shared upon request.

Determination:

JOI reviews and evaluates 100% of its active suppliers on an annual basis for each reporting year, including suppliers both in and out of scope of Conflict Minerals. Since the first release of the CMRT, JOI has used this industry-standard tool to fulfill the requisite RCOI and due diligence obligations regarding smelters of 3TG in our conflict minerals supply chain. We believe the multiple RCOIs made to JOI’s in-scope first-tier suppliers to collect CMRTs containing smelters names, combined with OEM research to obtain OEM CMRTs and smelter names, provides JOI with comprehensive results of identified 3TG smelters. Additional information collected from CMRTs is used to evaluate other metrics regarding the source and chain of custody of conflict minerals including RCOIs made directly to specific smelters in our 3TG supply chain.

13

JOI has made good-faith efforts to complete all the steps outlined by the OECD Guidance for compliance with the Conflict Minerals Rule. Based on our comprehensive evaluation, collection, and due diligence regarding identified smelters in our conflict minerals supply chain, we conclude that certain smelters in our conflict minerals supply chain either do have, or may have, facilities that source 3TG from Covered Countries and/or may have some type of operations or trade routes, from extraction to end use, in or through Covered Countries. While JOI can reasonably conclude that 100% of the tantalum in our supply chain is sourced from smelters that are either conflict-free or is from recycled or scrap sources, and the gold, tin, and tungsten are close to being 100% conflict-free, we are unable to conclusively confirm that 100% of the 3TG smelters in our supply chain are conflict-free or that 100% of the 3TGs in our supply chain are sourced exclusively from recycled or scrap sources.

In RY2020, as in every year since the inception of the Conflict Minerals Rule, JOI can confidently state that none of the smelters identified by our first-tier suppliers or OEMs have been confirmed to us as sourcing 3TG that directly or indirectly finances or benefits armed groups in Covered Countries. Based on our risk-based due diligence efforts, JOI also reasonably concludes that no 3TG smelters in our supply chain are known to have participated in direct or indirect criminal mining activities, other illegal activities, are associated with entities on the OFAC and/or SDN lists or US sanctioned lists, or have ties to human rights violations.

As JOI’s due diligence efforts continue to improve year after year, these efforts continue to be based on smelter information as provided by JOI’s first-tier suppliers and obtained from our OEMs, and from any response directly received from smelters themselves.

Planned Risk Mitigation and Future Due Diligence Measures:

Included in JOI’s Conflict Minerals Program are routine risk identification and mitigation steps to ensure, to the best of our ability and knowledge, that no conflict minerals identified by our first-tier suppliers and OEMs in our global 3TG supply chain directly or indirectly benefit armed groups in Covered Countries.

Throughout the calendar year, JOI’s multi-tiered approach to planned risk mitigation includes: clear and consistent communication to 100% of first-tier suppliers regarding expectations, performance and evaluation of Conflict Minerals reporting; 100% evaluation of supplier responses, or lack thereof, and any associated risks; communication of supplier escalations, risks and resolutions to and from business group leaders; 100% smelter evaluation including multi-level due diligence of applicable smelters; senior management, executive and legal review, discussion and assessment.

The objective of planned and routine risk mitigation efforts is to ensure that our first-tier suppliers knowingly and purposefully only source from smelters that do not support or benefit armed groups in Covered Countries and that they identify legitimate sources of 3TG in our supply chain. Continued evaluations of these tasks and risks are made by business group leaders and senior management to reveal possible areas for improvements throughout our Conflict Minerals Program.

Part of JOI’s planned risk mitigation and future due diligence measures includes evaluating these steps as performed by other issuers under the Rule, considering actions and recommendations by non-governmental organizations, industry stakeholders, the RMI and other resources addressing responsible mineral sourcing issues in global supply chains.

