How is Cisco impacted by REACH (pre-)registration obligations?
Cisco does currently neither manufacture nor import any chemical substances into the EEA on their own or in preparations in quantities of 1 tonne or more per year. In addition, Ciscos EEA-produced and imported articles do not contain chemical substances intended to be released during the normal and reasonably foreseeable conditions of the products use as defined by the REACH Regulation and existing guidance. Therefore, Cisco did and does not currently have a direct REACH obligation to pre-register and potentially register substances, but has been and will continue closely working with EEA-based suppliers to ensure they are in compliance with REACH pre-registration obligations, directly or via an actor within their supply chain, and that substances, and suppliers and Ciscos uses, will be registered within the specified timeframes, and properly assessed during registration, by suppliers or an actor further up their supply chain. Cisco will continue seeking guarantees that suppliers compl
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