cm-reporting 0.6.2 → 0.6.4
This diff represents the content of publicly available package versions that have been released to one of the supported registries. The information contained in this diff is provided for informational purposes only and reflects changes between package versions as they appear in their respective public registries.
- package/dist/index.cjs +14 -14
- package/dist/index.cjs.map +1 -1
- package/dist/index.d.ts +1 -1
- package/dist/index.js +2065 -1990
- package/dist/index.js.map +1 -1
- package/package.json +1 -1
package/dist/index.d.ts
CHANGED
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@@ -832,7 +832,7 @@ declare const _default: {
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"B. This is a declaration to disclose whether a company’s responsible minerals sourcing policy is available on the company website. The answer to this question shall be \"yes\" or \"no.\" If \"Yes\" the user shall specify the URL in a question comment field. \n\nThis question is mandatory.",
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"C. This is a declaration to determine whether a company requires their direct suppliers to source 3TG from validated smelters. The answer to this question shall be \"yes\" or \"no.\" Comments should be captured in a question comment field.\n\nThis question is mandatory.",
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"D. Please answer \"yes\" or \"no\" to disclose whether your company has implemented responsible sourcing due diligence measures. This declaration is not intended to provide the details of a company’s due diligence measures - just that a company has implemented due diligence measures. The aspects of acceptable due diligence measures shall be determined by the requestor and supplier.\n\nExamples of due diligence measures may include: communicating and incorporating into contracts (where possible) your expectations to suppliers on responsible mineral supply chain; identifying and assessing risks in the supply chain; designing and implementing a strategy to respond to identified risks; verifying your direct supplier’s compliance to its responsible minerals sourcing policy, etc. These due diligence measure examples are consistent with the guidelines included in the internationally recognized OECD Guidance.\n\nThis question is mandatory.",
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"E. This is a question to disclose whether a company requests their supplier to fill out a conflict minerals declaration. Acceptable answers are listed below, in certain cases further explanation may be required, i.e., to provide the format used for collecting information. If the answer is \"Yes,\" using other format the user
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"E. This is a question to disclose whether a company requests their supplier to fill out a conflict minerals declaration. Acceptable answers are listed below, in certain cases further explanation may be required, i.e., to provide the format used for collecting information. If the answer is \"Yes,\" using other format the user may provide a comment in a question comment field. Permissible responses to this question are:\n\n- Yes, in conformance with IPC-1755 [e.g., CMRT]\n- Yes, using other format (describe)\n- No\n\nThis question is mandatory.",
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"F. Please answer “Yes” or “No”. In the comments section, you can provide additional information on your approach. Examples could be:\n\n “3rd party audit” - on-site audits of your suppliers conducted by independent third parties. \n “Documentation review only” - a reviewof supplier submitted records and documentation conducted by independent third parties and, or your company personnel. \n “Internal audit” - on-site audits of your suppliers conducted by your company personnel.\n\nThis question is mandatory.",
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"G. This is a question to disclose whether a company’s review process includes corrective action management. The answer to this question shall be \"yes\" or \"no.\" Comments shall be captured in a question comment field. \n\nThis question is mandatory.",
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"H. This is a question to disclose whether a company is subject to the SEC rule, the EU regulation, or both. The answer to this question shall be \"yes, with the SEC\", \"yes, with the EU\", \"yes with the SEC and the EU\" or \"no.\" Comments shall be captured in a question comment field. This question is mandatory. For more information on the SEC rule, please refer to www.sec.gov. For more information on the EU regulation, please refer to https://eur-lex.europa.eu/legal-content/EN/TXT/PDF/?uri=CELEX:32017R0821&from=EN.",
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