UNITED
STATES
SECURITIES
AND EXCHANGE COMMISSION
Washington,
D.C. 20549
FORM
SD
SPECIALIZED
DISCLOSURE REPORT
Odysight.ai
Inc.
(Exact
name of registrant as specified in its charter)
Nevada |
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333-188920 |
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47-4257143 |
(State
or other jurisdiction of
incorporation or organization) |
|
(Commission
file
number) |
|
(IRS
Employer
Identification No.) |
Suite
7A, Industrial Park, P.O. Box 3030
Omer,
Israel 8496500
(Address
of principal executive offices) (Zip code)
Yehu
Ofer, +972 73 370-4690
(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:
☒
Rule 13p-1 under the Securities Exchange Act (17 CFR 240.13p-1) for the reporting period from January 1 to December 31, 2023.
SECTION
1 – CONFLICT MINERALS DISCLOSURE
Company
Overview
We
are a pioneer in the development, production, and marketing of innovative Predictive Maintenance (PdM) and Condition Based Monitoring
(CBM) technologies, providing visual sensing and AI-based video analytics solutions for critical systems in the aviation, maritime, industrial
non-destructive-testing industries, transportation, and energy industries. Some of our products utilize our unique micro visualization
technology in medical devices for complex and minimally invasive medical procedures. Our unique video-based sensors, embedded software,
and AI algorithms are being deployed in hard-to-reach locations and harsh environments across a variety of PdM and CBM use cases. Our
solution allows maintenance and operations teams visibility into areas which are inaccessible under normal circumstances, or where the
operating ambience otherwise is not suitable for continuous real-time monitoring and has various applications which have relevancy in
a wide range of industry segments that utilize complicated mechanics requiring ongoing monitoring and predictive maintenance applications.
Item
1.01 Conflict Minerals Disclosure and Report
References
in this report to “Odysight.ai,” “our Company,” “we,” “our,” or “us” mean
Odysight.ai Inc. together with its consolidated subsidiary, Odysight.ai Ltd., except where the context otherwise requires.
Our
Conflict Minerals Policy
We
fully support Rule 13p-1 under the Securities Exchange Act of 1934, as amended, and Form SD (collectively, the “Conflict Minerals
Rule”) and are committed to responsible sourcing of Conflict Minerals (as defined below). Odysight.ai is committed to identifying
the potential Conflict Minerals which are necessary for the functionality or production of products manufactured by Odysight.ai or for
Odysight.ai by a third party manufacturer and determining the country of origin of any potential Conflict Minerals.
In
furtherance of the foregoing, we have adopted and communicated to our suppliers and to the public a company policy (the “Conflict
Minerals Policy”) for the supply chain of Conflict Minerals. As used herein and in the Conflict Minerals Policy, “Conflict
Minerals” consist of gold as well as columbite-tantalite (coltan), cassiterite, wolframite or their derivatives, which are limited
to tantalum, tin and tungsten, without regard to the location of origin.
Our
conflict mineral policy encourages our suppliers to develop conflict minerals policies, due diligence frameworks and management systems
that are designed to prevent conflict minerals that are not “DRC Conflict Free” from being included in the products sold
to us and our subsidiary. We work with our suppliers to comply with the SEC reporting requirements on conflict mineral by asking them
to (i) certify to the best of their knowledge the Conflict Minerals status of the component supplied to us and (ii) update us of any
future change in such status. It is our policy to work to refrain from using smelters or refiners from conflict affected and high-risk
areas, as reported by relevant suppliers in our supply chain. Our Conflict Minerals Policy indicates that suppliers who do not comply
with the foregoing expectations will be reviewed and evaluated accordingly for future business and sourcing decisions.
Applicability
of the Conflict Minerals Rule to Our Company
On
an ongoing basis, the Company reviews all changes to the components that comprise its products. It was determined that tin and gold and
perhaps tantalum, each a Conflict Mineral, may be found within or as part of our miniature cameras and video sensors and their complementary
technologies, such as processing units and illumination and irrigation mechanisms, as well as their control and video processing units,
for use in various medical procedures and specialized industrial applications. In addition,
certain of our production processes actually or potentially utilize Conflict Minerals.
