sp-12509-01 rev ta - zebra technologiespec team proc: environmental compliance specification doc....

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Zebra Technologies, Inc. General Business Use REVISIONS REV DESCRIPTION DATE AUTHOR L Revised per PD# 69632 to include a new data collection form SP-12509- 12 – supplier check list for BFR & PVC 01-23-08 Greg Valdman M Revised per PD# 73462 The Specification has been extensively re-written to reflect changes in Global Environmental regulations 6/23/09 Greg Valdman N Revised per PD75733 to reflect new realities in Environmental Regulatory worldwide and the release of EU RoHS recast. Added ban on PVC in cables starting January 1, 2011 for all parts pre-Phase I. Add in allowance for reporting 10% MISC content in 6.2. Revised section 6.5. Removed section 7.0 regarding WEEE reporting. October 3, 2011 Greg Valdman Theresa Jordan P Revised per PD75804 due to changes in Product Environmental Data collection and Environmental Regulations worldwide. September 18, 2012 Greg Valdman R Updated – Section 2.0 Scope, Section 3.0 by adding more references, Section 4.0 more definitions added, Section 6.0 Process is updated, Section 6.5 Additional Restrictions is updated by adding more substances, Section 7.0 Batteries is updated to reflect current requirements. Appendix A and B tables of substances removed and reference added to 1202897W18 specification. Any previous references to WES and EMS have been changed to ZEBRA. March 11, 2014 Shohail Ahmed T Updated – Removed MSI logo and references. Symbol is a wholly owned subsidiary of Zebra Technologies. Added the Appendix A and B tables with list of substances. Added section 8.0 for additional environmental compliance requirements for outbound product manuals and other printed collaterals. Updated section 6.2. Added comments about exception process and MISC IP form. Substances added in section 6.5. Added remarks about e logo requirements in section 6.6.2.1. December 2, 2014 Shohail Ahmed TA Replaced Symbol logo with Zebra. Changed references from Symbol to Zebra where possible. Updated the revision letter of specification to double letter numbering convention. Removed original Appendix A and Appendix B Section 1. Appendix A: Changed Perchlorates to Controlled from Reportable with threshold of 6ppb; added exemption 9 for Lithium Perchlorate in Coin Cells above 10mAh; changed Trichloroethylene, 2,4- Dinitrotoluene, Hexabromocyclododecane, Tris(2-chloroethyl)phosphate to Controlled with threshold of 1000ppm. Updated document references. April 24, 2015 Shohail Ahmed PEC Team Proc: Environmental Compliance Specification DOC. NO: SP-12509-01 SHEET 1 OF 21 REVISION: TA

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Page 1: SP-12509-01 Rev TA - Zebra TechnologiesPEC Team Proc: Environmental Compliance Specification DOC. NO: SP-12509-01 ... of the use of certain hazardous substances in electrical and electronic

Zebra Technologies, Inc. General Business Use

REVISIONS

REV DESCRIPTION DATE AUTHOR L

Revised per PD# 69632 to include a new data collection form SP-12509-12 – supplier check list for BFR & PVC 01-23-08 Greg Valdman

M Revised per PD# 73462 The Specification has been extensively re-written to reflect changes in Global Environmental regulations 6/23/09 Greg Valdman

N

Revised per PD75733 to reflect new realities in Environmental Regulatory worldwide and the release of EU RoHS recast. Added ban on PVC in cables starting January 1, 2011 for all parts pre-Phase I. Add in allowance for reporting 10% MISC content in 6.2. Revised section 6.5. Removed section 7.0 regarding WEEE reporting.

October 3, 2011

Greg Valdman Theresa Jordan

P Revised per PD75804 due to changes in Product Environmental Data collection and Environmental Regulations worldwide.

September 18, 2012

Greg Valdman

R

Updated – Section 2.0 Scope, Section 3.0 by adding more references, Section 4.0 more definitions added, Section 6.0 Process is updated, Section 6.5 Additional Restrictions is updated by adding more substances, Section 7.0 Batteries is updated to reflect current requirements. Appendix A and B tables of substances removed and reference added to 1202897W18 specification. Any previous references to WES and EMS have been changed to ZEBRA.

March 11, 2014

Shohail Ahmed

T

Updated – Removed MSI logo and references. Symbol is a wholly owned subsidiary of Zebra Technologies. Added the Appendix A and B tables with list of substances. Added section 8.0 for additional environmental compliance requirements for outbound product manuals and other printed collaterals. Updated section 6.2. Added comments about exception process and MISC IP form. Substances added in section 6.5. Added remarks about e logo requirements in section 6.6.2.1.

December 2, 2014

Shohail Ahmed

TA

Replaced Symbol logo with Zebra. Changed references from Symbol to Zebra where possible. Updated the revision letter of specification to double letter numbering convention. Removed original Appendix A and Appendix B Section 1. Appendix A: Changed Perchlorates to Controlled from Reportable with threshold of 6ppb; added exemption 9 for Lithium Perchlorate in Coin Cells above 10mAh; changed Trichloroethylene, 2,4-Dinitrotoluene, Hexabromocyclododecane, Tris(2-chloroethyl)phosphate to Controlled with threshold of 1000ppm. Updated document references. April 24, 2015

Shohail Ahmed PEC Team

Proc: Environmental Compliance Specification

DOC. NO: SP-12509-01

SHEET 1 OF 21 REVISION: TA

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REVISIONS

REV DESCRIPTION DATE AUTHOR A Comments from RoHS Compliance team per PD64226 2/11/05 Ken Knizek B Add Lead free plating statement, fixed typos per PD64243 3/30/05 Ken Knizek

C To be consistent with the EU ROHS directive, changing the Cadmium levels from 75 PPM to 100PPM. Per PD64283

5/17/05 Ken Knizek

D Change Title from RoHS-Restrictions of Hazardous Substances Specification for Environmental Compliance to Environmental Compliance Specification. Added Sp-12509-05 reference in paragraph 3.0. per PD64729

8/18/05 Ken Knizek

E

Updated paragraph 6.3 to include the latest approved RoHS exemptions based on the COMMISSION DECISION of 21 October 2005 amending for the purposes of adapting to technical progress the Annex to Directive 2002/95/EC of the European Parliament and of the Council on the restriction of the use of certain hazardous substances in electrical and electronic equipment (notified under document number C (2005) 4054). Updated paragraph 6.4 to reflect Symbol’s current method to verify compliance to the RoHS directive. Made minor changes to paragraph 3.0 Per PD65033

11/3/05 Ken Knizek

F

Update to reflect: WEEE requirements, and add WEEE table; obsolete current data collection form (SP-12509-02 Rev. C and SP-12509-06) and replace with the IPC-1752 -2 standard form; add Deca BDE in polymeric applications to the exemptions list in 6.3 and number the exemptions to coincide with the IPC 1752 form; add IPC class descriptions to Definitions Section 4; add reference document EU Commission Decision or 13 October 2005 per PD#66114