14

JOI’s planned risk mitigation framework and future due diligence activities include but are not limited to the following:
Continually engaging internal business group leaders and support staff at a deep level for review, analysis, evaluation, and recommendation for both supplier and smelter risks in each business group.
Imposing direct responsibility and action items on business group leaders for supplier escalations and risk assessment for their respective business groups.
Leveraging multi-tiered influence from JOI’s internal and external resources in order to compel its first-tier suppliers that are in-scope of the Rule to deliver current, accurate, timely, and complete information regarding 3TG smelters in their supply chain.
Leveraging multi-tiered influence from JOI’s internal and external resources to increase response level from first-tier distributors that are in-scope of the Rule regarding JOI’s supply chain procedures and increase their participation in supply chain transparency of conflict minerals, including furnishing CMRTs for their OEMs.
Emphasizing the high probability of 3TG in EEE and EEP, and maintaining pressure, specifically on first-tier suppliers of EEE/EEP, to provide current, correct, and comprehensive smelter identification, including CMRTs from their OEMs as applicable.
Continuing to review first-tier supplier commodity classes and status with business group leaders for veracity and inclusion of EEE/EEP criteria for active first-tier suppliers.
Consistently and routinely improving JOI’s Annual Supplier Communication Plan that includes annual updates, legislative updates and reminders, and ongoing training to assist 100% of JOI’s active suppliers, regardless of in-scope status, regarding the need for correct and complete conflict minerals information to satisfy the SEC requirements.
Using our level of influence to encourage all suppliers to source only from smelters validated as compliant to the RMAP assessment protocol via the current version of the RMI RMAP Conformant Smelter List or other accredited independent validation scheme or institutional mechanism.
Using our level of influence to encourage all suppliers to source away from unvalidated conflict-free smelters, smelters with unknown conflict status, and to identify conflict minerals sources in their supply chains.
Using our level of influence to have suppliers re-evaluate and confirm or refute the actual presence of questionable smelters as identified in their supply chains, including removing these suppliers if they are not confirmed to factually be in their supply chains and requesting updated CMRTs from suppliers as needed.
Instructing suppliers to immediately and directly advise JOI if they have reason to believe that any person or entity in their supply chain may directly or indirectly finance or benefit armed groups in Covered Countries, and providing a discrete mechanism to do so if any party wishes to report this information anonymously.
Pressuring smelters with undeterminable conflict-free status to become verified as adhering to conflict-free sourcing practices and encouraging participation in the RMAP audit process.
Reviewing smelter red flags for locations of gold origin and transit.
Reminding suppliers to perform their own due diligence regarding any and all smelters identified on their CMRT declarations and verify the legitimacy of these smelters in their supply chains.
Reminding all JOI suppliers to perform additional mitigation actions regarding high-risk smelters that may be in their supply chains.
Reminding suppliers to notify JOI of any smelters where risks and red flags may be identified by their own due diligence activities for all 3TG.
Reviewing RMAP corrective action plans and schedules for relevant smelters.

15

Reviewing RMI re-categorization of smelters that no longer meet RMI’s definition of a smelter or are no longer operating as a smelter.
Making all in-scope suppliers aware of the requirements to cease sourcing of any 3TG that may support or benefit armed groups in Covered Countries, engage in any criminal mining activities, or other illicit activities.
Reviewing smelters against the current OFAC and SND lists.
Reminding all suppliers that JOI is unable to purchase goods and services from suppliers who source, directly or indirectly, from smelters that have ties to sanctioned entities on the SDN or OFAC lists.
Annually auditing all new suppliers, plus additional suppliers, regarding adherence to JOI’s Supplier Statement of Basic Standards.
Considering industry best practices, and other global Conflict Minerals laws to embrace a global approach and anticipate future expansion of the Rule, including the possibility of additional ores, and the impact of Conflict Minerals sourcing from conflict-affected and high-risk areas worldwide.
Considering industry movement and approaches regarding other mineral supply chains and responsible global sourcing.
 
Description of Products:

Necessary conflict minerals may be found in products that JOI manufactures, and contracts to manufacture, including accessories for all groups. Descriptions of product families by business group are as follows:

Fishing Group:

Trolling motors

Shallow water anchors

Battery chargers

Fishfinders

Downriggers

Dive Group:

Dive computers, instruments and gauges

Scuba dive equipment

Buoyancy compensators

Camping Group:

Camping tents, sleeping bags and furniture

Camping stoves

Military, party, and event tents

Watercraft Recreation Group:

Canoes

Kayaks

Personal flotation devices

Paddles

16

Conclusion:

JOI’s Conflict Minerals Program is based on the globally-accepted standard for supply chain due diligence, the “OECD Due Diligence Guidance Third Edition (OECD Due Diligence Guidance for Responsible Supply Chains of Minerals from Conflict-Affected and High-Risk Areas)”. Using the OECD-recommended 5 steps in this guidance for maintaining an effective internal management system to track and manage risks in our conflict minerals supply chain, JOI has been able to identify and respond to risks in our 3TG supply chain, and implement this due diligence process to successfully complete all the requirements as an issuer as defined under Dodd-Frank.

