UNITED STATES
SECURITIES AND EXCHANGE COMMISSION
Washington, D.C. 20549
FORM SD
Specialized Disclosure Report
MOVADO GROUP, INC. |
(Exact name of registrant as specified in its charter) |
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New York |
1-16497 |
(State or other jurisdiction
of incorporation) |
(Commission
File Number) |
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650 From Road, Suite 375, Paramus, NJ |
07652-3556 |
(Address of principal executive offices) |
(Zip Code) |
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Mitchell
C. Sussis (201) 267-8000 |
(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:
☒ Rule 13p-1 under the Securities Exchange
Act (17 CFR 240.13p-1) for the reporting period from January 1 to December 31, 2023.
☐ Rule
13q-1 under the Securities Exchange Act (17 CFR 240.13q-1) for the fiscal year ended December 31, 2023.
Section 1 – Conflict Minerals Disclosure
Items 1.01 and 1.02 Conflict Minerals Disclosure and Report, Exhibit
A copy of the Company’s Conflict Minerals Report is filed as Exhibit
1.01 hereto and is publicly available at www.movadogroup.com.
Section 2 – Resource Extraction Issuer Disclosure
Item 2.01. Resource Extraction Issuer Disclosure and Report
Not applicable.
Section 3 – Exhibits
Item 3.01 Exhibits
The following exhibit is filed as part of this report:
Exhibit 1.01 — Conflict Minerals Report as required by Items 1.01 and 1.02 of this Form.
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 duly authorized undersigned.
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MOVADO GROUP, INC. |
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Date: May 31, 2024 |
By: |
/s/ Mitchell C. Sussis |
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Name: |
Mitchell C. Sussis |
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Title: |
Senior Vice President and General Counsel |
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EXHIBIT 1.01
Movado Group, Inc.
Conflict Minerals Report
For The Calendar Year Ended December 31, 2023
This Conflict Minerals Report (“Report”)
is submitted by Movado Group, Inc. (together with all of its subsidiaries hereinafter referred to as the “Company” or “we”)
for the calendar year ended December 31, 2023, pursuant to Rule 13p-1 under the Securities Exchange Act of 1934 (the “Rule”).
The Rule was adopted by the Securities and Exchange Commission (“SEC”) to implement reporting and disclosure requirements
related to what are referred to as “conflict minerals” under the Dodd-Frank Wall Street Reform and Consumer Protection Act
of 2010. The Rule imposes certain reporting obligations on SEC registrants who manufacture or contract to manufacture products containing
conflict minerals which are necessary to the functionality or production of their products. Specifically, the Rule requires such companies
to report on their use and sourcing of tantalum, tin, tungsten, and gold (collectively “3TG”).
Under the Rule, the Company must submit a Form SD
and undertake an inquiry (a “reasonable country of origin inquiry” or “RCOI”) to determine whether there is any
reason to believe that the 3TG used in its products may have originated from sources within the Democratic Republic of the Congo, the
Republic of the Congo, the Central African Republic, South Sudan, Uganda, Rwanda, Burundi, Tanzania, Zambia and Angola (the “Covered
Countries”) or whether such minerals came from recycled and scrap sources. If, following the RCOI, there is any reason to believe
that any of the 3TG in its production and supply chains may have originated in the Covered Countries, or if the Company is unable to
determine the country of origin of the 3TG, then it must exercise due diligence on the 3TG’s source and chain of custody. This
Report, which is posted on the Company’s website at www.movadogroup.com, describes those
due diligence measures. This Report has not been subject to an independent private sector audit.
1. Company Overview
The Company and its Products
The Company designs, develops, sources, and sells
watches globally under a number of prominent owned and licensed brands. It also designs, develops, sources, and sells jewelry and other
accessories under certain of its brands. We conducted an analysis of all our products and determined that most contain tin, and many contain
gold. To a limited extent, some contain tungsten and tantalum. Tin is present in soldering paste, which is used principally in watch movements,
and is also used in various component parts containing bronze, galvanic blue plating, black PVD plating and ionic plated silver. Certain
of our watches contain parts made of gold and many use gold plated component parts, including primarily cases and bracelets. Likewise,
certain of our jewelry or other accessories are made of gold or are gold plated or vermeil. Some of our watches use tungsten, which is
present in tungsten carbide, principally in hard metal cases and bracelets and in some black PVD plating, which also may be used in certain
of our jewelry and other accessories. Some of our watch movement capacitors (devices used to store electric charges) contain tantalum.