07-10-06

Glenn Spetta

G

Update to add new EU RoHS Directive exemptions that were published in the EC’s Official Journal on October 14, 2006. References 3.15 through 3.20 are added. Additional definitions related to China RoHS were added in Section 4.0. Section 6.3 lists the additional exemptions with their implementation dates. Requirements for China RoHS marking and labeling have been added in section 6.2.1 and applicable portions of the document. A data collection certification form (1) has been added to reflect IATA and DOT transportation requirements for batteries containing lithium. Additional requirements for data collection have been added to meet with the newly published EU Battery Directive and China RoHS. Per pd#67350

11-10-06 Glenn Spetta

H

Provide additional information to reflect recent clarifications to China RoHS marking and labeling requirements. References 3.21 and 3.22 are added. The definition on PEPU has been changed to EPUP. In section 4 and in section 6.2.1.1.2 reference to the Chinese Regulation GB18455-2001 “Packaging Recycling Marks” has been added. Table V – WEEE form is requested to be completed and returned to [email protected] per PD# 67510

01-05-07 Glenn Spetta

J

Updated to clarify product labeling requirements for China RoHS (China’s Management Methods {CMM}) in section 6.2.1 and to reflect that Symbol was acquired by Motorola in January of 2007. Symbol is a wholly owned subsidiary of Motorola. Change references from [email protected] to [email protected]. Per PD# 68731

06-04-07 Glenn Spetta

K

Modified section 8 to meet EU Battery Directive Requirements Created and added several new data collection forms SP-12509-08 for the EU Battery Directive, SP-12509-09 for the China RoHS CMM Disclosure Table, SP-12509-10 for Manufacturer’s (or Supplier’s) Certification for Batteries Containing Lithium and SP-12509-11 WEEE Design for Removal Certification Form and added to references as 3.23 3.24 3.25 and 3.26 respectively. Revised to incorporate substances, categories and threshold limits contained in Motorola specification 12G02897W18 Per PD # 69011

11-15-07 Greg Valdman

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Table of Contents

1.0  PURPOSE ............................................................................................................. 4 

2.0  SCOPE .................................................................................................................. 4 

3.0  REFERENCES ...................................................................................................... 4 

4.0  DEFINITIONS ....................................................................................................... 6 

5.0  RESPONSIBILITIES ............................................................................................. 9 

5.1  Zebra Technologies Responsibilities ............................................................................................ 9 

5.2  Supplier Responsibilities ............................................................................................................ 10 

6.0  PROCESS ........................................................................................................... 10 

6.1  Restrictions and Requirements for Substances ......................................................................... 10 

6.2  Reporting Requirements ............................................................................................................. 10 

6.3  Analytical Testing ....................................................................................................................... 11 

6.4  Test Methodologies .................................................................................................................... 11 

6.5  Additional Restrictions and Requirements for Substances ........................................................ 11 

6.6  China Management Methods (CMM) ......................................................................................... 12 

7.0  ADDITIONAL REQUIREMENTS FOR BATTERIES .......................................... 14 

7.1  Labeling Requirements for the European Union and other jurisdictions, including Brazil, Croatia, Ukraine and Turkey ................................................................................................................................ 14 

7.2  Labeling Requirements for the United States ............................................................................ 15

8.0  ADDITIONAL REQUIREMENTS FOR PRODUCT COLLATERALS ................. 14 

9.0  Records .............................................................................................................. 17 

APPENDICES: i.e. Tables, Flowcharts, Diagrams, etc. ............................................ 18 

Appendix A: Global Acceptance Criteria ........................ Error! Bookmark not defined. 

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1.0 PURPOSE This specification establishes Zebra Technologies, Inc.’s business requirements for restricting or prohibiting certain chemical compounds and materials in its products and manufacturing processes. The document also provides guidance and requirements to its associates and the providers (i.e. suppliers, manufacturers and/or OEM/JDM’s) of parts, components and materials that are used in Zebra products to satisfy global environmental compliance requirements. All suppliers, manufacturers and associates are required to conduct business in an ethical manner and follow all applicable government regulations (including but not limited to Environmental, Health & Safety, and Labor). Adherence to the requirements of this document is required as part of Zebra Technologies due diligence efforts to ensure environmental regulatory compliance. 2.0 SCOPE This specification sets forth Zebra Technologies materials disclosure requirements for items and materials used in the manufacture and delivery of products to Zebra Technologies, Inc. customers. The document will be updated as necessary to reflect new and/or additional environmental regulatory requirements regarding content restrictions (i.e. battery, material content, packaging materials, product labeling, product collaterals and marking requirements, chemical registration requirements, ozone depleting substance restrictions, and others). Conformance to these requirements is mandatory for the design and manufacture of Zebra products. 3.0 REFERENCES DIRECTIVE 2002/95/EC OF THE EUROPEAN PARLIAMENT AND OF THE COUNCIL of 27 January 2003 on the restriction of the use of certain hazardous substances in electrical and electronic equipment. http://eur-lex.europa.eu/LexUriServ/LexUriServ.do?uri=OJ:L:2003:037:0019:0023:en:PDF DIRECTIVE 2011/65/EU OF THE EUROPEAN PARLIAMENT AND OF THE COUNCIL OF 8 JUNE, 2011 on the restriction of the use of certain hazardous substances in electrical and electronic equipment (recast). http://eur-lex.europa.eu/LexUriServ/LexUriServ.do?uri=OJ:L:2011:174:0088:0110:en:PDF DIRECTIVE 2002/96/EC OF THE EUROPEAN PARLIAMENT AND OF THE COUNCIL of 27 January 2003 on waste electrical and electronic equipment (WEEE) http://eur-lex.europa.eu/LexUriServ/LexUriServ.do?uri=CELEX:32002L0096:en:HTML DIRECTIVE 2012/19/EU OF THE EUROPEAN PARLIAMENT OF THE COUNCIL OF 4 JULY 2012 on the waste electrical and electronic equipment (WEEE) (recast) http://eur-lex.europa.eu/JOHtml.do?uri=OJ:L:2012:197:SOM:EN:HTML DIRECTIVE 91/157/EEC and 93/86/EEC on batteries and accumulators http://eur-lex.europa.eu/LexUriServ/LexUriServ.do?uri=CELEX:31991L0157:EN:HTML

