We appreciate your ongoing partnership with Xometry Inc. As part of that, we realize some customers need specific traceability for their particular parts to meet several directives commonly known in the manufacturing world. To help support your needs, we developed this page and the attachments herein.
If you require REACH/RoHS documentation on a part level, please request a Certificate of Conformance for your parts order. If you require additional material content or origin traceability, please request material certifications and material traceability in addition to your C of C when ordering. We cannot provide those documents after your parts are manufactured if it was not indicated on your quote.
- Xometry supports several specific 3rd Party portals for our customers (BOMCheck, NetInspect, IMDS, etc.), which are all customer or mandated 3rd Party portals that we must use. (The automotive industry requires IMDS for all customers.)
For the Conflict Minerals Reporting Template or Extended Minerals Reporting Template (CMRT and EMRT), the CMRT is utilized to report on conflict minerals (the 3TG: tin, tungsten, tantalum, and gold), while the EMRT is intended for cobalt and mica, otherwise known as extended minerals. We provide the annual company-level templates (see below), but please note that we do not track smelter information. Smelter information can be found on material traceability certs, which can be requested during the quoting phase. We are also providing a general REACH/ RoHS declaration letter below. If you require one directed to your company, please email support@xometry.com and CC kmwhite@xometry.com, and one can be drafted for you.
Xometry, Inc. is dedicated to serving you by providing high-quality engineered access hardware solutions that meet environmental regulations. Please also note the following points about our product offerings:
- Xometry, Inc. does not have design authority for the parts it manufactures.
- Xometry, Inc. is purchasing and providing hardware as indicated explicitly on the Customers’ engineering drawing.
- Xometry, Inc. does not add any components and/or does not provide additional chemical processing to parts that are produced for Customers’.
- Customer-supplied materials are outside the scope of this declaration.
Further directives we are compliant with:
Prop 65: This relates to parts being shipped into California. If you believe your parts fall under this directive and require a warning label, please request a manual quote for this labeling process, as there may be an additional cost.
REACH: European Council titled: REGULATION (EC) No. 1907/2006 OF THE EUROPEAN PARLIAMENT AND THE COUNCIL of 18 December 2006 concerning the Registration, Evaluation, Authorization, and Restriction of Chemicals (REACH). REGULATION (EC) No. 1907/2006 OF That publishes the 233 substances/entries on the Substances of Very High Concern (SVHC) list.
RoHS-2: Restriction of Hazardous Substances per EU Directive of 2011/65/EU and EU Directive of 2015/863/EU, which includes four new phthalates added on top of the original six substances.
Substances of Concern: In articles as such or in complex objects (Products) (SCIP – per Waste Framework Directive 2008/98/EC, amended by Directive (EU) 2018/851).
EU POP: EU Persistent Organic Pollutants per EU Regulation EU 2019/1021.
PBT: Persistent, Bioaccumulate, and Toxic substances as restricted under US Code of Federal Regulations Title 40, part 751, subpart E– “Regulation of Certain Chemical Substances and mixtures under section 6 of The Toxic Substances Control Act” (TSCA PBTs Section 6(h) and PFAS Section 8(a)(7).
Should you have further questions or require additional information or documentation, please contact us.