Following the 5 steps and executing the appropriate due diligence, JOI has performed good-faith efforts to identify the source and chain of custody of conflict minerals in our supply chain that are necessary to the production of applicable JOI products. All smelter identification is derived from information represented by our first-tier suppliers and OEMs of 3TG. Subsequent smelter research and due diligence is performed using resources provided by the RMI and its RMAP process as an accredited third-party audit mechanism as well as evaluating various public resources. To our best knowledge, the due diligence reflected in this Conflict Minerals Report (CMR) is accurate and true based on the window of research during which all required activities were performed.

It is possible that the information in this CMR may include unknown errors or omissions. Any errors or omissions are a result of information as supplied by JOI’s first-tier suppliers and OEMs based on their CMRTs or other information provided, including information that may have been obtained directly from smelters. Errors and omissions may also be a result of other information reported or published by the RMI in RMI reports and/or information on the RMI website, as well as information gleaned from public resources. All information in this report is limited to the time constraint under which this information was researched and evaluated.

In order to satisfy the requirement regarding early warning risk-awareness, JOI maintains an early warning risk-awareness conflict minerals grievance mechanism. This online and open mechanism is designed to allow JOI to receive any additional relevant information that may not have been uncovered through our due diligence process in supply chain transparency as it relates to conflict minerals. Any information found to be contradictory to this Conflict Minerals Report may be communicated to JOI through this grievance mechanism which may be found at the following URL: https://www.johnsonoutdoors.com/legal.

17

Appendix A:

The smelter list below includes 3TG smelters with one or more worldwide facilities that JOI suppliers identified to potentially be in our conflict minerals supply chain and that were participating at some level with the Responsible Minerals Initiative’s (RMI) Responsible Minerals Assurance Process (RMAP) in RY2020. The presence of a smelter on the list below does not indicate that JOI products necessarily contained conflict minerals sourced or processed by that smelter. The identity and location information for each entity was reported by the RMI as of January 29th, 2021.

 
3TG:
 
Smelter Name:
 
Location:
 
Gold
 
8853 S.p.A.
 
ITALY
 
Gold
 
Advanced Chemical Company
 
UNITED STATES OF AMERICA
 
Gold
 
Aida Chemical Industries Co., Ltd.
 
JAPAN
 
Gold
 
Al Etihad Gold Refinery DMCC
 
UNITED ARAB EMIRATES
 
Gold
 
Alexy Metals
 
UNITED STATES OF AMERICA
 
Gold
 
Allgemeine Gold-und Silberscheideanstalt A.G.
 
GERMANY
 
Gold
 
Almalyk Mining and Metallurgical Complex (AMMC)
 
UZBEKISTAN
 
Gold
 
AngloGold Ashanti Corrego do Sitio Mineracao
 
BRAZIL
 
Gold
 
Argor-Heraeus S.A.
 
SWITZERLAND
 
Gold
 
Asahi Pretec Corp.
 
JAPAN
 
Gold
 
Asahi Refining Canada Ltd.
 
CANADA
 
Gold
 
Asahi Refining USA Inc.
 
UNITED STATES OF AMERICA
 
Gold
 
Asaka Riken Co., Ltd.
 
JAPAN
 
Gold
 
AU Traders and Refiners
 
SOUTH AFRICA
 
Gold
 
Aurubis AG
 
GERMANY
 
Gold
 
Bangalore Refinery
 
INDIA
 
Gold
 
Boliden AB
 
SWEDEN
 
Gold
 
C. Hafner GmbH + Co. KG
 
GERMANY
 
Gold
 
C.I Metales Procesados Industriales SAS
 
COLOMBIA
 
Gold
 
CCR Refinery - Glencore Canada Corporation
 
CANADA
 
Gold
 
Cendres + Metaux S.A.
 
SWITZERLAND
 
Gold
 
Central Bank of the Philippines Gold Refinery & Mint
 
PHILIPPINES
 
Gold
 
Chimet S.p.A.
 
