Israel
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000-30668
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98-0601172
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(State or other jurisdiction
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(Commission File Number)
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(IRS Employer Identification No.)
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of incorporation or organization)
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1.
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Purchases directly from the Democratic Republic of the Congo ("DRC")
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a.
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We have reviewed all raw material purchases and verified that no purchasing of Minerals as raw materials is done directly from the DRC or adjoining countries.
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b.
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We have reviewed the Company's entire supplier base and verified that no purchasing of any part or sub-assembly used in our systems is done directly from the DRC or adjoining countries.
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c.
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We have established an internal policy which requires the approval of two senior Company executives (the Chief Financial Officer and Vice President of Operations) for any purchases of raw materials, parts or sub-assemblies directly from the DRC or adjoining countries.
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2.
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Purchase of Minerals as raw materials
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a.
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In addition to 1.a, above, we have reviewed the systems that we assemble in order to identify cases in which we buy the Minerals directly from a supplier as raw materials. Through this review, we identified one relevant case in which we purchase a Mineral (in this case, tin) directly from a supplier. The total value of our purchases of tin in the last five years (2009-2013) was less than $100 (indeed, in fiscal year 2013, we did not purchase any tin as a raw material).
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b.
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We have created a designated serial number for such tin purchases in order to fully control the purchase of such tin and to ensure that such purchases are made through a certified and designated supplier.
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c.
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We have qualified a designated supplier for the tin by receiving a declaration from this supplier according to which the tin we receive did not originate in the DRC or adjoining countries.
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d.
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We expect the amount of tin we purchase in the next three years to be less than $100.
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3.
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Purchase of parts and sub-assemblies which may contain the Minerals
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a.
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In addition to 1.b, above, we have modified the Company's computerized purchase order system for purchasing parts and sub-assemblies, as follows: For each purchase order, which is required to be accepted electronically by the relevant supplier, we receive an acknowledgement that the supplier's products do not contain any Minerals that originated in the DRC or an adjoining country. As part of this process, each supplier also acknowledges that, upon request, such supplier shall provide Nova with (i) evidence that the parts or sub-assemblies that it supplies to Nova do not contain Minerals that originated in the DRC or an adjoining country, and, without limitation, (ii) country of origin information for such products. If Nova suspects that a part or sub-assembly contains Minerals that originated in the DRC or an adjoining country, Nova reserves the right to immediately terminate the purchase order and cease all procurement activity with the supplier.
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b.
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The suppliers that are being asked to acknowledge the purchase order terms and conditions are substantially the same suppliers which the Company has worked with in previous fiscal years.
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4.
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Training and Monitoring
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a.
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We have performed training for relevant purchasing employees and the relevant Company vice president regarding the requirements of Section 1502 of the Act, and regulations promulgated thereunder, including regarding the measures and policies, as discussed above, which were adopted by the Company to ensure that no Minerals used in our systems originate from the DRC or adjoining countries. The training, which will be updated and renewed periodically as necessary, includes emphasis on the Company's policy that the purchase of any raw materials, parts or sub-systems from the DRC or adjoining countries is permitted only following the approval in writing of the Company's Chief Financial Officer and Vice President of Operations.
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b.
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We have assembled a designated committee, which includes the Company's secretary, Chief Financial Officer, Purchasing Director and the Vice President of Operations, in order to monitor and supervise the execution of the above mentioned measures and policies on a periodic basis and to advise on any recommended changes in Company procedures with regard to the Minerals.
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/s/ Dror David
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June 2, 2014
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By: Dror David, Chief Financial Officer
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(Date)
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