CSS Industries, Inc.

Conflict Minerals Disclosure for the Year Ended December 31, 2014

June 1, 2015


As a public company, we are required under Section 1502 of the Dodd-Frank Wall Street Reform and Consumer Protection Act (“Section 1502”), to provide certain information on our website if we determine that conflict minerals are necessary to the functionality or production of products manufactured by us or contracted to be manufactured by us.  For purposes of Section 1502, conflict minerals are columbite-tantalite (coltan), cassiterite, gold, wolframite, or their derivatives, which are limited to tantalum, tin and tungsten.  Below we provide the information required to be provided under Section 1502 for the calendar year ended December 31, 2014.    


Certain of our product lines consists of decorative card holders (the “Card Holders”) made of tin-plated steel formed into a small box, which we may be deemed to contract to be manufactured.  Certain Card Holders are for use as decorative packaging for gift cards, and other Card Holders are for use as storage boxes for prayer cards.  Tin may be deemed necessary to the functionality or production of these products.  Because tin is a “conflict mineral” as defined by Section 1502, we were required, under Section 1502, to conduct a reasonable country of origin inquiry with respect to the tin contained in the Card Holders made during the calendar year ended December 31, 2014.  Below we describe the reasonable country of origin inquiry that we performed, the results of such inquiry and our determination based on the results of such inquiry.


Conflict Minerals Disclosure


We source the Card Holders from unrelated, third-party manufacturers in China.  The Card Holders are custom-manufactured to our specifications, which generally address the dimensions of the Card Holders and the names, logos and/or decorative designs that are printed on the Card Holders.  We have representatives who visit our third-party manufacturers from time to time, including a representative who has primary responsibility for interfacing with the Card Holder manufacturers and monitoring their operations to ensure that the specifications for the Card Holders are met (the “primary representative”).


For purposes of our reasonable country of origin inquiry, we utilized a survey to collect information from the manufacturers as to the origin of the tin contained in the Card Holders.  For the survey, we utilized the conflict minerals reporting template published by the Conflict Free Sourcing Initiative (“CFSI”) founded by members of the Electronic Industry Citizenship Initiative and the Global e-Sustainability Initiative. 


The manufacturers advised us that the tin contained in the Card Holders was supplied by three tin smelting facilities located in Japan, China and Indonesia, which we refer to respectively as “Smelter A,” “Smelter B” and “Smelter C.”  Our primary representative advised us that these smelters supply the tin to certain electroplating manufacturers in China, where the tin is electroplated onto sheets of steel that are then formed into rolls of tin-plated steel that are supplied to the manufacturers.  The manufacturers perform printing, die-cutting and forming operations to convert the rolls of tin-plated steel into the Card Holders.


To ascertain the origin of the tin contained in the Card Holders, we consulted the published conflict mineral policies of Smelter A, Smelter B and Smelter C.  In its policy, Smelter A states that it has “long used no conflict minerals originating from conflict-affected areas” and that it has adopted a control system to “rigidly maintain this practice of nonuse.”  In its policy, Smelter B states that its cassiterite (the mineral from which tin is derived) originates in China, Brazil, Bolivia and Australia, and that it sources secondary materials inside China for recycling.  Smelter C states in its policy that its tin ore is “100% supplied by domestic source in Indonesia”.


Additionally, we consulted the resources available on the CFSI website.  CFSI has developed a conflict-free smelters program, which CFSI describes as “a voluntary initiative in which an independent third party audits smelter procurement and processing activities and determines if the smelter showed sufficient documentation to demonstrate with reasonable confidence that their company processes minerals originating from conflict–free sources.”  The CFSI website reflects that Smelter A, Smelter B and Smelter C are participants in the conflict-free smelters program and that each meets the requirements for inclusion in CFSI’s list of conflict-free tin smelters.


Based on the reasonable country of origin inquiry described above, we have no reason to believe that the tin contained in the Card Holders for the period covered by this report may have originated in the Democratic Republic of the Congo or an adjoining country.