First Indicative List of Conflict-Affected & High-Risk Areas Published

- The Americas: Mexico, Colombia and Venezuela;
- Europe: Ukraine;
- The Middle East: Yemen;
- Africa: Burkina Faso, Burundi*, Cameroon, Central African Republic*, Chad, Democratic Republic of Congo*, Egypt, Eritrea, Libya, Mali, Mozambique, Niger, Nigeria, Somalia, South Sudan*, Sudan, and Zimbabwe;
- Asia: Afghanistan, India, Myanmar, Pakistan and The Philippines.
Countries also in scope of the Dodd-Frank Act are marked with an * above. It is notable that 5 of the 10 countries in scope of this Act – Angola, Tanzania, Rwanda, Uganda, and Zambia – are NOT on the CAHRA indicative list. This is probably reflective of a number of factors including changes in the regional context and supply chain practice, much of which may have changed since Dodd-Frank was drawn up, and also the methodology used to define CAHRAs. A particular requirement in drawing up this indicative list was that CAHRAs would be identified and assessed down to a ”subnational” level. The granularity of these assessment varies but in Afghanistan, for example, this comprises over 30 regions whereas Burundi is treated in just one assessment. The assessment of Colombia identifies only two areas of the country (Antioquia and Cauca) as being a CAHRA – not the whole country. A report is provided for each region identifying which of the covered “commodities” are relevant, an assessment of the local context (e.g. in terms of political stability) and how this relates to scope of the EU Regulation, and key references which support the assessment. EU-based importers of the 3TGs should take due note of the CAHRA indicative list and find it a useful reference in developing and maintaining their own due diligence practice, but should realize it is not an exhaustive list and is “not official”. Note also that EU countries are not considered. The list will be updated quarterly, and the methodology used to create the list is also subject to annual review. It is for each 3TG importer within the EU to assess the risk in its own supply chains which may possibly extend to regions or countries not on the present CAHRA indicative list. Want to find out more about how conflict minerals are regulated in the EU and U.S.? Sign up to our blog to get up to date news.