Supply chain
The Company uses independent manufacturers and assemblers
to produce all of its finished products while maintaining quality control through its supply chain organizations in the United States,
Switzerland, Mainland China, and Hong Kong. A majority of the Swiss watch movements used in the manufacture of the Company’s proprietary
watch brands are purchased from two movement suppliers. The Company obtains other watch components for all of its brands, including movements
for its licensed watch brands, as well as cases, hands, crystals, dials, bracelets and straps, and finished jewelry and other accessories
from various other suppliers. The Company’s suppliers obtain gold used in parts and for plating from their own suppliers. Because
of the Company’s position as a downstream purchaser of finished products and component parts, we are several tiers removed from
the smelters and the refineries where the 3TG is processed. Consequently, we have little, if any, visibility beyond our direct suppliers
to entities in the upstream supply chain.
Compliance overview
To enable its commitment to ethically and responsibly
source 3TG, the Company has adopted the following practices:
| · | Identifying the materials used to make the Company’s finished goods and their component parts to understand the likelihood of
3TG being incorporated into product designs; |
| · | Assessing the Company’s supply chain to identify areas where there may be a high probability of 3TG use; |
| · | Collaborating with the Company’s direct suppliers to confirm 3TG usage and potential sources of 3TG; |
| · | Communicating with the Company’s direct suppliers regarding the Company’s 3TG reporting obligations and the need for full
and accurate information; |
| · | Embedding the Company’s expectations of its suppliers and its requirements regarding the sourcing of 3TG into its standard form
of agreement for use with its component parts and finished goods suppliers; |
| · | Incorporating the Company’s Vendor Code of Conduct, including a supplementary Supply Chain Policy based on the Organization
for Economic Co-operation and Development (“OECD”) Model Supply Chain Policy for a Responsible Global Supply Chain and a supplementary
Supply Chain Policy Regarding Gold, into its supplier contracts; and |
| · | Evaluating its suppliers’ compliance. |
The Vendor Code of Conduct, together with the supplementary
supply chain and gold policies, is available on our website at www.movadogroup.com under “Corporate
Responsibility”.
2. Reasonable Country of Origin Inquiry
In conducting our RCOI, we contacted 58 direct suppliers
from whom we obtained assembled watches, jewelry, other accessories and any component parts in calendar year 2023 and whose parts or processes
we determined reasonably could be expected to result in 3TG being used in the production of or contained in our finished products. We
sent each of them the conflict mineral reporting template (CMRT) created by the Conflict-Free Sourcing Initiative (now known as the Responsible
Minerals Initiative or RMI). The CMRT survey process was administered through a web-based portal by a third-party service provider (the
“Service Provider’), with automated, and in certain instances manual, follow-up communications to improve survey response
rate and quality of information reported. Supplier responses were evaluated for plausibility, consistency, and gaps. Suppliers were contacted
to provide correction or clarification where needed.
Approximately 93% of the Company’s suppliers
responded. Of the responding suppliers, about 63% indicated one or more of the 3TG minerals was necessary to the functionality or production
of the finished goods or component parts supplied to the Company.
Based on its RCOI, the Company concluded that, of
the 351 smelters or refiners (“SORs”) identified by suppliers, 49 sourced in whole or in part from the Covered Countries.
The Company’s conclusions are based on information provided by the Service Provider derived from supplier responses and the Service
Provider’s own analysis.
Accordingly, the information we have gathered is insufficient
to support a determination that there is no reason to believe that any 3TG used in the production of or contained in our products may
have originated in any of the Covered Countries. For that reason, we are required under the Rule to submit this Report as an Exhibit to
our Form SD.
3. Due Diligence Process
Our due diligence measures have been designed to conform,
in all material respects, with the framework in the OECD Due Diligence Guidance for Responsible Supply Chains of Minerals from Conflict-Affected
and High-Risk Areas (“OECD Guidance”) and the related Supplements for gold and for tin, tantalum and tungsten.
3.1 Management Systems
As discussed above, the Company has adopted a Supply
Chain policy and a separate Supply Chain policy regarding gold as supplements to its Vendor Code of Conduct.
With the support of the Company’s senior management,
we have established a cross-functional team charged with developing and implementing the Company’s conflict minerals program and
overseeing compliance with its supply chain policies. That team comprises executive-level representatives and subject matter experts in
the United States, Switzerland and Asia from various departments, including Global Value Chain, Purchasing and Production, Operations,
Quality Assurance, Internal Audit, Legal and Finance. Senior management is briefed about the results of our due diligence efforts on a
periodic basis.