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Regulation (EC) No 1907/2006 of the European Parliament and of the Council of 18 December 2006 concerning the Registration, Evaluation, Authorization and Restriction of Chemicals (REACH) http://eur-lex.europa.eu/LexUriServ/LexUriServ.do?uri=CELEX:32006R1907:EN:NOT International Electrochemical Commission (IEC) Standard IEC 62474 http://std.iec.ch/iec62474/iec62474.nsf/MainFrameset Zebra Engineering Specification Document No. 50-04100-013 (latest revision). Inbound Packaging and Labeling Standard Available in Agile through Engineering Shared Services link for Zebra associates. Suppliers can receive copies of the Specification through their Zebra Commodities Manager or Buyer. IPC-1752A family of standards - http://www.ipc.org/ContentPage.aspx?pageid=Materials-Declaration EU COMMISSION DECISION of 12 October 2006 amending, for the purposes of adapting to technical progress, the Annex to Directive 2002/95/EC of the European Parliament and of the Council as regards exemptions for applications of lead in crystal glass (notified under document number C (2006) 4789) (notified under document number C (2006) 4789) (Text with EEA relevance) (2006/690/EC) Published in the Official Journal of the European Union 14.10.2006 L283/47. http://eur-lex.europa.eu/LexUriServ/LexUriServ.do?uri=OJ:L:2006:283:0047:0047:EN:PDF EU COMMISSION DECISION of 12 October 2006 amending, for the purposes of adapting to technical progress, the Annex to Directive 2002/95/EC of the European Parliament and of the Council as regards exemptions for applications of lead and cadmium (notified under document number C (2006) 4790) (Text with EEA relevance) (2006/691/EC) Published in the Official Journal of the European Union 14.10.2006 L283/48. http://eur-lex.europa.eu/LexUriServ/LexUriServ.do?uri=OJ:L:2006:283:0048:0049:EN:PDF EU COMMISSION DECISION of 12 October 2006 amending, for the purposes of adapting to technical progress, the Annex to Directive 2002/95/EC of the European Parliament and of the Council as regards exemptions for applications of hexavalent chromium (notified under document number C (2006) 4791) (Text with EEA relevance) (2006/692/EC) Published in the Official Journal of the European Union 14.10.2006 L 283/50 http://eur-lex.europa.eu/LexUriServ/LexUriServ.do?uri=OJ:L:2006:283:0050:0051:EN:PDF EUROPEAN UNION DIRECTIVE 2006/66/EC of the European Parliament and of the Council of 6 September 2006 on batteries and accumulators and waste batteries and accumulators and repealing Directive 91/157/EEC (Text with EEA relevance) 26.9.2006 L266/1 http://eur-lex.europa.eu/legal-content/EN/TXT/?uri=CELEX:31991L0157 Chinese regulation GB 18455-2001 “Packaging Recycling Marks” available at http://export.gov/china/doingbizinchina/eg_cn_027472.asp TMP-12509-07 China CMM EPUP Estimate Sheet - Available in Agile through Engineering

Shared Services link for Zebra associates (Internal Zebra Use ONLY) TMP-12509-08 EU Battery Directive Data Collection Form

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TMP-12509-09 China CMM Disclosure Table - Available in Agile through Engineering Shared

Services link for ZEBRA associates (Internal Zebra Use ONLY) TMP-12508-71 CMM CHINA ROHS: ODM SUPPLIER DISCLOSURE SHEET JA-10000-016 JOB AID: CMM CHINA ROHS COMPLIANCE JA-10000-019 JOB AID: MD and EEP creation Training PowerPoint DODD-FRANK WALL STREET REFORM AND CONSUMER PROTECTION ACT of January 5, 2010 (Section 1502). http://www.sec.gov/about/laws/wallstreetreform-cpa.pdf 4.0 DEFINITIONS Article An object which during production is given a special shape, surface or

design which determines its function to a degree than does its chemical composition. This definition is provided by EU Regulation 1907/2006 concerning REACH.

Banned Substances These substances are not allowed for use at any level unless noted as

an exemption in the acceptance criteria. BFR Brominated Flame Retardant CAS Number or CAS (Chemical Abstract Service) Registry Number is a unique

number identifying chemical substances. CE Mark a mandatory conformity mark for products placed on the market within

European Economic Area. With CE marking on the product the manufacturer ensures that the product conforms to the essential requirements of the applicable EU Directives (including EU RoHS).

CFR Chlorinated Flame Retardant CMM China’s Management Methods (CMM) for Controlling Pollution by

Electronic Information Products (Ministry of Information Industry Order #39), and sometimes referred to as “China ROHS.” Phase one of the CMM directive went into effect March 1, 2007. It provides a framework for substance restrictions, pre-market certifications, labeling, and labeling requirements. All in-scope products must include labels indicating the presence of restricted substances and, if toxic substances are present, period of safe usage (EPUP number).

Component Is a combination of homogeneous materials that have been formed into

a single manufactured part.

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Conflict Minerals Minerals mined in conditions of armed conflict and human rights abuses, notably in the Democratic Republic of Congo and the adjoining countries.

Controlled Substance These substances are limited for use in the manufacturing process or in

certain applications at the levels specified in Appendix A. Due Diligence Proof of reasonable steps taken to ensure compliance with applicable

regulations. Environmental CMM term to provide the length in time in years during which toxic and Protection Use hazardous substances or elements contained in electronic information Period (EPUP) products (EIP) will not leak out or cause dangerous exposure to users

of the equipment. The term defines the elimination of serious environmental pollution resulting from normal use as well as serious harm to person or property as a result of such use. It also provides the length of time that the product can be used before it will need to be collected for recycling.

EEP Environmental Exception process EIP Electronic Information Products – Products and accessories thereof

manufactured with electronic information technology, such as: electronic radar products, electronic communications products, broadcast television products, computer products, home-use electronic products, electronic measuring instrument products, electronic products for specific uses, electronic component products, electronic application products, and electronic material products The official list of EIP will be identified in the China RoHS catalogue and/or China RoHS regulations.

Homogeneous A substance or a mixture of substances with uniform composition (such Material as paints, alloys, solders, adhesives, plating, resins, coatings, etc.) that

comprises a product. Material that cannot be mechanically disjointed into different materials respectively. The term “homogeneous” means of “uniform composition throughout.” However, additives used in a polymerization process must be reported if they are identified in the Appendix A of this specification.

Intelligent Compliance Connect Environmental Data Collection tool partly based upon IPC 1752A Class

A Standard. Also known as the ICC form. Intentionally Added The deliberate use in the formulation of a product or subpart where its

continued presence is desired in the final product or subpart to provide a specific characteristic, appearance, or quality. Metal plating is an example of intentional addition. If a listed material or substance is contained in products or subparts purchased by the supplier and are incorporated, such materials/substances must be disclosed if the supplier has knowledge (or with reasonable inquiry should have knowledge) of the presence of such materials or substances. When the material/substance is intentionally added, then it needs to be reported regardless of its content level.

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IPC1752A IPC-1752A “Materials Declaration Management” is a standard generated as guideline for the electrical and electronics industry and their supply chain to share information on materials in their products.