ITALY
 
Gold
 
Chugai Mining
 
JAPAN
 
Gold
 
DODUCO Contacts and Refining GmbH
 
GERMANY
 
Gold
 
Dowa Metals & Mining Co. Ltd
 
JAPAN
 
Gold
 
DSC (Do Sung Corporation)
 
KOREA, REPUBLIC OF
 
Gold
 
Eco-System Recycling Co., Ltd. East Plant
 
JAPAN
 
Gold
 
Eco-System Recycling Co., Ltd. North Plant
 
JAPAN
 
Gold
 
Eco-System Recycling Co., Ltd. West Plant
 
JAPAN
 
Gold
 
Emirates Gold DMCC
 
UNITED ARAB EMIRATES
 
Gold
 
Geib Refining Corporation
 
UNITED STATES OF AMERICA
 
Gold
 
Gold Refinery of Zijin Mining Group Co., Ltd.
 
CHINA
 
Gold
 
Heimerle + Meule GmbH
 
GERMANY
 
Gold
 
Heraeus Metals Hong Kong Ltd.
 
CHINA
 
Gold
 
Heraeus Precious Metals GmbH & Co. KG
 
GERMANY
 
Gold
 
Inner Mongolia Qiankun Gold and Silver Refinery Share Co., Ltd.
 
CHINA
 
Gold
 
Ishifuku Metal Industry Co., Ltd.
 
JAPAN
 
Gold
 
Istanbul Gold Refinery
 
TURKEY
 
Gold
 
Italpreziosi
 
ITALY
 
Gold
 
Japan Mint
 
JAPAN
 
Gold
 
Jiangxi Copper Co., Ltd.
 
CHINA

18

 
Gold
 
JSC Novosibirsk Refinery
 
RUSSIAN FEDERATION
 
Gold
 
JSC Uralelectromed
 
RUSSIAN FEDERATION
 
Gold
 
JX Nippon Mining & Metals Co., Ltd.
 
JAPAN
 
Gold
 
Kazzinc
 
KAZAKHSTAN
 
Gold
 
Kennecott Utah Copper LLC
 
UNITED STATES OF AMERICA
 
Gold
 
KGHM Polska Miedz Spolka Akcyjna
 
POLAND
 
Gold
 
Kojima Chemicals Co., Ltd.
 
JAPAN
 
Gold
 
Korea Zinc Co., Ltd.
 
KOREA, REPUBLIC OF
 
Gold
 
Kyrgyzaltyn JSC
 
KYRGYZSTAN
 
Gold
 
L'Orfebre S.A.
 
ANDORRA
 
Gold
 
LS-NIKKO Copper Inc.
 
KOREA, REPUBLIC OF
 
Gold
 
LT Metal Ltd.
 
KOREA, REPUBLIC OF
 
Gold
 
Marsam Metals
 
BRAZIL
 
Gold
 
Materion
 
UNITED STATES OF AMERICA
 
Gold
 
Matsuda Sangyo Co., Ltd.
 
JAPAN
 
Gold
 
Metal Concentrators SA (Pty) Ltd.
 
SOUTH AFRICA
 
Gold
 
Metalor Technologies (Hong Kong) Ltd.
 
CHINA
 
Gold
 
Metalor Technologies (Singapore) Pte., Ltd.
 
SINGAPORE
 
Gold
 
Metalor Technologies (Suzhou) Ltd.
 
CHINA
 
Gold
 
Metalor Technologies S.A.
 
SWITZERLAND
 
Gold
 
Metalor USA Refining Corporation
 
UNITED STATES OF AMERICA
 
Gold
 
Metalurgica Met-Mex Penoles S.A. De C.V.
 
MEXICO
 
Gold
 
Mitsubishi Materials Corporation
 
JAPAN
 
Gold
 
Mitsui Mining and Smelting Co., Ltd.
 
JAPAN
 
Gold
 
MMTC-PAMP India Pvt., Ltd.
 
INDIA
 
Gold
 
Moscow Special Alloys Processing Plant
 
RUSSIAN FEDERATION
 
Gold
 
Nadir Metal Rafineri San. Ve Tic. A.S.
 
TURKEY
 
Gold
 
Navoi Mining and Metallurgical Combinat
 
UZBEKISTAN
 
Gold
 
Nihon Material Co., Ltd.
 
JAPAN
 
Gold
 
Ogussa Osterreichische Gold- und Silber-Scheideanstalt GmbH
 
AUSTRIA
 
Gold
 
Ohura Precious Metal Industry Co., Ltd.
 
JAPAN
 
Gold
 
OJSC "The Gulidov Krasnoyarsk Non-Ferrous Metals Plant" (OJSC Krastsvetmet)
 
RUSSIAN FEDERATION
 
Gold
 
PAMP S.A.
 