The Company does not have a direct relationship with
any 3TG smelters or refiners. Therefore, the focus of our efforts has been to engage our direct suppliers in a process designed to bring
transparency to our supply chain by obtaining information from them and having them and their suppliers obtain information from their
respective upstream suppliers as to the facilities used to process the 3TG used in the production of or contained in our products. It
is an ongoing process as we continue to both inform and educate our suppliers about our policies and aggregate and analyze the information
we obtain. Our ultimate goal is for all of our suppliers to be able to furnish us with complete, accurate and reliable information as
to all of the upstream actors in our supply chain and we encourage them to participate in and to deal exclusively with other suppliers
who participate in industry-wide audit and certification programs such as the RMAP. Our controls in this endeavor include our Vendor Code
of Conduct and our related supply chain policies as well as contract provisions.
In addition to the foregoing, our Swiss- and Asia-based
supply chain personnel have identified responsible individuals at all of our key suppliers and continue to dialogue with them concerning
our informational needs and suggest ways for them to comply with our policies.
Due to the Company’s downstream position in
the supply chain, we have limited information or visibility as to the smelters and refineries processing our 3TG or the mines where those
minerals originate and, therefore, are not likely to have knowledge of conflict financing. However, the Company does have established
grievance procedures whereby employees and suppliers can report suspected violations of our policies.
3.2 Identification and assessment of risk in the supply
chain
Based on the information provided by the Company’s
suppliers and the results of its RCOI, the Company identified SORs that may have been used to process the necessary 3TG in the Company’s
in-scope products. The identified SORs can be placed into one of four groupings: “Conformant,” “Active,” “Known”
And “Unknown.” “Conformant” means that an SOR has successfully completed an assessment against one of the following
internationally accepted audit standards to determine which SORs are considered “DRC Conflict Free:” RMI’s Responsible
Minerals Assurance Process (“RMAP”) standard, the Responsible Jewellery Council Chain-of-Custody Certification or the London
Bullion Market Association Good Delivery Program. Included SORs were not necessarily Conformant for all of 2023 and may not continue to
be Conformant for any future period. “Active” means that the SOR has committed to undergo an RMAP assessment, completed the
relevant documents, and scheduled the on-site assessment. These SORs may be in the pre-assessment, assessment or corrective-action phases
of assessment. “Known” means that the SOR was not Conformant but is listed on the CMRT Smelter Look-up tab. “Unknown”
means that the SOR was not listed on the CMRT Smelter Look-up tab.
219 (62%) of the 351 SORs identified by the Company’s
suppliers were listed as Conformant, 11 (3%) were listed as Active, 122 (35%) were listed as Known and 0 (0%) were listed as Unknown,
in each case as of April 16, 2024. In addition, all but 8 of the 49 SORs believed by the Service Provider to be located in, or to source
at least in part from, the DRC region were listed as Conformant.
The Company received data from many of
its suppliers on a company-level basis, meaning that the suppliers reported 3TG contained in, and the SORs used in the production of,
all of their products, not just the products they sold to the Company. In addition, we have reason to believe that some of our suppliers
received data from certain of their sub-suppliers on a company-level basis, meaning that the sub-suppliers reported 3TG contained in,
and the SORs used in the production of, all of their products, not just the products they sold to our direct supplier. Accordingly, it
is likely that not all SORs identified by the Company’s suppliers actually processed 3TG contained in the Company’s in-scope
products. Moreover, the SORs identified may not be all of the SORs in the Company’s supply chain, since some suppliers indicated
that they did not identify all of the SORs used to process the necessary 3TG content in the products covered by their CMRTs, and not all
of the Company’s suppliers submitted a CMRT.
3.3 Design and Implementation of a Strategy to Respond to
Risks
We will continue to work with our suppliers to mitigate
the risk that any minerals contained in our products may have directly or indirectly supported conflict by encouraging and, when deemed
practicable, requiring them to source only from sub-suppliers who are able to and do certify that their 3TG are supplied by identified
smelters and refineries that participate in an independent validation scheme or appropriate institutional mechanism.
