TWC Group, hereby, declares that we do not knowingly use any of ten substances [Cd, Pb, Hg, Cr (VI), PBBs, and PBDEs, DEHP, BBP, DPB, DIPB] listed in Annex II of Directive 2011/65/EU (a.k.a. RoHS2) and Directive 2000/53/EC (a.k.a. ELV) and their subsequent amendments.
We also do not intentional add any substance that is officially included into the Candidate list of Substance of Very High Concern (SVHC) known to date, and the above products also do not classify as SVHC or subject to authorization procedure. Furthermore, the concentrations of aforementioned RoHS, ELV, and SVHC substances, if present as residual, do not exceed 0.1% (w/w) (or 0.01%(w/w) for Cd) in our products. The latest list of SVHC substances officially included by ECHA can be found on: http://echa.europa.eu/candidate-list-table.
Major of our products are categorised as Polymer. Polymers are exempted from the provisions on registration of Title II of REACH, Article 2(9). The manufacturer or importer of a polymer is therefore generally not required to provide to the Agency any information related to the intrinsic properties of the polymer itself, with the exception of its classification and labeling when applicable.
Abhishek K Agarwal
Executive Director & CEO