SWITZERLAND
 
Gold
 
Planta Recuperadora de Metales SpA
 
CHILE
 
Gold
 
Prioksky Plant of Non-Ferrous Metals
 
RUSSIAN FEDERATION
 
Gold
 
PT Aneka Tambang (Persero) Tbk
 
INDONESIA
 
Gold
 
PX Precinox S.A.
 
SWITZERLAND
 
Gold
 
Rand Refinery (Pty) Ltd.
 
SOUTH AFRICA
 
Gold
 
REMONDIS PMR B.V.
 
NETHERLANDS
 
Gold
 
Royal Canadian Mint
 
CANADA
 
Gold
 
SAAMP
 
FRANCE
 
Gold
 
Safimet S.p.A
 
ITALY
 
Gold
 
SAFINA A.S.
 
CZECH REPUBLIC
 
Gold
 
Samduck Precious Metals
 
KOREA, REPUBLIC OF
 
Gold
 
SAXONIA Edelmetalle GmbH
 
GERMANY
 
Gold
 
SEMPSA Joyeria Plateria S.A.
 
SPAIN
 
Gold
 
Shandong Gold Smelting Co., Ltd.
 
CHINA
 
Gold
 
Shandong Zhaojin Gold & Silver Refinery Co., Ltd.
 
CHINA
 
Gold
 
Sichuan Tianze Precious Metals Co., Ltd.
 
CHINA
 
Gold
 
Singway Technology Co., Ltd.
 
TAIWAN, PROVINCE OF CHINA
 
Gold
 
SOE Shyolkovsky Factory of Secondary Precious Metals
 
RUSSIAN FEDERATION
 
Gold
 
Solar Applied Materials Technology Corp.
 
TAIWAN, PROVINCE OF CHINA
 
Gold
 
Sumitomo Metal Mining Co., Ltd.
 
JAPAN

19

 
Gold
 
SungEel HiMetal Co., Ltd.
 
KOREA, REPUBLIC OF
 
Gold
 
T.C.A S.p.A
 
ITALY
 
Gold
 
Tanaka Kikinzoku Kogyo K.K.
 
JAPAN
 
Gold
 
Tokuriki Honten Co., Ltd.
 
JAPAN
 
Gold
 
TOO Tau-Ken-Altyn
 
KAZAKHSTAN
 
Gold
 
Torecom
 
KOREA, REPUBLIC OF
 
Gold
 
TSK Pretech
 
KOREA, REPUBLIC OF
 
Gold
 
Umicore Precious Metals Thailand
 
THAILAND
 
Gold
 
Umicore S.A. Business Unit Precious Metals Refining
 
BELGIUM
 
Gold
 
United Precious Metal Refining, Inc.
 
UNITED STATES OF AMERICA
 
Gold
 
Valcambi S.A.
 
SWITZERLAND
 
Gold
 
Western Australian Mint (T/a The Perth Mint)
 
AUSTRALIA
 
Gold
 
WIELAND Edelmetalle GmbH
 
GERMANY
 
Gold
 
Yamakin Co., Ltd.
 
JAPAN
 
Gold
 
Yokohama Metal Co., Ltd.
 
JAPAN
 
Gold
 
Zhongyuan Gold Smelter of Zhongjin Gold Corporation
 
CHINA
 
Tantalum
 
Asaka Riken Co., Ltd.
 
JAPAN
 
Tantalum
 
Changsha South Tantalum Niobium Co., Ltd.
 
CHINA
 
Tantalum
 
D Block Metals, LLC
 
UNITED STATES OF AMERICA
 
Tantalum
 
Exotech Inc.
 
UNITED STATES OF AMERICA
 
Tantalum
 
F&X Electro-Materials Ltd.
 
CHINA
 
Tantalum
 
FIR Metals & Resource Ltd.
 
CHINA
 
Tantalum
 
Global Advanced Metals Aizu
 
JAPAN
 
Tantalum
 
Global Advanced Metals Boyertown
 
UNITED STATES OF AMERICA
 
Tantalum
 
Guangdong Rising Rare Metals-EO Materials Ltd.
 
CHINA
 
Tantalum
 
H.C. Starck Hermsdorf GmbH
 
GERMANY
 
Tantalum
 
H.C. Starck Inc.
 