Material A material is made up of one or more substances (e.g. an alloy is material, which in turn is made up of a number of defined substances) Nanomaterial A substance (as defined in Article 3 of the Regulation EC No

1907/2006) intentionally manufactured to a nanometric scale and containing particles in an unbound state or as an aggregate or as an agglomerate and where, for a minimum proportion threshold of the particles in the number size distribution, one or more external dimensions is in the size range of 1 nm – 100 nm.

Nanometer (nm) A unit of length in the metric system equal 1 billionth of a meter. ODS Ozone Depleting Substance PEC Product Environmental Compliance PFOA Perfluorooctanoic Acid PPM Parts per Million (measure of concentration) PPB Parts per Billion (measure of concentration) Product The item that the respondent is supplying and/or designing (e.g.

assembly, subassembly, component, raw material) for a customer. PVC Polyvinyl Chloride Reportable Substances These substances are not currently banned or controlled for use but a

ban or voluntary phase-out is likely or they have an impact on the end-of-life management of the finished product.

Reporting Threshold Concentration level which defines the limit equal to or above which the

presence of a substance or material must be reported. REACH is the European Community Regulation on chemicals and their safe use

(EC 1907/2006). It deals with Registration, Evaluation, Authorization and Restriction of Chemical substances.

RoHS European directive on Restriction of the use of certain Hazardous

Substances in electrical and electronic equipment Subpart A sub-unit of a product Substances Chemical elements and their compounds (e.g., lead is a chemical

element, lead oxide is a compound, polyvinyl chloride is a compound). Registry numbers (RN) of the Chemical Abstracts System of the American Chemical Society (CAS numbers) are attributed to all chemical elements and most of their compounds and should be used for their identification

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Substance Zebra Technologies, Inc. uses parts per million (ppm) to express the Concentration concentration of substances. The formula for parts per million (ppm) is

1,000,000 * mass substance / mass of the homogeneous material. Concentrations are unit-less, for example 100 ppm = 0.01% = 100 mg/kg.

Sub-Tier Supplier Any company selling or providing a material or part that is incorporated

into Zebra Technologies, Inc. products but is not directly sold to Zebra Technologies, Inc.

Supplier The Company selling or providing a material part, or assembly to

Zebra Technologies, Inc. that Zebra Technologies, Inc. intends to use in its products. Supplier, tier 1 supplier, and vendor are used interchangeably.

SVHC Substances of Very High Concern as defined in the REACH regulation;

see the current list on the ECHA website: http://echa.europa.eu/chem_data/authorisation_process/candidate_list_table_en.asp

Threshold level Concentration level which defines the limit (equal to or) above which

the presence of a substance or material in a product or subpart must be declared

WEEE European directive for Waste Electrical and Electronic Equipment

5.0 RESPONSIBILITIES

5.1 Zebra Technologies Responsibilities

5.1.1 It is the responsibility of engineering and other personnel who prepare component, assembly specifications and engineering drawings to ensure appropriate reference to this specification SP-12509-01 (without revision) appears on all prints for Zebra Technologies items.

5.1.2 This document is maintained and controlled by Procedural Document control (SP-10020-01, Rev. S or higher).

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5.1.3 The Product Environmental Compliance (PEC) team is responsible for maintaining this document.

5.2 Supplier Responsibilities

5.2.1 Comply with all requirements listed in this specification for all parts, products and assemblies sold to Zebra Technologies, Inc. including providing Full Material Disclosure in ICC form.

5.2.2 Report Controlled and Reportable substances using the Intelligent Compliance Connect form

5.2.3 Material content data reported should be the worst case if more than one bill of material or production operation exists. Ensure substances are not over the acceptable threshold as outlined in Appendix A

5.2.4 Cascade the requirements in this specification to their sub-tier suppliers. Sub-tier supplier data input is a must for complete material and substance data determination.

5.2.5 Supplier agrees to notify Zebra Technologies, Inc. of any changes to the product that could affect compliance and/or material or substance make of the part as required under Zebra Technologies, Inc. PCN process, including the use of nanomaterials.

6.0 PROCESS

6.1 Restrictions and Requirements for Substances Zebra Technologies, Inc. requires all parts to meet the acceptance criteria as outlined in this specification unless granted a formal waiver as defined in internal exception policies (e.g. - for some spare and replacement parts, customer specification required parts, specific markets, etc). This applies to parts that reference this specification and the corresponding acceptance criteria of this specification.

6.2 Reporting Requirements

Zebra Technologies requires full substance disclosures using the Intelligent Compliance Connect (ICC) form. Full substance disclosure is necessary to meet with Zebra’s customer requirements as well as prepare for current and future global environmental compliance requirements. Zebra reserves the right to reject data and declarations that are not submitted using the Intelligent Compliance Connect form. When using this form, the supplier shall report all Controlled and Reportable Substances with concentrations in excess of the acceptance thresholds noted in Appendix A as contained within each homogenous material. The supplier shall report 100% of all homogeneous materials that are in the part or assembly. When reporting the composition of homogenous materials, the use of “MISC” (Miscellaneous) may be used for a substance only when appropriate. Reporting “MISC” at a material level is not acceptable. “MISC” claimed for a substance within a homogenous material cannot exceed 10% (by weight) of the homogeneous material, and may not be used to report any substances listed in this specification. The “MISC” form must be signed by the original manufacturer of the part/material and can be re-used when the same

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homogenous material is used over several products. (e.g. Adhesive) In cases when the original manufacturer refuses to sign the “MISC IP” form then Zebra Technologies will accept form signed by the supplier providing the part/product to Zebra Technologies.

The use of nanomaterials should be indicated in the comment section on the General Information Tab on the ICC form.

Exception to ICC FMD is approved on rare case-by-case basis. The Zebra associate has to initiate Environmental Exception Process (EEP) request in Agile system which, if approved, will allow acceptance of a partial disclosure from the supplier. The EEP creation process is covered under document JA-10000-019

6.3 Analytical Testing Where the measurement of materials content is needed to verify compliance, or when specifically requested by Zebra Technologies, the supplier will use a qualified lab to perform any required chemical testing. For testing, the materials must be in a homogeneous state or a component processed into a homogeneous state. For this purpose, a homogeneous material is a substance or a mixture of substances with uniform composition (such as paints, alloys, solders, adhesives, plating, resins, coatings, etc. that comprise the product). A component is a combination of homogeneous materials that have been formed into a single manufactured part. For example, in the case of a screw whose plating contains hexavalent chromium, the RoHS concentration is the weight of hexavalent chromium in the plating divided by the weight of the plating. It is not the weight of hexavalent chromium divided by the weight of the screw.

