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TPSM5D1806: TPSM5D1806RDBR

Part Number: TPSM5D1806

Hello,

SiliconExpert Technologies has been contracted by our customer to work with their suppliers to collect component information.

We would appreciate your support to provide us with the required information indicated below:

> Regarding this part number "TPSM5D1806RDBR"

-Please help us know if this part is affected by any of the SVHC materials listed in the latest REACH version (REACH 235 - published in Jun-2023) or not based on new article Definition (O5A) , and if so, kindly mention the SVHC material name affecting the part and its concentration.

-This substance \""Lead oxide(PbO) in Glass\"" has blank CAS number in this material declaration

download.siliconexpert.com/.../tpsm5d1806rdbr-material-content-data.xlsx

but when we checked this substance we found that this is for \""1317-36-8\"" CAS Number, so we need to check this with you, please give us the updated material declaration for the part after updating this substance by the correct CAS.

Thanks!

  • Let me work with my product engineering team on this request 

  • Our environmental compliance team send me this link that covers the Lead in Glass queries 

    https://www.ti.com/lit/cr/szzq087ai/szzq087ai.pdf

  • Additional comments from environmental compliance team. 

    This one can be confusing because the application or state of the Pb Oxide being embedded in glass is treated differently than if the Pb Oxide existed in pure form. 

     

    • When the Pb is present as “lead-in-glass” it is still covered under RoHS exemption 7(c)-I for the purposes of RoHS compliance
    • HOWEVER, according to guidance from the EU REACH committee, it is not considered to be a REACH SVHC when present in this state.
      • This is because the Pb content is completely bound in the glass, is not recoverable for recycling and presents no environmental hazards.
    • There is no unique CAS number for Pb Oxide when the use case is “Lead-in-Glass”  If we declare it to be pure Pb Oxide using CAS# 1317-36-8 it would appear to require declaration as a REACH SVHC and be reportable in SCIP