{"id":5908,"date":"2020-03-20T01:42:08","date_gmt":"2020-03-20T01:42:08","guid":{"rendered":"https:\/\/www.aewin.com\/commitment-and-policy\/"},"modified":"2023-03-22T08:42:23","modified_gmt":"2023-03-22T08:42:23","slug":"commitment-and-policy","status":"publish","type":"page","link":"https:\/\/www.aewin.com\/ko\/commitment-and-policy\/","title":{"rendered":"Commitment And Policy"},"content":{"rendered":"
<\/a>C1 We are committed to hold that \u201cCaring for the Earth, fulfilling the Promise of CSR (Corporate social responsibility), offering customer satisfaction guaranteed service and creating a Healthy Workplace Environment\u201d as the guideline for our corporate culture.<\/p>\n Our polices:<\/strong><\/p>\n For Quality<\/strong> – sticks to excellent quality and thoughtful service <\/a>C2 HSF<\/strong> We continuously pay attention to international environmental regulations and combine relevant legal and regulatory requirements with our hazardous substance management regulations to minimize the use of hazardous substances, reduce impacts on the environment, and protect the earth, the environment and human health.<\/p>\n Our HSF Management Policy<\/strong>\uff1a<\/strong> RoHS requirements At AEWIN, we have been voluntarily implementing environmental protection to complywith the RoHS requirements. In product, part and process development, lead (Pb), cadmium (Cd), mercury (Hg), hexavalent chromium (Cr6+), polybrominated biphenyls (PBBs), and polybrominated diphenyl ethers (PBDEs) have been banned. Since July 2006 all AEWIN products comply with the RoHS requirements.<\/p>\n Commission Delegated Directive (EU) 2015\/863 of 31 March 2015 amending to Directive 2011\/65\/EU of the European Parliament and of the Council as regards the list of restricted substances (Text with EEA relevance), including Bis(2-ethylhexyl)phthalate(DEHP)\u3001Butyl benzyl phthalate(BBP)\u3001Dibutyl phthalate(DBP)\u3001Diisobutyl phthalate(DIBP). After assessing the differences between both versions, we have amended and updated our hazardous substances management regulations accordingly to ensure that our technology and process can continuously comply with the latest RoHS requirements.<\/p>\n Major contents of the directive 2011\/65\/EU of the European Parliament and of the Council of 8\u00a0June 2011 on the restriction of the use of certain hazardous substances in electrical and electronic equipment Text with EEA relevance.<\/p>\n The scope and variety of products where RoHS is applied have been expanded in the new version. RoHS is also applied to the product conformity of CE marking. The RoHS 2 superseded the RoHS (2002\/95\/EC) as of 3 January 2013.<\/p>\n REACH Directive<\/strong> REACH is the abbreviation for the Regulation for Registration, Evaluation, Authorization and Restriction of Chemicals. REACH was made effective as of 1 June 2007 to \u201censure a high level of protection of human health and the environment\u201d and request compliance with its registration, evaluation, authorization and restriction requirements for chemical substances (pure substances, mixtures and articles) specified in the regulation. Otherwise, products will be banned from sales, manufacture or use in the EU and member states.<\/p>\n Registration duty<\/strong> After assessment based on these requirements, our team validates that substances contained in products design and manufactured by AEWIN will not be released under normal or reasonably foreseeable conditions of use after assessment and validation. Therefore, we can be exempted from the registration duty.<\/p>\n Notification duty<\/strong> After assessing and examining the parts and components used in products, our team validates that AEWIN products do not contain SVHC exceeding 0.1% (w\/w). When the ECHA updates the SVHC items, we will re-assess and re-examine our products to ensure no SVHC is contained.<\/p>\n Other International Environmental Regulations<\/strong> Sales packaging: Packaging conceived so as to constitute a sales unit to the final user or consumer at the point of purchase Limit on heavy metal contents: Lead + mercury + cadmium + Cr6+ totaling under 100ppm<\/p>\n EU battery directive (2006\/66\/EC)<\/strong> Heavy metal limits<\/strong> China RoHS (Administrative Measure on the Control of Pollution Caused by Electronic Information Products)<\/strong> Restriction of the Use of Certain Hazardous Substances in Electronic and Electrical Equipment<\/strong>\u00a0\u00a0(2011\/65\/EU)<\/strong> Restriction of Hazardous Substances (EU 2015\/863)<\/strong>