6.4 Test Methodologies

Recognized sample preparations and test standards must be used. A representative list of test methods is attached (Table 1) as a reference. Sample size and number of units tested must adhere to the standard applied. Test reports must be kept on file and made available on request.

6.5 Additional Restrictions and Requirements for Substances

Zebra Technologies has committed to a timeline for phasing out Polyvinyl Chloride (PVC) in our new products (EXTERNAL cables) beginning Jan. 1, 2012.

Zebra Technologies currently prohibits PBB and PBDE (including Deca-, Octa-, and Penta-) in any applications.

Zebra Technologies encourages voluntarily reducing the use of BFR(s), CFR(s) in amounts of more than 1000 PPM by weight (0.1%) of bromine, if the bromine source is from BFR, with identical limit for chlorine, if chlorine source is from CFR, PVC, or PVC copolymers when it makes technological and economical sense.

Zebra Technologies prohibits PVC in amounts of more than 1000 PPM by weight (0.1%) in all EXTERNAL wires, cables, and cords.

Zebra Technologies will also prohibit in July 2014 use of PFOA and the following Phthalates: DIBP, DBP, DEHP, and BBP.

Zebra Technologies will prohibit use of HBCDD, TCEP, 2,4-DNT, Trichloroethylene, Magnesium perchlorate and Lithium perchlorate starting 2015.

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6.6 China Management Methods (CMM) The China Management Methods regulation currently has the same threshold limits for the same six substances (lead, mercury, cadmium, hexavalent chrome, polybrominated biphenyl {PBB}, and polybrominated diphenylether {PBDE}) as the EU RoHS directive. All products and packaging used with the products placed on the market in China must be in compliance with the labeling and information disclosure provisions of the CMM regulation. Further instructions to meet CMM requirements are covered under guide JA-10000-016.

6.6.1 Information Disclosure Requirements 6.6.1.1 A product “stuffer sheet” will be developed by Zebra based upon information received

(Table 3) from the supplier Zebra will review and approve the data (in both English and Chinese) received from the supplier and assign a part number to the stuffer sheet. The approved master for the stuffer sheet will be provided to the supplier by Zebra. The supplier will be responsible for printing and placing the stuffer sheet inside of primary packaging of all sellable products.

6.6.1.2 The supplier of the sellable product is required to provide photographic evidence of both

product label marking and packaging (primary and secondary) marking to the Zebra Technologies Program Manager assigned to that product. The Zebra Technologies Program Manager will be responsible for coordinating the entry of data into Agile. They shall contact the Supplier Quality team to schedule audits when necessary.

6.6.2 Marking and Labeling Requirements

All products are required to be appropriately marked and written disclosure must be made of the components within the product that contain any substances that can be considered to fall under any of the six CMM substance classes. It is required that the product be labeled with either a Compliant (e with chasing arrows – figure 1) or Non-compliant (EPUP number with chasing arrows – figure 2) logo. The logo shall be placed on the product label. Only if there is insufficient room on the product label will marking be allowed on the product itself or product literature. In either case, Zebra Technologies requires that the supplier provide a sample product label and/or photograph for review and approval prior to manufacturing. Please note any labels placed on the product shall be constructed to ensure that they last for the duration of the product life cycle (including EPUP). There are three marking requirements under CMM:

1. Environmental Protection Use Period (EPUP) marking/label –compliant product (Figure 1) or non-compliant product (Figure 2) 2. Hazardous Material and Contents mark/label 3. Packaging Materials mark/label

6.6.2.1 All electronic information products for sale in the People’s Republic of China shall be

marked with the electronic information product pollution control symbol (Figure 1 or Figure 2) on the product label. Note: the minimum size of the label (Figure 1 or 2) is 5mm x 5mm. All product labels shall demonstrate that they will be able to last through the product life cycle and be approved by Zebra Technologies (Regulatory Engineering). If the EPUP logo cannot be placed on the product itself due to size constraints then it shall be placed on outside product packaging where it is easily visible.

Figure 1 shall be green (or any other contrasting) color and will be used for products that meet the threshold limits for homogeneous materials.

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Figure 1 Pollution Control Marking

Product does not contain any of the six CMM Substances Figure 2 shall be orange in color (or any eye-catching color in order to be clearly visible on the product) and will be used to label product that contains toxic and hazardous substances above the allowable levels. A number within the arrows shall be used to designate the number of years of the Environmental Protection Use Period (EPUP). The determination of this period is made by individual companies, using broad principles enunciated by the Chinese government. Zebra will review all EPUP numbers submitted by suppliers. In most cases Zebra program and/or product managers will work with suppliers to develop the EPUP numbers.

Figure 2 Pollution Control Marking Product or component does contain one or more of the six CMM Substances

It is required that the EPUP mark shall be placed on the product label. Only if there is not enough room on the label shall the EPUP mark be placed on the product with approval of Product Environmental Compliance Manager. When placed on the product, the EPUP label shall be clear for recognition, easily visible, resistant to color fading, and difficult to remove. If it is impossible to place the mark directly on the product label due to limit of space then a product stuffer sheet will be used instead.

6.6.2.2 When Figure 2 is used it will also be required to provide a Table (Table 2 is an example, Table 3 is a template for use) that includes the names and contents of the toxic and hazardous substances in the Zebra product. This “tic-tac-toe” table is required to be completed by suppliers for all independent sellable items (i.e. whole unit accessories, batteries, cables, power supplies, etc.) that exceed the CMM threshold values including those parts/products with current EU RoHS exemptions. The table and marking/labeling will be required to be written in Chinese. Both the English and Chinese version of the table will be required to be submitted to Zebra’s Regulatory Engineering department for review and approval.

Note: All suppliers and JDM/ODM(s) that are required to mark the product/part number with either the EPUP or Compliant e label shall provide an initial sample for approval to the Zebra Program Manager. The sample shall be either in the form of the product label, the actual product and/or a digital photo.

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For electronic information products purchased for use as components in production, the supplier does not need to provide marking on the product but must provide Zebra with all the information needed for marking.

6.6.2.3 All associated packaging of EIP must not contain any of the CMM hazardous

substances and must be marked. The markings on the packaging must comply with Chinese regulation GB 18455-2001 “Packaging Recycling Marks” and Zebra Packaging specification Document No. 50-04100-013 (Revision V or later) “Inbound Packaging and Labeling Standard” available through the Zebra Procurement Department.

7.0 ADDITIONAL REQUIREMENTS FOR BATTERIES All battery suppliers/manufacturers are required to complete the Intelligent Compliance Connect form to provide Full Material Disclosure information on chemical substances that are present in the batteries that they supply to Zebra Technologies. In addition, suppliers must also provide the following documentation:

1) Information regarding compliance to the EU Directive 2006/66/EC on batteries and accumulators and waste batteries and accumulators is requested in a separate Excel form (TMP-12509-08). Tests performed to obtain the requested information must be sufficiently sensitive to detect percentages by pack weight of 0.0005% for Mercury, 0.002% for Cadmium, and 0.004% for Lead.