We
believe that we are in most cases many levels removed from mines, smelters and refiners of Conflict Minerals in our products and have
limited influence over the mines, smelters, refiners and many of the other vendors in our supply chain. However, through the efforts
described in this Form SD and the Conflict Minerals Report included as an exhibit hereto, we seek to ensure that our sourcing practices
are consistent with our Conflict Minerals Policy and to encourage conflict-free sourcing in our supply chain.
Reasonable
Country of Origin Information
In
connection with the reasonable country of origin inquiry (“RCOI”) required by the Conflict Minerals Rule, we utilized
the same process and procedures that we established for our due diligence, including that suppliers declare to the best of their knowledge
the Conflict Minerals status of the components they supply to us and agree to update us of any future change in such status. Our due
diligence process and procedures are more fully described in the Conflict Minerals Report included as an exhibit hereto.
Despite
our RCOI and ongoing due diligence, we do not yet have sufficient information to determine the country of origin of the Conflict Minerals
used in our products or to identify the facilities used to process those Conflict Minerals.
Therefore,
we cannot exclude the possibility that some of those Conflict Minerals may have originated in the Democratic Republic of the Congo or
an adjoining country and/or are not from recycled or scrap sources.
As
such, we have determined that our products — consisting of miniaturized video cameras and video sensors for use in various medical
procedures and certain specialized industrial applications in the aviation, maritime, industrial
non-destructive-testing industries, transportation, and energy industries — that we produced in the calendar year 2023 are “DRC
Conflict Undeterminable.” As a result, we have filed a Conflict Minerals Report.
Website
Disclosure
As
required by the Conflict Minerals Rule, the foregoing information is available on our website — www.Odysight.ai. The information
contained on our website is not incorporated by reference into this Form SD or our Conflict Minerals Report and should not be considered
part of this Form SD or our Conflict Minerals Report.
Item
1.02 Exhibit
The
Conflict Minerals Report required by Item 1.01 is filed as Exhibit 1.01 to this Form SD.
As
required by the Conflict Minerals Rule, a Conflict Minerals Report is provided as an exhibit to this Form SD and is available on our
website — www.Odysight.ai (under “Investors”—”Corporate Governance”).
SECTION
2 – EXHIBITS
Item
2.01 Exhibits
Signature
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.
Odysight.ai
Inc. |
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(Registrant) |
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|
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By:
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/s/
Yehu Ofer |
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May
31, 2024 |
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Yehu
Ofer |
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Date |
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Chief
Executive Officer |
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Exhibit
1.01
Odysight.ai
Inc.
Conflict
Minerals Report
For
the Year Ended December 31, 2023
Summary
This
is the Conflict Minerals Report of Odysight.ai Inc. (“Odysight.ai”) for calendar year 2023, in accordance with Rule
13p-1 under the Securities Exchange Act of 1934, as amended (“Rule 13p-1” and the “Exchange Act,”
respectively). Numerous terms that appear in this Report are defined in Rule 13p-1 and Form SD. Please see those sources, as well as
Exchange Act Release No. 34-67716 (August 22, 2012) for relevant definitions (available at: http://www.sec.gov/rules/final/2012/34-67716.pdf).
Odysight.ai
fully supports the goals and objectives of Section 1502 of the Dodd-Frank Wall Street Reform and Consumer Protection Act (the “Act”),
which aims to prevent the use of certain “Conflict Minerals” that directly or indirectly finance or benefit armed groups
in the Democratic Republic of the Congo (the “DRC”) or adjoining countries (including Angola, Burundi, The Central
African Republic, The Republic of Congo, Uganda, Rwanda, South Sudan, Tanzania, and Zambia) (the “Covered Countries”).
Conflict Minerals include: columbite-tantalite (“tantalum”), cassiterite (“tin”), wolframite (“tungsten”)
and gold.
In
accordance with Rule 13p-1, Odysight.ai carries out due diligence reasonably designed to (i) identify whether there are any Conflict
Minerals necessary to the functionality or production of products manufactured by Odysight.ai or contracted by Odysight.ai to be manufactured
by third parties, and if so, (ii) determine whether any of such Conflict Minerals originated in the DRC or a Covered Country, or are
from recycled or scrap sources. Odysight.ai has designed its due diligence in accordance with the principles and procedures described
further below, including that suppliers certify to the best of their knowledge the Conflict Minerals status of the components they supply
to us and agree to update us of any future change in such status.
