0001466593-23-000132.txt : 20230525 0001466593-23-000132.hdr.sgml : 20230525 20230525113948 ACCESSION NUMBER: 0001466593-23-000132 CONFORMED SUBMISSION TYPE: SD PUBLIC DOCUMENT COUNT: 2 13p-1 1.01 20221231 1.02 20221231 FILED AS OF DATE: 20230525 DATE AS OF CHANGE: 20230525 FILER: COMPANY DATA: COMPANY CONFORMED NAME: Otter Tail Corp CENTRAL INDEX KEY: 0001466593 STANDARD INDUSTRIAL CLASSIFICATION: ELECTRIC SERVICES [4911] IRS NUMBER: 270383995 STATE OF INCORPORATION: MN FISCAL YEAR END: 1231 FILING VALUES: FORM TYPE: SD SEC ACT: 1934 Act SEC FILE NUMBER: 000-53713 FILM NUMBER: 23958082 BUSINESS ADDRESS: STREET 1: 215 S CASCADE ST STREET 2: PO BOX 496 CITY: FERGUS FALLS STATE: MN ZIP: 56538-0496 BUSINESS PHONE: 866-410-8780 MAIL ADDRESS: STREET 1: 215 S CASCADE ST STREET 2: PO BOX 496 CITY: FERGUS FALLS STATE: MN ZIP: 56538-0496 FORMER COMPANY: FORMER CONFORMED NAME: Otter Tail Holding Co DATE OF NAME CHANGE: 20090618 SD 1 a2023formsdconflictminerals.htm SD Document

UNITED STATES
SECURITIES AND EXCHANGE COMMISSION
WASHINGTON, D.C. 20549
FORM SD
SPECIALIZED DISCLOSURE REPORT

OTTER TAIL CORPORATION
(Exact name of registrant as specified in its charter)

Minnesota
(State or other jurisdiction of incorporation or organization)
0-53713
(Commission File Number)
27-0383995
(I.R.S. Employer Identification No.)
215 South Cascade Street, P.O. Box 496, Fergus Falls, MN 56538-0496
(Address of principal executive offices, including zip code)
Jennifer O. Smestad, Esq.
Vice President, General Counsel and Corporate Secretary
215 South Cascade Street, Box 496
Fergus Falls, Minnesota 56538-0496
(866) 410-8780
(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, 2022.





Section 1.01 and 1.02 – Conflicts Minerals Disclosure
Items 1.01 and 1.02 – Conflicts Minerals Disclosure and Report Exhibit
This Form SD and the Conflict Minerals Report, filed as Exhibit 1.01 hereto, are publicly available on our website under Investors, SEC Filings, Form SD at the website www.ottertail.com as well as the SEC’s EDGAR database at www.sec.gov. The content of any website referred to in this Form SD is included for general information only and is not incorporated by reference in this Form SD.
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 undersigned, thereunto duly authorized.

OTTER TAIL CORPORATION
Date: May 25, 2023By:/s/ Jennifer O. Smestad
Jennifer O. Smestad
Vice President, General Counsel and Corporate Secretary
                