\n<\/span>.<\/span><\/p>\nCommitment and Policy<\/strong><\/span><\/h4>\n
\nFor HSF<\/strong>: regulatory compliance, green products and continual improvement process<\/p>\n
\n<\/span>.<\/span><\/p>\nHSF Management(Hazardous Substances Free)<\/strong><\/span><\/h4>\n
\nIn 2011, we purchased the XRF hazardous substance inspection equipment to prevent hazardous substances from contaminating products. In 2013 we passed IECQ QC080000 HSPM (Hazardous Substances Process Management) system certification to strengthen hazardous substance management, so as to achieve the hazardous-substance-free (HSR) target in all processes from product design to process contamination prevention.<\/p>\n
\n<\/strong>Customer satisfaction, legal compliance, green product, and continual improvement.<\/strong><\/p>\n
\n<\/strong><\/p>\n
\nWhat is REACH?<\/strong><\/p>\n
\nReferring to 1 of Article 7 of REACH, \u201cRegistration and notification of substances in articles\u201d: Any producer or importer of articles shall submit a registration to the Agency for any substance contained in those articles, if both the following conditions are met:
\n(a) the substance is present in those articles in quantities totaling over 1 ton per producer or importer per year;
\n(b) the substance is intended to be released under normal or reasonably foreseeable conditions of use.<\/p>\n
\nReferring to 2 of Article 7 of REACH, \u201cRegistration and notification of substances in articles\u201d: Any producer or importer of articles shall notify the Agency…if [products containing substances of very high concern for authorization (SVHC) announced by the ECHA and] both the following conditions are met:
\n(a) the substance is present in those articles in quantities totaling over 1 ton per producer or importer per year;
\n(b) the substance is present in those articles above a concentration of 0.1 % weight by weight (w\/w).<\/p>\n
\nEU Directive on Packaging and Packaging Waste (94\/62\/EC)<\/strong>
\nThe EU Directive on Packaging and Packaging Waste was made effective as of February 2003 to request (1) package design of products should comply with the minimum use of packaging materials, (2) packaging materials are reusable and recyclable, and (3) heavy metals contained in packaging materials should not exceed relevant standards. Under this directive, packaging materials include:<\/p>\n
\nGrouped packaging: Packaging conceived so as to constitute a grouping of a certain number of sales units for temporary storage or short-distance delivery.
\nTransport packaging: Packaging conceived so as to facilitate long-distance transport or warehousing.<\/p>\n
\nMade effective as of 26 September 2008, the directive requests that all batteries must comply with the labeling requirements and heavy metal limits so as to be sold and used in the EU.<\/p>\n
\nThe mercury content of all batteries or accumulators must be under 0.0005% (by weight).
\nThe cadmium content of all portable batteries or accumulators must be under 0.002% (by weight).<\/p>\n
\nReferring to relevant definitions and regulations of relevant of the PRC electronics industry regulations, electronic information products should comply with the limit on relevant hazardous substances such as lead, mercury, cadmium, Cr6+, PBBs, and PBDEs and with the Marking for Control of Pollution Caused by Electronic Information Products.<\/p>\n
\nIt aims to prevent hazardous substances from entering the production process and thereby keep them out of the waste stream.<\/p>\n
\nOn June 4, 2015, the EU Commission published new Directive (EU) 2015\/863 which adds 4 phthalate substances to the list of 6 already in RoHS II. These phthalates will be restricted from use starting July 22, 2019 from most EEE. Includes: Bis(2-ethylhexyl)phthalate(DEHP)\u3001Butyl benzyl phthalate(BBP)\u3001Dibutyl phthalate(DBP)\u3001Diisobutyl phthalate(DIBP).<\/p>\n