Specialized Disclosure Report (sd)
23 Mayo 2018 - 10:42AM
Edgar (US Regulatory)
UNITED STATES
SECURITIES AND
EXCHANGE COMMISSION
Washington, D.C. 20549
FORM SD
SPECIALIZED DISCLOSURE REPORT
Exxon Mobil Corporation
(Exact name of the
registrant as specified in its charter)
New Jersey
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1-2256
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13-5409005
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(State or other jurisdiction
of
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(Commission
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(IRS Employer
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incorporation or
organization)
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File Number)
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Identification No.)
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5959 LAS COLINAS BOULEVARD, IRVING, TEXAS 75039-2298
(Address of
principal executive offices) (Zip Code)
Joe Horne (972) 940-6000
(Name and telephone
number, including area code, of the person to contact in connection with this
report)
Check the appropriate box to indicate the rule pursuant to
which this form is being filed, and provide the period to which the information
in this form applies:
[X] Rule 13p-1 under the Securities Exchange Act (17 CFR
240.13p-1) for the reporting period from January 1 to December 31, 2017.
Item
1.01 Conflict Minerals Disclosure
Section
13(p) of the Securities Exchange Act of 1934 and Rule 13p-1 thereunder
(collectively, the “conflict mineral rules”) require ExxonMobil to make certain
disclosures concerning supply sources for conflict minerals – principally
consisting of gold, tin, tungsten, or tantalum – that may be necessary to the
manufacture or functionality of our products. Terms and phrases used but not
defined in this disclosure have the meanings given under the conflict mineral
rules.
ExxonMobil manufactures or
contracts to manufacture certain catalysts for which tin or tungsten are
necessary to the product’s functionality. ExxonMobil also makes use of certain
tin and tungsten catalysts in our own refineries and chemical plants.
Depending on the type of catalysis process used, trace amounts of such minerals
may exist in some of our finished products.
Although these tin and
tungsten catalysts are used in compound form we have conducted in good faith a
reasonable country of origin inquiry regarding the conflict minerals described
above for 2017. Such inquiry is reasonably designed to determine whether any
of these minerals originated in the Democratic Republic of the Congo (“DRC”) or
an adjoining country, or are from recycled or scrap sources. The inquiry
included obtaining written representations from each of our suppliers for these
minerals to the effect that (i) the supplier has conducted its own reasonable
country of origin inquiry within the meaning of the conflict mineral rules with
respect to minerals sold to ExxonMobil; and (ii) based on such inquiry, the
supplier has determined such minerals do not originate in the DRC or an
adjoining country, or are from recycled or scrap sources, or the supplier has
no reason to believe such minerals may have originated in the DRC or an
adjoining country. We have also amended each of our contracts with suppliers
of conflict minerals to require the supplier to maintain procedures reasonably
designed to ensure any conflict minerals sold to ExxonMobil are not sourced
from the DRC or an adjoining country, and to require prompt notice to us of any
breach of this covenant.
Based on these inquiries, we
have no reason to believe any of the conflict minerals necessary for products
we manufactured or contracted to manufacture in 2017 may have originated in the
DRC or an adjoining country.
This Conflict Minerals
Disclosure is available on ExxonMobil’s website at:
http://corporate.exxonmobil.com/en/current-issues/accountability/conflict-minerals/disclosure
SIGNATURE
Pursuant
to the requirements of the Securities Exchange Act of 1934, the registrant has
duly caused this report to be signed on its behalf by the duly authorized
undersigned.
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EXXON
MOBIL CORPORATION
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/s/
ANDREW P. SWIGER
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May
23, 2018
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By
Andrew P. Swiger
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(Date)
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Senior Vice President and
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Principal Financial Officer
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