UNITED STATES
SECURITIES AND EXCHANGE COMMISSION
Washington, D.C. 20549
FORM SD
Specialized Disclosure Report
The Children’s Place, Inc.
(Exact name of the registrant as specified in
its charter)
Delaware |
0-23071 |
31-1241495 |
(State of other jurisdiction of |
(Commission |
(IRS Employer |
incorporation or organization) |
File Number) |
Identification No.) |
500
Plaza Drive, Secaucus NJ |
07094 |
(Address of principal executive offices) |
(Zip code) |
Jared E. Shure, Senior Vice President, General
Counsel and Secretary |
(201) 453-7049 |
(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:
x 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
Item 1.01 Conflict Minerals Disclosure and
Report
Conflict Minerals Disclosure
This Specialized Disclosure Form (“Form
SD”) of The Children’s Place, Inc., together with the associated Conflict Minerals Report (Exhibit 1.01), is filed pursuant
to Rule 13p-1 (the “Rule”) under the Securities Exchange Act of 1934, as amended, for the reporting period from January 1
through December 31, 2023.
A copy of this Form SD and the Conflict Minerals Report is publicly
available at http://corporate.childrensplace.com in the “Corporate Overview” section under the “Investor Relations”
tab and in the section entitled “Financial Info – SEC Filings.”
Item 1.02 Exhibit
The Conflict Minerals Report required by Item
1.01 is filed as Exhibit 1.01 to this Form SD.
Section 2 - Exhibit
Item 2.01 Exhibit
The following exhibit is filed as part of this
report.
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.
THE CHILDREN’S PLACE, INC.
(Registrant)
By: |
/s/
Jared E. Shure |
May
31, 2024 |
(Signature and Title)* |
(Date) |
Name: |
Jared E. Shure |
|
Title: |
Senior Vice President, General
Counsel and Secretary |
|
*Print name and title of the registrant’s signing executive
officer under his or her signature.
Exhibit 1.01
Conflict Minerals Report
THE CHILDREN’S PLACE, INC.
Conflict Minerals Report
For the Year Ended December 31, 2023
SPECIAL NOTE REGARDING FORWARD-LOOKING STATEMENTS
This Conflict Minerals Report contains or may
contain forward-looking statements made pursuant to the safe harbor provisions of the Private Securities Litigation Reform Act of 1995,
including but not limited to statements relating to the Company’s strategic initiatives and results of operations, including adjusted
net income (loss) per diluted share. Forward-looking statements typically are identified by use of terms such as “may,” “will,”
“should,” “plan,” “project,” “expect,” “anticipate,” “estimate,”
and similar words, although some forward-looking statements are expressed differently. These forward-looking statements are based upon
the Company’s current expectations and assumptions and are subject to various risks and uncertainties that could cause actual results
and performance to differ materially. Some of these risks and uncertainties are described in the Company’s filings with the Securities
and Exchange Commission, including in the “Risk Factors” section of its annual report on Form 10-K for the fiscal year ended
February 3, 2024. Included among the risks and uncertainties that could cause actual results and performance to differ materially are
the risk that the Company will be unable to achieve operating results at levels sufficient to fund and/or finance the Company’s
current level of operations and repayment of indebtedness, the risk that the Company will be unsuccessful in gauging fashion trends and
changing consumer preferences, the risks resulting from the highly competitive nature of the Company’s business and its dependence
on consumer spending patterns, which may be affected by changes in economic conditions (including inflation), the risk that changes in
the Company’s plans and strategies with respect to pricing, capital allocation, capital structure, investor communications and/or
operations may have a negative effect on our business, the risk that the Company’s strategic initiatives to increase sales and
margin, improve operational efficiencies, enhance operating controls, decentralize operational authority and reshape the Company’s
culture are delayed or do not result in anticipated improvements, the risk of delays, interruptions, disruptions and higher costs in
the Company’s global supply chain, including resulting from disease outbreaks, foreign sources of supply in less developed countries,
more politically unstable countries, or countries where vendors fail to comply with industry standards or ethical business practices,
including the use of forced, indentured or child labor, the risk that the cost of raw materials or energy prices will increase beyond
current expectations or that the Company is unable to offset cost increases through value engineering or price increases, various types
of litigation, including class action litigations brought under securities, consumer protection, employment, and privacy and information
security laws and regulations, the imposition of regulations affecting the importation of foreign-produced merchandise, including duties
and tariffs, risks related to the existence of a controlling shareholder, and the uncertainty of weather patterns. Readers of this Conflict
Minerals Report are cautioned not to place undue reliance on these forward-looking statements, which speak only as of the date they were
made. The Company undertakes no obligation to release publicly any revisions to these forward-looking statements that may be made to
reflect events or circumstances after the date hereof or to reflect the occurrence of unanticipated events.