UNITED STATES OF AMERICA
 
Tantalum
 
Hengyang King Xing Lifeng New Materials Co., Ltd.
 
CHINA
 
Tantalum
 
Jiangxi Dinghai Tantalum & Niobium Co., Ltd.
 
CHINA
 
Tantalum
 
Jiangxi Tuohong New Raw Material
 
CHINA
 
Tantalum
 
JiuJiang JinXin Nonferrous Metals Co., Ltd.
 
CHINA
 
Tantalum
 
Jiujiang Tanbre Co., Ltd.
 
CHINA
 
Tantalum
 
Jiujiang Zhongao Tantalum & Niobium Co., Ltd.
 
CHINA
 
Tantalum
 
KEMET de Mexico/Kemet Blue Metals
 
MEXICO
 
Tantalum
 
LSM Brasil S.A.
 
BRAZIL
 
Tantalum
 
Meta Materials (f/k/a Power Resources LTD)
 
NORTH MACEDONIA, REPUBLIC OF
 
Tantalum
 
Metallurgical Products India Pvt., Ltd.
 
INDIA
 
Tantalum
 
Mineracao Taboca S.A.
 
BRAZIL
 
Tantalum
 
Mitsui Mining and Smelting Co., Ltd.
 
JAPAN
 
Tantalum
 
Ningxia Orient Tantalum Industry Co., Ltd.
 
CHINA
 
Tantalum
 
NPM Silmet AS
 
ESTONIA
 
Tantalum
 
QuantumClean
 
UNITED STATES OF AMERICA
 
Tantalum
 
Resind Industria e Comercio Ltda.
 
BRAZIL
 
Tantalum
 
Solikamsk Magnesium Works OAO
 
RUSSIAN FEDERATION
 
Tantalum
 
Taki Chemical Co., Ltd.
 
JAPAN
 
Tantalum
 
TANIOBIS Co., Ltd.
 
THAILAND
 
Tantalum
 
TANIOBIS GmbH
 
GERMANY
 
Tantalum
 
TANIOBIS Japan Co., Ltd.
 
JAPAN
 
Tantalum
 
TANIOBIS Smelting GmbH & Co. KG
 
GERMANY
 
Tantalum
 
Telex Metals
 
UNITED STATES OF AMERICA
 
Tantalum
 
Ulba Metallurgical Plant JSC
 
KAZAKHSTAN
 
Tantalum
 
XIMEI RESOURCES (GUANGDONG) LIMITED
 
CHINA
 
Tantalum
 
XinXing HaoRong Electronic Material Co., Ltd.
 
CHINA
 
Tantalum
 
Yanling Jincheng Tantalum & Niobium Co., Ltd.
 
CHINA

20

 
Tin
 
Alpha
 
UNITED STATES OF AMERICA
 
Tin
 
Chenzhou Yunxiang Mining and Metallurgy Co., Ltd.
 
CHINA
 
Tin
 
Chifeng Dajingzi Tin Industry Co., Ltd.
 
CHINA
 
Tin
 
China Tin Group Co., Ltd.
 
CHINA
 
Tin
 
CRM Fundicao De Metais E Comercio De Equipamentos Eletronicos Do Brasil Ltda
 
BRAZIL
 
Tin
 
CRM Synergies
 
SPAIN
 
Tin
 
CV Venus Inti Perkasa
 
INDONESIA
 
Tin
 
Dowa
 
JAPAN
 
Tin
 
EM Vinto
 
BOLIVIA (PLURINATIONAL STATE OF)
 
Tin
 
Estanho de Rondonia S.A.
 
BRAZIL
 
Tin
 
Fenix Metals
 
POLAND
 
Tin
 
Gejiu Fengming Metallurgy Chemical Plant
 
CHINA
 
Tin
 
Gejiu Kai Meng Industry and Trade LLC
 
CHINA
 
Tin
 
Gejiu Non-Ferrous Metal Processing Co., Ltd.
 
CHINA
 
Tin
 
Gejiu Yunxin Nonferrous Electrolysis Co., Ltd.
 
CHINA
 
Tin
 
Gejiu Zili Mining And Metallurgy Co., Ltd.
 
CHINA
 
Tin
 
Guangdong Hanhe Non-Ferrous Metal Co., Ltd.
 
CHINA
 
Tin
 
Guanyang Guida Nonferrous Metal Smelting Plant
 
CHINA
 
Tin
 
HuiChang Hill Tin Industry Co., Ltd.
 