2) A Material or Safety Data Sheet (MSDS or SDS) or equivalent in pdf format for cells

housed within the battery pack. Technical Data Sheets or Battery Specifications are not acceptable as an alternative document to the MSDS or SDS.

3) Battery testing (i.e. UN test protocol 38.3 for lithium ion batteries) is also required to be

completed and submitted.

4) A No Mercury Certificate which will include the battery pack supplier’s name, the battery pack part number and the supplier’s claim to the presence or lack thereof of Mercury within the battery pack.

7.1 Labeling Requirements for the European Union and other jurisdictions, including Brazil, Croatia, Ukraine and Turkey

Suppliers shall ensure that all batteries and battery packs shall be appropriately marked with the Crossed-out Wheelie Bin symbol shown below.

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Figure 3 Crossed-Out Wheelie Bin Symbol This symbol shall cover at least 3% of the area of the largest side of the battery, accumulator or battery pack, up to a maximum size of 5 x 5 cm. In the case of cylindrical cells, the symbol shall cover at least 1.5% of the surface area of the battery or accumulator and shall have a maximum size of 5 x 5 cm. Where the size of the battery, accumulator or battery pack is such that the symbol would be smaller than 0.5 x 0.5 cm, the battery, accumulator or battery pack need not be marked but a symbol measuring at least 1 x 1 cm shall be printed on the packaging. Labels shall be printed visibly, legibly and indelibly.

Batteries, accumulators and button cells containing more than 0.0005% mercury, more than 0.002% cadmium or more than 0.004% lead, shall be marked with the chemical symbol for the metal concerned: Hg, Cd or Pb. The symbol indicating metal content shall be printed beneath the Crossed out Wheeled Bin logo (as shown below) and shall cover an area of at least one-quarter the size of the Crossed out Wheeled Bin.

7.2 Labeling Requirements for the United States

The Mercury-Containing & Rechargeable Battery Management Act (Public Law 104-142) establishes national, uniform labeling requirements for rechargeable Ni-Cd, small sealed lead acid batteries, and products containing these regulated batteries as a primary energy supply. Products that include an internal uninterrupted power supply (UPS) device are exempt. Regulated batteries must display three chasing arrows or a comparable recycling logo and the text indicated in the Table 1 below for the respective regulated items. No size or color requirements for the recycling logo are specified in the regulation. EPA publication

or

Examples:

or or oror

Examples:

or or or

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EPA530-K-97-009, “Implementation of the Mercury-Containing and Rechargeable Battery Management Act” depicts the three chasing arrows logo. Label must be clear, visible and legible.

Figure 4 US Battery Marking Requirement - Symbol

Table 1 US Battery Marking Requirements-Text

Battery Type Required Labeling

Nickel-cadmium batteries

“Nickel-cadmium” or “Ni-Cd,” with the phrase “BATTERY MUST BE RECYCLED OR DISPOSED OF PROPERLY.”

Lead-acid batteries “Pb” or with the words “LEAD,” “RETURN,” and “RECYCLE” and, if the regulated batteries are sealed, the phrase “BATTERY MUST BE RECYCLED.”

8.0 ADDITIONAL REQUIREMENTS FOR PRODUCT COLLATERALS This section applies to all manuals and printed collaterals in outbound products shipped by Zebra and/or used at the point-of-sale. It does not include manuals which are provided only in electronic form. All manuals and printed materials that have been assigned a part number shall have a Full Material Disclosure processed in Agile and conform to the Controlled and Reportable substances as outlined in Appendix A of this specification. All printed materials shall conform to applicable legal requirements of their intended destination market(s). All printed materials shall be recyclable and must include the appropriate recycle mark, as shown in Figure 5. The mark used to denote that the material can be recycled (recyclability) consists of three filled chasing arrows.

Figure 5 Recycling symbol used to indicate “recyclability” of a material

The recycling mark shall be printed in a location visible without opening the document and shall be readily legible, not smaller than 5mm by 5mm.

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All printed materials must use standard, four-color (CMYK) inks which are more than 20% vegetable-based and have less than 20% VOC emissions. The following “Green Design Guidelines” shall be considered during the design of all printed materials: 1) The use of optimum ISO trim sizes (e.g. A6 & A7). This maximizes the use of production paper sizes and reduces the amount of wasted paper in the printing process. 2) Use of the smallest page size possible. Small sizes reduce paper usage, packaging sizes, and associated freight costs. 3) Strategic reduction of page counts year over year, reducing paper and natural resource requirements. Ensure there is no redundant content between printed in-box materials -consider delivery of content through alternate venues (i.e. directly in the device and online) 4) Use standardized global print spec standards, including: Using lower basis weight papers, which require less fiber and therefore use fewer natural resources. -Ensuring no extra spot colors or varnishes, die cuts, embossing, engraving, foils, textures, or hot stamps. 5) Use of vegetable-based inks and standard four-color CMYK printing processes. 6) Optimize production environment equipment for a single pass whenever possible (presses and bindery) to reduce energy consumption. 7) Use of print-on-demand technologies where print runs are less than 2000 units to avoid and reduce the amount of scrapped materials. 8) Minimize usage of non-paper materials in manuals and printed collateral

9.0 Records As waste electrical and electronic equipment can be considered hazardous waste the records to ensure environmental compliance shall be maintained for at least 5 years after the part’s end-of-life. The records will be retained in accordance with ED094477 (http://compass.mot.com/web/enterprisemobilityquality/ISO%209001) Electronic records (components, BOM, and related records) are also maintained in accordance with the Records Management Policy, EHS_PR02015 (can be found at http://compass.mot.com/doc/208557349/EHS_PRO2015_Issue_B.doc ) (Internal use only)

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APPENDICES: i.e. Tables, Flowcharts, Diagrams, etc.

Table1 Representative Test Methodologies Table2 Names and Contents of the Toxic and Hazardous Substances or Elements (Example table) – China RoHS Table3 Names and Contents of the Toxic and Hazardous Substances or Elements

(Blank table for use and return to Zebra Technologies by Supplier/Manufacturer) –

CMM – needs to be completed in two separate forms the English and the second in Chinese languages.