1. Introduction
This Conflict Minerals Report has been prepared
by The Children’s Place, Inc. and its subsidiaries (herein referred to as “The Children’s Place,” the “Company,”
“we,” “us,” or “our”) pursuant to Rule 13p-1 (the “Rule”) promulgated under the Securities
Exchange Act of 1934, as amended, for the reporting period from January 1 through December 31, 2023 (the “Reporting Period”).
The Children’s
Place, Inc. and its subsidiaries operate an omni-channel children’s specialty portfolio of brands with an industry-leading digital-first
operating model. The Company designs, contracts to manufacture, and sells fashionable, high-quality apparel, accessories and footwear
predominantly at value prices, primarily under the Company’s proprietary brands: “The Children’s Place”, “Gymboree”,
“Sugar & Jade”, and “PJ Place”. As of February 3, 2024, the Company had a total of 523 stores in the
United States, Canada, and Puerto Rico, online stores at www.childrensplace.com and www.gymboree.com, and the Company’s
six international franchise partners operated 225 international points of distribution in 16 countries.
The Rule requires companies to disclose their
use of conflict minerals (as defined below) if those minerals are “necessary to the functionality or production of a product”
manufactured or contracted to be manufactured by those companies. The conflict minerals covered by the Rule are tantalum, tin, gold,
tungsten (“3TG”) or any other mineral or its derivatives determined by the U.S. Secretary of State to be financing conflict
in the Democratic Republic of the Congo or an adjoining country, i.e., any of Angola, Burundi, Central African Republic, Republic
of the Congo, Rwanda, South Sudan, Tanzania, Uganda, and Zambia (collectively, the “Covered Countries”).
The Company has determined that it contracts
to manufacture certain products for which one or more of the 3TG metals are necessary to the functionality or production of those products.
Accordingly, the Company conducted a reasonable country of origin inquiry (or “RCOI”) and due diligence as required by the
Rule.
2. Reasonable Country of Origin Inquiry
The Company is far removed from the sources of
ore from which minerals are produced, and the smelters or refineries (“SORs”) that process those ores. The efforts undertaken
to identify the country(ies) of origin of those ores reflect the Company’s circumstances and position in the supply chain. The
Company must rely on information obtained from direct suppliers, who in turn, must obtain information from upstream suppliers, on the
origin of the 3TG used in the products manufactured for the Company. Such information may be inaccurate or incomplete.
The Company has a conflict minerals team (or
“CMT”) that manages the implementation and progress of its RCOI and due diligence efforts. The team is composed of representatives
from the Company’s legal and global sourcing departments, as well as a conflict minerals third-party service provider (the “CMT
Service Provider”).
As part of the Company’s RCOI process,
the Company developed a risk-based approach that focused on direct suppliers of finished products, as well as suppliers that are reasonably
likely to supply components or trims containing one or more of the 3TG metals (together, the “In-Scope Suppliers”) which
could have originated from the Covered Countries.
In-Scope Suppliers were asked to complete the
Conflict-Free Sourcing Initiative’s Conflict Minerals Reporting Template (the “CMRT”). Only CMRT’s version 4.0
or higher were accepted. The Company believes that the CMRT is generally regarded as the most common reporting tool for conflict minerals
content and sourcing information worldwide, developed by several of the world’s leading consumer electronics brands. As such, the
Company believes the process was reasonably designed and performed in good faith.
The CMRT includes questions regarding the presence
and sourcing of 3TG used in the products supplied to the Company, the In-Scope Supplier’s conflict minerals policy, due diligence
process, and information about its supply chain, including the names and locations of SORs.
The CMRT responses were evaluated for plausibility,
consistency, and gaps. Based on the In-Scope Supplier’s response, additional follow-up was performed, as necessary.
The response rate among In-Scope Suppliers was
58%.
Of those responding In-Scope Suppliers, 0% reported
one or more of the 3TG metals as necessary to the functionality or production of the products they manufactured for the Company. Based
on the responses received, the Company was unable to confirm or form the basis for a reasonable belief whether any of the 3TG metals
used in products manufactured for the Company originated from the Covered Countries, or came from recycled or scrap sources.
A description of the standard due diligence process
undertaken by the Company to ascertain the chain and custody of any identified 3TG metals is described below.
3. Due Diligence
A. Design
of Due Diligence
The Company’s due diligence measures are
designed to conform, in all material respects, with the due diligence framework presented by the Organisation for Economic Co-operation
and Development (“OECD”) in the publication OECD Due Diligence Guidance for Responsible Supply Chains of Minerals from
Conflict-Affected and High-Risk Areas: Second Edition, OECD Publishing (OECD Guidance) and related Supplements on Tin, Tantalum,
and Tungsten and on Gold.