CHINA
 
Tin
 
Huichang Jinshunda Tin Co., Ltd.
 
CHINA
 
Tin
 
Jiangxi New Nanshan Technology Ltd.
 
CHINA
 
Tin
 
Luna Smelter, Ltd.
 
RWANDA
 
Tin
 
Ma'anshan Weitai Tin Co., Ltd.
 
CHINA
 
Tin
 
Magnu's Minerais Metais e Ligas Ltda.
 
BRAZIL
 
Tin
 
Malaysia Smelting Corporation (MSC)
 
MALAYSIA
 
Tin
 
Melt Metais e Ligas S.A.
 
BRAZIL
 
Tin
 
Metallic Resources, Inc.
 
UNITED STATES OF AMERICA
 
Tin
 
Metallo Belgium N.V.
 
BELGIUM
 
Tin
 
Metallo Spain S.L.U.
 
SPAIN
 
Tin
 
Mineracao Taboca S.A.
 
BRAZIL
 
Tin
 
Minsur
 
PERU
 
Tin
 
Mitsubishi Materials Corporation
 
JAPAN
 
Tin
 
Novosibirsk Processing Plant Ltd.
 
RUSSIAN FEDERATION
 
Tin
 
O.M. Manufacturing (Thailand) Co., Ltd.
 
THAILAND
 
Tin
 
O.M. Manufacturing Philippines, Inc.
 
PHILIPPINES
 
Tin
 
Operaciones Metalurgicas S.A.
 
BOLIVIA (PLURINATIONAL STATE OF)
 
Tin
 
PT Artha Cipta Langgeng
 
INDONESIA
 
Tin
 
PT ATD Makmur Mandiri Jaya
 
INDONESIA
 
Tin
 
PT Babel Surya Alam Lestari
 
INDONESIA
 
Tin
 
PT Bangka Serumpun
 
INDONESIA
 
Tin
 
PT Menara Cipta Mulia
 
INDONESIA
 
Tin
 
PT Mitra Stania Prima
 
INDONESIA
 
Tin
 
PT Prima Timah Utama
 
INDONESIA
 
Tin
 
PT Rajawali Rimba Perkasa
 
INDONESIA
 
Tin
 
PT Rajehan Ariq
 
INDONESIA
 
Tin
 
PT Refined Bangka Tin
 
INDONESIA
 
Tin
 
PT Stanindo Inti Perkasa
 
INDONESIA
 
Tin
 
PT Timah Tbk Kundur
 
INDONESIA
 
Tin
 
PT Timah Tbk Mentok
 
INDONESIA
 
Tin
 
Resind Industria e Comercio Ltda.
 
BRAZIL
 
Tin
 
Rui Da Hung
 
TAIWAN, PROVINCE OF CHINA
 
Tin
 
Soft Metais Ltda.
 
BRAZIL
 
Tin
 
Thai Nguyen Mining and Metallurgy Co., Ltd.
 
VIET NAM

21

 
Tin
 
Thaisarco
 
THAILAND
 
Tin
 
Tin Technology & Refining
 
UNITED STATES OF AMERICA
 
Tin
 
White Solder Metalurgia e Mineracao Ltda.
 
BRAZIL
 
Tin
 
Yunnan Chengfeng Non-ferrous Metals Co., Ltd.
 
CHINA
 
Tin
 
Yunnan Tin Company Limited
 
CHINA
 
Tin
 
Yunnan Yunfan Non-ferrous Metals Co., Ltd.
 
CHINA
 
Tungsten
 
A.L.M.T. Corp.
 
JAPAN
 
Tungsten
 
ACL Metais Eireli
 
BRAZIL
 
Tungsten
 
Albasteel Industria e Comercio de Ligas Para Fundicao Ltd.
 
BRAZIL
 
Tungsten
 
Artek LLC
 
RUSSIAN FEDERATION
 
Tungsten
 
Asia Tungsten Products Vietnam Ltd.
 
VIET NAM
 
Tungsten
 
Chenzhou Diamond Tungsten Products Co., Ltd.
 
CHINA
 
Tungsten
 
China Molybdenum Tungsten Co., Ltd.
 
CHINA
 
Tungsten
 
Chongyi Zhangyuan Tungsten Co., Ltd.
 
CHINA
 
Tungsten
 
Cronimet Brasil Ltda
 
BRAZIL
 
Tungsten
 
Fujian Ganmin RareMetal Co., Ltd.
 