As
a result of Odysight.ai’s due diligence efforts for the year covered by this Report, Odysight.ai has determined, to the best of
its knowledge, that its products, including their components, which consist of miniature cameras and video sensors and complementary
technologies such as processing units and illumination and irrigation mechanisms, as well as their control and video processing units,
may contain Conflict Minerals.
Odysight.ai
has concluded in good faith that, with respect to its products, the potential Conflict Minerals that these final products contain are
“DRC Conflict Undeterminable”. While Odysight.ai takes its Conflict Mineral compliance very seriously, Odysight.ai, as a
purchaser of finished supplies, remains many layers removed from the mining of any potential Conflict Minerals that may be contained
in its final products. Furthermore, Odysight.ai does not buy raw ore or unrefined Conflict Minerals, or make any direct purchases from
the Covered Countries. Thus, Odysight.ai cannot determine the origin of any potential Conflict Minerals that may be in its final products
with any certainty once the raw ores are smelted, refined and converted to ingots, bullion or other Conflict Mineral-containing derivatives.
The smelters and refiners in Odysight.ai’s supply chain — whom Odysight.ai typically does not know, due to being so far removed
from them in the supply chain — are in the best position to know the origin of the ores.
Section
(1) – Due Diligence
Odysight.ai
has taken the following measures to exercise due diligence on the source and chain of custody of the potential Conflict Minerals in its
products:
1. |
Odysight.ai
has established a management system for Conflict Minerals. |
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a. |
Odysight.ai
has adopted and implemented Conflict Minerals compliance policy and procedures. |
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b. |
Odysight.ai
has structured various internal management procedures to support supply chain due diligence. |
2. |
Odysight.ai
has established a cross-functional Conflict Minerals Task Force (the “Task Force”) which meets periodically to
review Odysight.ai’s products and production processes and identify any necessary potential Conflict Minerals related to them.
The Task Force includes the VP Operations, Purchasing Manager, Chief Technology Officer, the Quality Assurance Manager and the Production
Manager. The Task Force may include or consult with other relevant Odysight.ai personnel as necessary. |
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a. |
The
Task Force develops a list of components related to Odysight.ai’s products or production processes which the Task Force believes
may contain a potential Conflict Mineral. The Task Force reviews and updates the list periodically (as its members may deem necessary). |
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b. |
Supplier
information relevant to each of the components is attached to the list. |
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c. |
Odysight.ai
contacts each new supplier of a component or each existing supplier that supplies the Company with a new component to determine whether
the specific component contains a potential Conflict Mineral. |
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d. |
If
it is determined that the component contains a potential Conflict Mineral, or if the supplier is unable to specify if the component
contains a Conflict Mineral, then Odysight.ai will send the supplier a follow-up letter (the “Odysight.ai Supplier Conflict
Minerals Letter”) describing Conflict Minerals and Odysight.ai’s commitment to Conflict Minerals compliance, including
our policy to work to refrain from using smelters or refiners from conflict affected and high-risk areas. The Odysight.ai Supplier
Conflict Minerals Letter requests that the supplier declare to the best of their knowledge the Conflict Minerals status of the component
supplied to us and agree to update us of any future change in such status. The Company certifies and periodically re-certifies its
suppliers on the basis of this and other declarations. |
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e. |
Odysight.ai
follows up with each supplier to whom it sends this follow-up letter, to ensure a response. |
The
Task Force met in 2024 and followed the procedure described above for the year ended 2023. The results of the Task Force inquiry showed
no change from the prior year, meaning that no new components were added to the list of components that may contain Conflict Minerals
and no new suppliers of such components were added to such list.