B. Due
Diligence Performed
The Company performed its due diligence as follows:
Step 1: Establish a Strong Company Management
System
Policies and Procedures
The Company communicated its conflict minerals
policy to all In-Scope Suppliers. In addition, the Company’s terms and conditions contain provisions regarding conflict minerals
compliance. In-Scope Suppliers are required to comply with the conflict minerals policy and the terms and conditions.
Internal Team
As mentioned above, the Company has a conflict
minerals team that manages the implementation and progress of its RCOI and due diligence efforts.
Control Systems
The Company has in place the following controls:
(i) a company-wide business code of conduct that outlines expected behaviors for all Company associates, and (ii) a vendor code of conduct
that outlines expected behavior and working conditions for vendors and suppliers.
Maintain Records
The Company has a records retention policy that
provides that relevant materials must be preserved for appropriate periods.
Supplier Engagement
The Company utilized members of its global sourcing
team and the CMT Service Provider to engage with In-Scope Suppliers on the exchange of supply chain and conflict minerals related information.
Step 2: Identify and Assess Risks in the Supply
Chain
If there were any In-Scope Suppliers who identified
the use of one or more 3TG metals in products supplied to the Company, further investigation would be performed to determine the source
and chain-of-custody of the 3TG, and specifically, whether the SOR of the 3TG is known or thought to be sourcing from the Covered Countries.
The following internationally accepted audit
standards are relied on to determine which SORs are considered “DRC Conflict Free”: the Responsible Minerals Assurance Process
(“RMAP”), the London Bullion Market Association Good Delivery Program (“LBMA”) and the Responsible Jewellery
Council Chain-of-Custody Certification (“RJC”).
If the SOR is not certified by an internationally-recognized
scheme, additional research (internet, industry and government associations) and outreach (email and telephone) with the SOR would be
performed to confirm the data provided in the CMRT and to gain more information about their sourcing practices, including countries of
origin and transfer, and whether there were any internal due diligence procedures in place or other processes the SORs took to track
the chain-of-custody on the source of its mineral ores.
Step 3: Design and Implement a Strategy to
Respond to Risks
The CMT received regular updates on the RCOI
and due diligence efforts. Findings were reported to senior management.
Where the Company determines an In-Scope Supplier
is using conflict minerals in products manufactured for the Company, the Company will work with the In-Scope Supplier to ensure the minerals
are sourced from registered conflict free smelters or the minerals are eliminated from use. During the Reporting Period, there were no
instances that required the Company to implement risk mitigation efforts, temporarily suspend trade or disengage with a supplier for
sourcing and using conflict minerals in products manufactured for the Company.
Step 4: Carry out independent third-party
audit of smelter/refiner’s due diligence at identified points in the supply chain
The Company does not have a direct relationship
with SORs and therefore does not perform or direct audits of these entities.
Step 5: Reports on Supply Chain Due Diligence
This Conflict Minerals Report constitutes the
Company’s annual report on its conflict minerals due diligence. The Report is available at http://corporate.childrensplace.com
in the “Corporate Overview” section under the “Investor Relations” tab and in the section entitled “Financial
Info – SEC Filings.”
C. Due
Diligence Findings
Given the Company’s position in the supply
chain and the CMRT responses from In-Scope Suppliers, the Company is unable to determine whether the 3TG present in its products originated
in the Covered Countries or financed or benefited armed groups in those countries.
Product Description
The products at issue are children’s apparel,
accessories and footwear.
Country of Origin
For the Reporting Period, none of the respondents
indicated that they supplied the Company with products containing 3TG. As a result, there was no data available to conduct further diligence
into the country of origin of any 3TG.
Independent Private Sector Audit
For the Reporting Period, the company is not
required to obtain an independent private sector audit of the Conflict Minerals Report.
4. Steps to Improve Due Diligence
The Company continues to take the following steps
to improve due diligence processes in place, namely:
| · | Continue
engagement with In-Scope Suppliers and direct them to information and training resources
in order to improve the content of the In-Scope Suppliers CMRT responses; |
| · | Continue
to require In-Scope Suppliers not to use any conflict minerals in products manufactured for
the Company; and |
| · | Work
with In-Scope Suppliers, if found to be providing the Company with components or materials
containing minerals from sources that support conflict in the Covered Countries, to establish
an alternative source of minerals that does not support such conflict. |
Childrens Place (NASDAQ:PLCE)
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Childrens Place (NASDAQ:PLCE)
過去 株価チャート
から 1 2024 まで 1 2025