CHINA
 
Tungsten
 
Fujian Jinxin Tungsten Co., Ltd.
 
CHINA
 
Tungsten
 
Ganzhou Haichuang Tungsten Co., Ltd.
 
CHINA
 
Tungsten
 
Ganzhou Huaxing Tungsten Products Co., Ltd.
 
CHINA
 
Tungsten
 
Ganzhou Jiangwu Ferrotungsten Co., Ltd.
 
CHINA
 
Tungsten
 
Ganzhou Seadragon W & Mo Co., Ltd.
 
CHINA
 
Tungsten
 
Global Tungsten & Powders Corp.
 
UNITED STATES OF AMERICA
 
Tungsten
 
Guangdong Xianglu Tungsten Co., Ltd.
 
CHINA
 
Tungsten
 
H.C. Starck Tungsten GmbH
 
GERMANY
 
Tungsten
 
Hunan Chenzhou Mining Co., Ltd.
 
CHINA
 
Tungsten
 
Hunan Chuangda Vanadium Tungsten Co., Ltd. Wuji
 
CHINA
 
Tungsten
 
Hunan Chunchang Nonferrous Metals Co., Ltd.
 
CHINA
 
Tungsten
 
Hunan Litian Tungsten Industry Co., Ltd.
 
CHINA
 
Tungsten
 
Hydrometallurg, JSC
 
RUSSIAN FEDERATION
 
Tungsten
 
Japan New Metals Co., Ltd.
 
JAPAN
 
Tungsten
 
Jiangwu H.C. Starck Tungsten Products Co., Ltd.
 
CHINA
 
Tungsten
 
Jiangxi Gan Bei Tungsten Co., Ltd.
 
CHINA
 
Tungsten
 
Jiangxi Tonggu Non-ferrous Metallurgical & Chemical Co., Ltd.
 
CHINA
 
Tungsten
 
Jiangxi Xinsheng Tungsten Industry Co., Ltd.
 
CHINA
 
Tungsten
 
Jiangxi Yaosheng Tungsten Co., Ltd.
 
CHINA
 
Tungsten
 
JSC "Kirovgrad Hard Alloys Plant"
 
RUSSIAN FEDERATION
 
Tungsten
 
Kennametal Fallon
 
UNITED STATES OF AMERICA
 
Tungsten
 
Kennametal Huntsville
 
UNITED STATES OF AMERICA
 
Tungsten
 
KGETS Co., Ltd.
 
KOREA, REPUBLIC OF
 
Tungsten
 
Lianyou Metals Co., Ltd.
 
TAIWAN, PROVINCE OF CHINA
 
Tungsten
 
Malipo Haiyu Tungsten Co., Ltd.
 
CHINA
 
Tungsten
 
Masan High-Tech Materials (Masan Tungsten Chemical)
 
VIET NAM
 
Tungsten
 
Moliren Ltd.
 
RUSSIAN FEDERATION
 
Tungsten
 
Niagara Refining LLC
 
UNITED STATES OF AMERICA
 
Tungsten
 
NPP Tyazhmetprom LLC
 
RUSSIAN FEDERATION
 
Tungsten
 
Philippine Chuangxin Industrial Co., Inc.
 
PHILIPPINES
 
Tungsten
 
TANIOBIS Smelting GmbH & Co. KG
 
GERMANY
 
Tungsten
 
Tejing (Vietnam) Tungsten Co., Ltd.
 
VIET NAM
 
Tungsten
 
Unecha Refractory metals plant
 
RUSSIAN FEDERATION
 
Tungsten
 
Wolfram Bergbau und Hutten AG
 
AUSTRIA
 
Tungsten
 
Woltech Korea Co., Ltd.
 
KOREA, REPUBLIC OF
 
Tungsten
 
Xiamen Tungsten (H.C.) Co., Ltd.
 
CHINA
 
Tungsten
 
Xiamen Tungsten Co., Ltd.
 
CHINA
 
Tungsten
 
Xinfeng Huarui Tungsten & Molybdenum New Material Co., Ltd.
 
CHINA

Additional smelters were identified by JOI’s first-tier suppliers and/or OEMs in RY2020. These smelters are not listed here because they were either not identified by the RMI, or other accredited sources, as a valid smelter or refiner and/or were not participating in any RMAP program during the time of the research conducted. The names of these smelters may be provided upon request.


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