Appendix A: Global Acceptance Criteria

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Table1 Representative Test Methodologies (for reference)

Substance Class

Materials Method of Verification

(Methodology selection should be based on the testing of

Homogeneous Materials)

Standard Reference

Cadmium compounds Lead compounds

Plastic, rubber, paints, inks

1. XRF 2. AAS 3. ICP-AES

Sample preparation: EN1122:2001 Analytical method: ISO 3856-4:1984 ISO 11885:1996

Lead/Lead Alloys

Metal

1. XRF 2. ICP-AES

Mercury Compounds

Plastic, rubber, paints, inks

3. XRF 4. CV-AAS with vapor hydride

generation apparatus 5. CV-AAS with thermal

decomposition and/or gold-amalgamation

6. ICP-AES with vapor hydride generation apparatus

Sample preparation: EN13346 Analytical method: EN12338

Mercury

Metal

7. XRF 8. CV-AAS with thermal

decomposition for analyzing Mercury content in fluorescent Tubes

Hexavalent Chromium compounds

Metal

9. XRF – Should more than

1000pmm of Chromium be detected, differentiate between Tri and Hexa valences with the methods below:

10. Derivatization with Diphenylcarbazide followed by UV/VIS spectroscopy at 540nm

11. Grinding and measuring the water extract with ICP-AES (method not verified).

ISO 3613:2000 Dip test: ZVO-0102-QUA-02 UV/VIS method: ZVO-0101-UV-05 EPA 3060A/7196A

Polybrominated biphenyls (PBB) Polybrominated Diphenyl ethers (PBDE)

Plastics, rubber and composites

12. XRF – Should more than 600ppm of Bromine be detected, differentiate between Br compounds with the methods below:

13. For identification of PBB and PBDE: GC/MS (HRGC/MS)

14. HPLC (High Performance Liquid Chromatography)

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Table 2 CMM Marking Format for the Names and Contents of the Toxic and Hazardous

Substances or Elements in the Products (for example only) Note: TMP-12509-09 CMM Disclosure Table will be used as the stuffer sheet with our products. The table is required to be in Chinese, it is displayed in English as part of this example. The table below is for example only.

Names and Contents of the Toxic and Hazardous Substances or Elements in the Products

Product Name

____________________

Toxic and Hazardous Substances or Elements

Component with toxic and hazardous substances ZEBRA Part No./Name

Pb (Lead)

Hg (Mercury

)

Cd (Cadmium)

Cr(VI) (Hexavalent

Chrome)

PBB (Polybrominated biphenyl)

PBDE (Polybrominated diphenyl

ether)

Connector 3 Pin Pogo X 0 0 0 0 0 Connector 4 Pin Pogo X 0 0 0 0 0 Battery X 0 0 0 0 0 Marlin Radio Module X 0 0 0 0 0 Canopy PCB X 0 0 0 0 0 Optical Band pass Filter 0 0 X 0 0 0

0: Indicates that the content of the toxic and hazardous substance in all the homogenous materials of the part is below the concentration limit requirement for RoHS compliance. X: Indicates that the content of the toxic and hazardous substance in at least one homogeneous material of the part exceeds the concentration limit requirement for RoHS compliance Use the space below to further explain the technical reasons for the “x” indicated portion in the table in accordance with the actual situations. Connector 3 Pin Pogo – ZEBRA PN __________________ has lead in _______________ Connector 4 Pin Pogo – ZEBRA PN __________________has lead in _______________ Battery – ZEBRA PN __________________has lead in ________________ Marlin Radio Module – ZEBRA PN __________________has lead in _________________ Canopy PCB – ZEBRA PN __________________has lead in __________________ Optical Band-pass Filter – ZEBRA PN ________________ has cadmium in _____________

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Table 3 CMM Marking Format for the Names and Contents of the Toxic and Hazardous Substances or Elements in the Products (for use by supplier) – TMP-12508-71

Note: The table below shall be completed in English and submitted to PEC team for review and approval.

Names and Contents of the Toxic and Hazardous Substances or Elements in the Products

Product Name

____________________

Toxic and Hazardous Substances or Elements

Component with toxic and hazardous substances ZEBRA Part No./Name

Pb (Lead)

Hg (Mercury)

Cd (Cadmium)

Cr(VI) (Hexavale

nt Chrome)

PBB (Polybrominated biphenyl)

PBDE (Polybrominated diphenyl

ether)

O: Indicates that the content of the toxic and hazardous substance in all the homogenous materials of the part is below the concentration limit requirement for RoHS compliance. X: Indicates that the content of the toxic and hazardous substance in at least one homogeneous material of the part exceeds the concentration limit requirement for RoHS compliance Use the space below to further explain the technical reasons for the “x” indicated portion in the table in accordance with the actual situations. Name ZEBRA P/N Reason for toxic substance in part ___________________ __________ _____________________________________________ ___________________ __________ _____________________________________________ ___________________ __________ _____________________________________________ ___________________ __________ _____________________________________________ ___________________ __________ _____________________________________________ ___________________ __________ _____________________________________________ ___________________ __________ _____________________________________________ ___________________ __________ _____________________________________________

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Appendix A: Global Acceptance Criteria

The following substances that are listed cannot exceed the specified limit except where exemptions are noted:

Substances Zebra

Technologies, Inc. Category

Acceptance Threshold (ppm at a

homogenous level unless otherwise indicated)

Reference

Asbestos, asbestos compounds Banned - EU Directive 76/769/EEC

Chlorofluorocarbons and halons (Class I and II Ozone Depleting Chemicals) [1]

Banned -

EU Directive 76/769/EEC

The Montreal Protocol

on Substances that Deplete the Ozone

Layer

And others

Dimethylfumerate Banned - EU Directive 2009/251/EC

Halogenated dioxins and furans Banned - German

Regulation

Hydrofluorocarbons (HFCs), Perfluorocarbons (PFCs), and Sulfur Hexafluoride (SF6)

Banned -

EU Directive 842/2006/EC

Austrian Regulation BGBl. II No 447/2002

Phenol, 2-(2H-benzotriazol-2-yl)-4,6-bis(1,1-imethylethyl)- Banned -

Japanese law - Article 13 of the Law

concerning the Evaluation of

Chemical Substances and Regulation of their Manufacture,

etc.

Polychlorobiphenyls and derivatives (PCBs) Banned -

EU Directive 76/769/EEC

Canadian regulation

SOR/2008-273

And others

Polychloroterphenyls and derivatives (PCTs) Banned - EU Directive 76/769/EEC

2,4-Dinitrotoluene Controlled 1000 EU regulation 2006/1907/EU

(REACH)

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Azo Dyes in leathers and textiles Controlled 30 EU Directive 2002/61/EC

Arsenic and arsenic compounds in wood products as a preservative

Controlled [4] EU Directive [2003/2/EC]

Ethylene Glycol Monomethyl Ether and its acetate [1] Controlled 5

California Safe Drinking Water

and Toxic Enforcement Act

(Prop 65)

Ethylene Glycol Monoethyl Ether and its acetate [1] Controlled 5

California Safe Drinking Water

and Toxic Enforcement Act

(Prop 65)

Cadmium and cadmium compounds Controlled 99

EU Directive 2011/65/EU

(ROHS) EU regulation 2011/494/EU

(REACH Annex XVII)

Cadmium, Chromium (VI), Lead and Mercury metals and compounds in packaging

Controlled

sum of listed metals not to exceed 100

ppm based on total package

weight

EU Regulation 94/62/EC; various US

states

Cadmium and cadmium compounds in “portable” batteries Controlled 20 ppm of the total battery cell weight.

