Form SD - Specialized disclosure report
28 Mayo 2024 - 1:32PM
Edgar (US Regulatory)
UNITED STATES
SECURITIES AND EXCHANGE COMMISSION
Washington, D.C. 20549
FORM SD
SPECIALIZED DISCLOSURE REPORT
GILDAN ACTIVEWEAR INC. |
(Exact name of registrant as specified in its charter) |
Canada |
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01-14830 |
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98-0168992 |
(State or other jurisdiction of |
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(Commission |
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(IRS Employer |
incorporation or organization) |
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File Number) |
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Identification No) |
600 de Maisonneuve Boulevard West |
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Montreal (Quebec) Canada |
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H3A 3J2 |
(Address of principal executive offices) |
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(Postal code) |
Michelle Taylor, 514-340-8929 |
(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, 2023. |
o |
Rule 13q-1 under the Securities Exchange Act (17 CFR 240.13q-1) for the
fiscal year ended ____.
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Section 1 – Conflict Minerals Disclosure
Item 1.01 Conflict Minerals Disclosure
Introduction
Gildan Activewear Inc. (“Gildan”
or the “Company”) is submitting this special disclosure report on Form SD as required pursuant to Rule 13p-1 under
the Securities Exchange Act of 1934 adopted by the U.S. Securities and Exchange Commission (the “SEC”) and known as
the “conflict minerals rule” (the “Conflict Minerals Rule”). The Conflict Minerals Rule implements Section
1502 of the Dodd-Frank Wall Street Reform and Consumer Protection Act (the “Dodd-Frank Act”) which requires issuers
of securities that are required to file annual and quarterly reports with the SEC to publicly disclose certain information regarding tantalite
(coltan; i.e. tantalum), cassiterite (i.e. tin), wolframite (i.e. tungsten) and gold (the “3TGs”) necessary to the
production or functionality of products that they manufacture or contract to manufacture.
This disclosure describes (a) the Company’s
reasonable country of origin inquiry (the “RCOI”) for the year ended December 31, 2023 (the “2023 Reporting
Period”) conducted to determine whether 3TGs in products that the Company manufactures or contracts to manufacture originated
in the Democratic Republic of Congo or adjoining countries (collectively the “Covered Countries”), and (b) based on
the results of the RCOI, the Company’s determination as to the origin of the 3TGs in products that the Company manufactures or contracts
to manufacture.
Company Overview
Gildan is a leading manufacturer of everyday basic
apparel which markets its products in North America, Europe, Asia-Pacific, and Latin America, under a diversified portfolio of Company-owned
brands, including Gildan®, American Apparel®, Comfort Colors®, GoldToe®, Peds®, and under the Under Armour® brand
through a sock licensing agreement providing exclusive distribution rights in the United States and Canada which expired on March 31,
2024. Our product offering includes activewear, underwear, socks, hosiery, and legwear products sold to a broad range of customers, including
wholesale distributors, screenprinters or embellishers, as well as to retailers that sell to consumers through their physical stores and/or
e-commerce platforms, and to global lifestyle brand companies.
Gildan owns and operates vertically integrated, large-scale
manufacturing facilities which are primarily located in Central America, the Caribbean, North America, and Bangladesh. With approximately
43,000 employees worldwide, Gildan operates with a strong commitment to industry-leading labour, environmental and governance practices
throughout its supply chain in accordance with its comprehensive ESG program embedded in the Company's long-term business strategy. More
information about the Company and its ESG practices and initiatives can be found at www.gildancorp.com.
Due to its position as a downstream manufacturer and
distributor of finished products, Gildan does not directly source any minerals from mines, smelters or refiners. 3TGs included in Gildan’s
products are in components acquired from suppliers, and Gildan is typically several steps removed from the origin of the ores.
Reasonable Country of Origin Inquiry
Gildan reviewed its entire range of products manufactured
and sourced during the 2023 Reporting Period in order to identify all metallic components contained therein and necessary for the production
or functionality of such products. Certain zippers (including pulls, sliders, and zipper rings), (the “Metallic Components”)
revealed small amounts (in all cases less than six thousand (6,000) parts per million) of tin. The Metallic Components or zippers were
supplied by two (2) suppliers (each a “Supplier” and collectively the “Suppliers”), and one (1)
of the Suppliers confirmed that the tin and/or gold found in their Metallic Components were purposefully added during production to render
the applicable components more flexible or for the purpose of creating a decorative (plated) finish.
As a result, Gildan’s products subject to the
Conflict Minerals Rule analysis and containing the purposefully added tin and/or gold are: (a) knit tops with zippers, and (b) sweatshirts
with ¼ zippers (the “Products”). Gildan manufactures the knit tops in its own vertically integrated facilities
but sources all other Products from third party suppliers. Gildan does not require from its suppliers that any Metallic Component used
in its products contains 3TGs.
The RCOI was conducted by sending the Conflict Minerals
Reporting Template (CMRT) to the two (2) zipper Suppliers procuring the Metallic Components for the Products or contracted to manufacture
some of the Products containing the Metallic Components. These Suppliers account for less than 1% of Gildan’s total annual cost
of materials used in products that the Company manufactured or that the Company contracted to manufacture in 2023. Gildan requested that
each Supplier complete the Conflict Free Sourcing’s Initiative’s (CFSI) Conflict Minerals Reporting Template (CMRT), which
was created by the Electronic Industry Citizenship Coalition and the Global e-Sustainability Initiative as a common means for the collection
of sourcing information related to conflict minerals. This reporting template is a common data collection tool used across industries
by companies with and without direct smelter relationships, and its questions are designed to generate necessary representations required
to make determinations about the origin of the 3TGs.
The two (2) zipper Suppliers responded to the Company’s
inquiry by completing the 2024 version of the Conflict Minerals Reporting Template and provided the Company with written assurances that
none of the Products sold to Gildan or used during the 2023 Reporting Period contain 3TGs that have originated from the Covered Countries.
It should be noted that the Supplier who purposefully
adds 3TGs to the Metallic Components represented to conduct its own RCOI with its respective direct suppliers using the Conflict Free
Sourcing’s Initiative’s (CFSI) Conflict Minerals Reporting Template (CMRT) or a substantially similar questionnaire. In addition,
such Supplier represented to have in place a conflict minerals sourcing policy and identified the smelters believed to be involved in
the smelting of such 3TGs. Such smelters are either listed as Conflict-Free Tin Smelters under the Conflict-Free Smelter Program list
provided by the Conflict-Free Smelter Initiative or located outside the Covered Countries.
The Company determined that it had no reason to believe
that the Suppliers’ representations generated in the Conflict Minerals Reporting Template and in the written certification provided
to the Company were false or inaccurate, and based on such representations determined in good faith that it had no reason to believe that
the 3TG contained in the Metallic Components used in the Products may have originated from the Covered Countries.
Gildan has posted this disclosure Form SD to its website
at https://gildancorp.com/en/conflict-minerals/.
Item 1.02 Exhibit
Not applicable.
Section 2 – Resource Extraction Issuer
Disclosure
Not applicable.
Section 3 – Exhibits
Not applicable.
SIGNATURES
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 undersigned thereunto duly authorized
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GILDAN ACTIVEWEAR INC. |
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Date: May 28, 2024 |
By: |
/s/ Michelle Taylor |
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Name: |
Michelle Taylor |
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Title: |
Vice-President, General Counsel and Corporate Secretary |
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