3.4 Independent Third Party Audit of Supply Chain
Due Diligence at Identified Points in the Supply Chain
We do not have a direct relationship with 3TG smelters
or refiners and do not perform or direct audits of these entities within our supply chain. We do support such audits, however, by encouraging
our direct suppliers to source only from upstream suppliers who can certify that the 3TG they provide were processed by smelters and refineries
which participate in an independent validation scheme or appropriate institutional mechanism.
3.5 Report on supply chain due diligence
As required by the Rule, the Company will
file a public report annually on Form SD and, if required, a conflict minerals report.
4. Efforts to determine mine or location of
origin
Considering the Company’s position as a downstream
purchaser of fully assembled products and components, we have determined that requesting our suppliers to complete the CMRT and provide
information about 3TG smelters and refiners in our supply chain represents the most reasonable effort we can make to determine the mines
or locations of origin of the 3TG in our supply chain. Nevertheless, due to lack of complete information, the Company is unable to determine
and to describe all facilities used to process the 3TG used in the products that we contract to have manufactured or the mine or country
of origin of such 3TG. Nor have we been able to determine whether such 3TG come from recycled or scrap sources.
The countries of origin of the newly mined 3TG processed
by the SORs referenced in Section 3.2 above may have included the countries listed below. Country of origin information has been provided
to the Company by the Service Provider.
Angola |
Guyana |
Papua New Guinea |
Argentina |
Hong Kong |
Peru |
Armenia |
Hungary |
Philippines |
Australia |
India |
Poland |
Austria |
Indonesia |
Portugal |
Belarus |
Ireland |
Russian Federation |
Belgium |
Israel |
Rwanda |
Bermuda |
Italy |
Saudi Arabia |
Bolivia |
Ivory Coast |
Sierra Leone |
Brazil |
Japan |
Singapore |
Burundi |
Jersey |
Slovakia |
Cambodia |
Kazakhstan |
South Africa |
Canada |
Kenya |
South Sudan |
Central African Republic |
Korea, Republic of |
Spain |
Chile |
Kyrgyzstan |
Suriname |
China |
Laos |
Sweden |
Colombia |
Luxembourg |
Switzerland |
Congo (Brazzaville) |
Madagascar |
Taiwan |
Czech Republic |
Malaysia |
Tajikistan |
Djibouti |
Mali |
Tanzania |
DRC- Congo (Kinshasa) |
Mexico |
Thailand |
Ecuador |
Mongolia |
Turkey |
Egypt |
Morocco |
Uganda |
Estonia |
Mozambique |
United Arab Emirates |
Ethiopia |
Myanmar |
United Kingdom |
Finland |
Namibia |
United States |
France |
Netherlands |
Uzbekistan |
Germany |
New Zealand |
Viet Nam |
Ghana |
Niger |
Zambia |
Guinea |
Nigeria |
Zimbabwe |
5. Steps to be taken to mitigate risk
We intend to take the following steps to improve the
due diligence conducted to further mitigate the risk that any of the 3TG used in our products could benefit armed groups in the Covered
Countries:
| (i) | Continue to engage with our suppliers and direct them to training resources to improve the content of the supplier survey responses. |
| (ii) | Further engage our suppliers found to be sourcing from smelters or refineries that are not certified as conflict-free to use, as an
alternative, certified conflict-free processing sources. |
| (iii) | Work with relevant trade associations to define and improve best practices and build leverage over the supply chain in accordance
with the OECD Guidance. |
This document contains forward-looking
statements based on management's current expectations. These statements can be identified by the use of forward-looking terminology such
as “may,” “will,” “should,” “expect,” “intend,” “become,” “future,”
“continue,” “strive,” “seek” or comparable terms. Future results may differ materially from management's
current expectations, based upon risks and uncertainties such as (1) the continued implementation of satisfactory traceability and other
compliance measures by the Company’s direct and indirect suppliers on a timely basis, (2) whether SORs and other market participants
responsibly source 3TG, (3) political, regulatory and economic developments within the Covered Countries, the United States or elsewhere,
and (4) changes in the Company’s supplier base. Undue reliance should not be placed on these forward-looking statements, which speak
only as of the date of the filing of this document. The Company does not intend, and undertakes no obligation, to publish revised forward-looking
statements to reflect events or circumstances after the date of the filing of this document to reflect the occurrence of unanticipated
events. Please refer to the Company’s latest Annual Report on Form 10-K for the fiscal year ended January 31, 2024, Quarterly Reports
for the fiscal quarter ended April 30, 2024, and its other filings with the SEC for a complete list of risks and other factors.
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