EU Regulation 2006/66/EC

Chromium (VI) compounds Controlled 1000

EU Directive 2011/65/EU

(ROHS)

Chromium (VI) compounds in leather and textiles Controlled 3

Germany - § 30 of the Food and

Commodities Law (LMBG)

CI Pigment Red 104, CI Pigment yellow 34 Controlled 1000 EU regulation 2006/1907/EU

(REACH)

Cobalt Dichloride Controlled 100 EU Regulation 1272/2008/EC

Diarsenic Trioxide, Diarsenic Pentaoxide Controlled 1000 EU regulation 2006/1907/EU

(REACH)

Diisobutyl Phthalate (DIBP), Dibutyl Phthalate (DBP), Benzyl Butyl Phthalate (BBP), Bis(2-ethylhexyl) Phthalate (DEHP)

Controlled 1000

EU regulation 2006/1907/EU (REACH) and expected to be added in EU

Directive 2011/65/EU

(ROHS)

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Formaldehyde Controlled 1000

Lithuanian Hygiene Norm HN 96:2000;

Austria - BGB I 1990/194:

Formaldehydve rordnung, §2,

12/2/1990; Title 17 California Code of

Regulations §§ 93120-93120.12; etc

Hexabromocyclododecane (HBCDD) and all major diastereoisomers identified: Alpha-hexabromocyclododecane Beta-hexabromocyclododecane

Controlled 1000 EU regulation 2006/1907/EU

(REACH)

Lead and lead compounds Controlled 1000 EU Directive 2011/65/EU

(ROHS)

Lead Chromate Controlled 1000 EU regulation 2006/1907/EU

(REACH)

Lead in cable jackets [2, 3] Controlled 300

California Safe Drinking Water

and Toxic Enforcement Act

(Prop 65)

Mercury and mercury compounds [2] Controlled 1000

Swiss Ordinance on Reduction of Risk from

Chemical Products, Various US states

Mercury and mercury compounds in batteries [2] Controlled 5 ppm of the total battery cell weight

EU Regulation 2006/66/EC

MDA (4,4’-Diaminodiphenylmethane) Controlled 1000 EU regulation 2006/1907/EU

(REACH)

Musk xylene Controlled 1000 EU regulation 2006/1907/EU

(REACH)

Nickel and nickel compounds [5] Controlled 100 Zebra

Technologies, Inc. Initiative

Polybrominated biphenyls (PBBs) Controlled 1000

Canada Regulation, EU

Directive 2011/65/EU

(ROHS)

Polybrominated diphenyl ethers (PBDEs) Controlled 1000

EU Directive 2011/65/EU

(ROHS) ; Illinois, USA

Perchlorates-Lithium Perchlorate, Magnesium Perchlorate, Zinc Perclorate [9]

Controlled 6ppb California Perchlorate

Contamination Prevention Act

Perfluoro alkyl sulfonates (PFAS), and derivatives (including PFOS)

Controlled 100 EU Directive 2006/122/EC

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Perfluorooctanoic Acids Controlled 1000

Law on the Control of

Products and Consumer Services (Norway)

Poly Vinyl Chloride (PVC) vinyl chloride monomer in External Cables [6]

Controlled 1000 Zebra

Technologies, Inc. Initiative

Certain short and medium chained chlorinated paraffins Controlled 1000

Norway Product Regulations FOR-2004-

06-01-922/ Swiss Ordinance on

Reduction of Risk from Chemical Products EU Directive 2013/126/EC

Tin compounds:Tributyl Tin Oxide (TBTO),Tributyl Tin (TBT), Triphenyl Tin (TPT), Dibutyl Tin (DBT), Dioctyl Tin (DOT) [7]

Controlled 1000 EU Directive 2009/425/EC

Trichloroethylene Controlled 1000 EU regulation 2006/1907/EU

(REACH)

Tris(2-chloroethyl)phosphate Controlled 1000 EU regulation 2006/1907/EU

(REACH)

1. Substances restricted in parts, products and manufacturing operations of the Zebra Technologies, Inc. supplier.

2. Substance may not be intentionally added.

3. The concentration basis is based on the weight of the external cable jacket not including any conductors, sheathed conductors or ground jackets.

4. Banned in packaging and as a fumigation technique for wood pallets and other wood packaging (includes methyl bromide).

5. Controlled in surface preparations of products and parts intended to come into direct and prolonged contact with the skin. Such products and parts must be evaluated by a materials testing laboratory in accordance with EN1811:1999 to validate that the Nickel ion release rate is < 0.5 µg/cm²/week. A supplier must provide a declaration of compliance with this standard along with their material disclosure for affected products and parts. If the Nickel reported will not come into direct and prolonged contact with the skin, the supplier must add the following comment to the Remarks column: “Nickel will not come into direct or prolonged contact with the skin.”For all parts qualified after January 1, 2012

6. Substance shall not be greater than the equivalent of 0.1 % by weight of tin.

Exemptions to Global Compliance Acceptance Criteria:

1. Mercury in lamps per a current ROHS exemption.

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2. Lead in glass of cathode ray tubes, and fluorescent tubes not exceeding 0.2% by weight.

3. Lead as an alloying element in steel containing up to 0.35 % lead by weight, aluminum containing up to 0.4 % lead by weight, and copper containing up to 4 % lead by weight.

4. Lead in:

a. Filter glasses and glasses used for reflectance standards.

b. White glasses used for optical applications.

c. High melting temperature type solders (i.e. lead-based alloys containing 85 % by weight or more lead).

d. Lead in solders for servers, storage and storage array systems, network infrastructure equipment for switching, signaling, transmission as well as network management for telecommunications.

e. Electrical and electronic components containing lead in a glass or ceramic other than dielectric ceramic in capacitors, e.g. piezoelectronic devices, or in a glass or ceramic matrix compound

f. Lead in dielectric ceramic in capacitors for a rated voltage of 125V AC or 250V DC or higher

g. Lead in PZT based dielectric ceramic materials for capacitors being part of integrated circuits or discrete semiconductors’

5. Lead in solders to complete a viable electrical connection between semiconductor die and carrier within integrated circuit Flip Chip packages.

6. Lead in all batteries and cadmium in industrial, professional and automotive batteries

7. Cadmium and its compounds in electrical contacts

8. Cadmium in filter glass and glasses used for reflectance standards

9. Lithium perchlorate in coin cell batteries rated over 10mAh is allowed; this regulation also requires labeling of the end product