3. |
Odysight.ai
has adopted a conflicts mineral provision for its quality agreements with critical suppliers which is incorporated into new quality
agreements and inserted into existing quality agreements as they are renewed. |
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4. |
Odysight.ai
has designed and implemented a strategy to respond to identified risks. Odysight.ai’s strategy includes the following: |
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a. |
Odysight.ai
will works with suppliers, if necessary, to identify and use alternate sub-suppliers for any component deemed to include Conflict
Minerals from a Covered Country. |
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b. |
The
Task Force communicates findings of supply chain risk assessment to the VP Operations of Odysight.ai. |
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c. |
Odysight.ai
informs relevant employees as to its Conflict Minerals Policy and has mechanisms in place, including as described in its Code of
Business Conduct and Ethics available on its website, whereby Odysight.ai employees can report violations of policies. |
5. |
Odysight.ai
makes its Conflict Minerals Policy available on its website. |
We
believe that the Conflict Minerals processes outlined above have mitigated the risk that components necessary to the functionality or
production of Odysight.ai’s products contain Conflict Minerals from a Covered Country. Odysight.ai continues to improve its Conflict
Minerals processes by (a) continuing to communicate and work with its direct suppliers to ensure, to the best of Odysight.ai’s
ability, a Conflict Mineral-free supply chain and (b) expanding the number of supplier quality agreements containing a Conflict Minerals
clause. Odysight.ai intends to take additional steps, as needed, to mitigate the risk that the necessary Conflict Minerals contained
in its products benefit armed groups. These steps will encourage suppliers to source from smelters and refiners that are compliant and
to continue to monitor and to improve their own traceability measures.
Section
(2) Product Description and Conclusions
Based
on Odysight.ai’s due diligence, Odysight.ai determined for the period covered by this Report that the Odysight.ai products listed
below contain or have production processes which actually or potentially utilize Conflict Minerals, and that the status of our products
is “DRC Conflict Undeterminable.”
Miniature
video cameras: Odysight.ai has developed and manufactures miniaturized cameras and video sensors and their complementary technologies,
such as processing units and illumination and irrigation mechanisms, as well as their control and video processing units, for use in
various medical procedures and certain specialized industrial applications in the aviation, maritime,
industrial non-destructive-testing industries, transportation, and energy industries. In some cases, these products contain tin
and gold and may contain tantalum, each a Conflict Mineral. In addition, certain of our production processes actually or potentially
utilize Conflict Minerals.
Because
Odysight.ai, as a purchaser of certain finished parts, and its direct suppliers are several layers removed from the mining of any Conflict
Minerals that may be contained in Odysight.ai’s miniaturized video cameras, Odysight.ai is unable to determine the origin of these
minerals with any certainty.
Forward
Looking Statements
Information
set forth in this Conflict Minerals Report contains forward-looking statements within the meaning of safe harbor provisions of the Private
Securities Litigation Reform Act of 1995 relating to future events or our future performance. All statements contained in this Conflict
Minerals Report that do not relate to matters of historical fact should be considered forward-looking statements, including, but not
limited to the Company’s intentions and expectations regarding further supplier engagement, due diligence and risk mitigation efforts
and strategy related to Conflict Minerals. In some cases, you can identify forward-looking statements by terminology such as “may,”
“should,” “expects,” “plans,” “anticipates,” “believes,” “estimates,”
“predicts,” “potential” or “continue” or the negative of these terms or other comparable terminology.
Those statements are based on information we have when those statements are made or our management’s current expectation and are
subject to risks and uncertainties that could cause actual performance or results to differ materially from those expressed in or suggested
by the forward-looking statements. Risks and uncertainties that could cause actual results to differ include, without limitation, risks
and uncertainties associated with the progress of industry and other supply chain transparency and smelter or refiner validation programs
for Conflict Minerals (including the possibility of inaccurate information, fraud and other irregularities), inadequate supplier education
and knowledge, limitations on the ability or willingness of suppliers to provide more accurate, complete and detailed information and
limitations on the Company’s ability to verify the accuracy or completeness of any supply chain information provided by suppliers
or others. Additional factors that could cause actual results to differ from our expectations or projections include the risks and uncertainties
relating to our business described in in “Item 1A. Risk Factors” of our Annual Report on Form 10-K. Except as otherwise required
by law, the Company undertakes no obligation to update publicly the information contained in this Conflict Minerals Report, or any forward
looking statements, to reflect new information, events or circumstances after the date they were made, or to reflect the occurrence of
unanticipated events.
Odysight ai (QB) (USOTC:ODYS)
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