EX-1.01 2 a2023formsdconflictmineral.htm EX-1.01 Document

Exhibit 1.01
Conflict Minerals Report
Otter Tail Corporation
For the Year Ended December 31, 2022
Introduction
This report for the year ended December 31, 2022 is made by Otter Tail Corporation (the Company) in compliance with 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 conflict minerals as directed by the Dodd-Frank Wall Street Reform and Consumer Protection Act of 2010 (Dodd-Frank Act). The Rule imposes certain reporting obligations on SEC registrants whose manufactured products contain conflict minerals that are necessary to the functionality or production of their products. Conflict minerals are defined as cassiterite, columbite-tantalite, gold, wolframite and their derivatives, which are limited to tin, tantalum, tungsten and gold (3TG). These requirements apply to registrants regardless of the geographic origin of the conflict minerals and whether or not the trading in those minerals benefits armed groups.
If a registrant has reason to believe that any of the conflict minerals in its supply chain may have originated in the Democratic Republic of the Congo (DRC) or an adjoining country (the Covered Countries), or a registrant is unable to determine the country of origin of those conflict minerals, then the registrant must exercise due diligence on the source and chain of custody of those conflict minerals. The registrant must annually submit a specialized disclosure (Form SD) and Conflict Minerals Report (CMR) to the SEC that includes a description of those due diligence measures.
The Company has subsidiary companies operating on two platforms, electric and manufacturing. The Company’s electric utility subsidiary operates in three states serving over 400 communities. The Company’s subsidiary companies in its manufacturing platform provide metal fabrication services, thermoformed and extruded plastic products as well as polyvinyl chloride (PVC) pipe manufacturing. Of the products produced by the Company, conflict minerals, particularly tin, is necessary to the functionality or production of PVC pipe. The Company’s two PVC pipe companies have two suppliers which supply them with the product containing tin. The compound containing tin used in the manufacture of PVC pipes may well not be subject to the reporting rule because the compounds are chemically distinct from metals.
Management Systems
The Company’s policy and procedure are guided by the extreme limited use of conflict minerals. Its goals to hold itself and suppliers accountable for responsibly sourcing conflict minerals. The goals are reasonable and achievable. Based on the Company’s limited use of conflict minerals and the prior Reasonable Country of Origin Inquiries, the Company has relied on its guiding principles - particularly its commitment to integrity, people and our community to form the basis for its program.
The Company’s internal team consists of relevant subject matter experts from the functional areas including legal, accounting, engineering and procurement within its various companies. The Company’s supply chain consortium was important in implementing the Company’s conflict minerals program.
The Company has established a system to engage relevant first-tier suppliers, who provide materials containing conflict minerals. With the limited number of suppliers, the transparency of the supply chain allows the identification of all smelters in the supply chain in most instances. Additionally, the Company’s subsidiary companies which do not use conflict minerals, but are involved in metal fabrication, monitor their supply chain for conflict minerals.
The Company has enlisted the assistance of its relevant suppliers to execute its conflict minerals program. The Company has set expectations with regard to its suppliers through its disclosure requirements to ensure compliance with obtaining the required information necessary to support the Company’s compliance with the Rule. The Company’s relationships with its suppliers have been instrumental in helping the Company meet the requirements of the Rule and the Organization for Economic Co-operation and Development ("OECD") guidance.
Reasonable Country of Origin Inquiry
The Company is many steps removed from the mining of conflict minerals. The Company has conducted an analysis of our products and found that, although we do not directly purchase minerals from our suppliers, we do purchase materials that contain conflict minerals, particularly identified as tin. We rely on our Tier 1 suppliers to provide information on the origin of the conflict minerals contained in components that are necessary to the functionality or production of our products by utilizing the Conflict Minerals Reporting Template (CMRT) of the Responsible Minerals Initiative (RMI), which allows us to perform our Reasonable Country of Origin Inquiry (RCOI).
Due Diligence
The Company’s due diligence is designed to conform to the OECD framework. The Company’s due diligence process includes requesting its supplier of products containing tin to complete the CMRT survey in order to obtain information about the smelters or refiners in the Company’s supply chain. The Company has determined that these actions represent the most reasonable effort the Company can make to determine the mines or locations of origin of the 3TG minerals in our supply chain.
The Company’s two suppliers provided lists of all the smelters used in their supply chains. These suppliers represented that all of the smelters on their smelter list are on the list of smelters conformant with the relevant "Responsible Minerals Assurance Process" (RMAP) assessment protocol with the exception of one smelter, which was not audited by a third party The reason for the lack of audit is unknown but may be attributable to, among other reasons,the smelter has gone out of operation before completing a third party audit, the smelter has not gone through a third party audit, or the third party audit does not yet include reporting of country of origin information. As part of our due diligence process, the Company will



engage our tier 1 supplier, engaging them to conduct additional research on whether this facility is, in reality, present in our supply chain. If we determine that material sourced from this facility is present in the Company's supply chain, we will work with our supplier to explore alternatives. The Company used public sources to confirm that the smelters listed are compliant with the relevant RMAP assessment protocol.
Determination
Based on the information provided by the Company’s suppliers, the Company believes the facilities that have been used to process the tin used in the production of its PVC pipe products include RMAP assessment protocol smelters listed in Appendix I below..
Steps for Risk Mitigation
The Company plans to undertake the following steps, or continue the following practices, during 2023 to improve its due diligence in order to further mitigate the risk that the material containing conflict minerals necessary to the functionality or production of its products does not benefit armed groups in the Covered Countries:
1.Continue dialogue with relevant suppliers to gain a common understanding of the importance of compliance in satisfying the Company’s requirements under the Rule.
2.Continue using current processes within the Company’s supply chain organization in working with suppliers to obtain required information.
3.Review third party programs as necessary to further improve the Company’s conflict mineral process in obtaining accurate and complete information.










APPENDIX I
MineralSmelter NameCountry Location of Smelter
MineralSmelter NameCountry Location of Smelter
CID001105TinMalaysia Smelting Corporation (MSC)MALAYSIA
CID003582TinFabrica AuricchioBRAZIL
CID002455TinCV Venus Inti PerkasaINDONESIA
CID001182TinMinsurPERU
CID001482TinPT Timah Tbk MentokINDONESIA
CID001460TinPT Refined Bangka TinINDONESIA
CID001453TinPT Mitra Stania PrimaINDONESIA
CID001477TinPT Timah Tbk KundurINDONESIA
CID001399TinPT Artha Cipta LanggengINDONESIA
CID002835TinPT Menara Cipta MuliaINDONESIA
CID003381TinPT Rajawal Rimba PerkasaINDONESIA
CID003380TinPT Masbro Alam StaniaINDONESIA
CID001406TinPT Babel Surya Alam LestariINDONESIA
CID003449TinPT Mitra Sukses GlobalindoINDONESIA
CID002570TinCV Ayi JayaINDONESIA
 CID002180TinTin Smelting Branch of Yunnan Tin Co. Ltd.CHINA
CID001070TinChina Tin Group Co., Ltd.CHINA
 CID000438TinEmpresa Metalurgica VintoBOLIVIA
 CID001337TinOperaciones Metalurgicas S.A.BOLIVIA