Intel Processor Material Declaration Data Sheets (MDDS)

May 2006
To whom it may concern:
Intel manufactures a wide range of products, from microprocessors, through embedded controllers, up to
complete OEM systems. A large number of subassemblies and components are purchased from other
manufacturers. Intel goes to great lengths to make sure all our products meet applicable legal
requirements, and we continually monitor changes in those requirements. We have surveyed our products,
and to the best of our knowledge, Intel products are in compliance with all applicable national and
international laws and regulations, including those that may restrict the materials content of certain
products.
Intel is frequently asked by its customer base about the presence of certain materials in its products. To
the best of our knowledge, the following materials are not present in Intel products and are restricted by
Intel’s Environmental Product Content Specification for Suppliers and Outsourced Manufacturers
(
http://supplier.intel.com/ehs/environmental.htm):
• Asbestos
• Certain Azo Colorants
• Cadmium compounds (except as a plastic stabilizer where content must be < 100 ppm)
• Mercury compounds
• Ozone Depleting Substances (ODS)
• Polybrominated biphenyls and their ethers (PBB, PBDE)
• Polychlorinated biphenyls and terphenyls (PCB, PCT)
• Polychlorinated napthalenes
• Short-chained chlorinated paraffins
• Tributyl tin (TBT) and Triphenyl tin (TPT)
• Tributyl tin oxide (TBTO)
• Hexavalent chromium
The information provided regarding the material content of our products is true and correct to the best of
our knowledge and Intel has systems and due diligence processes in place to determine the content of our
products and ensure compliance with all applicable laws and regulations. Furthermore, where Intel has
identified products as RoHS compliant in the attached Material Declaration Data Sheets (MDDS), Intel
defines RoHS compliance as Lead and other banned materials in the EU RoHS directive are either (1)
below all applicable substance thresholds as proposed by the EU or (2) an approved exemption applies.
(Note: RoHS implementing details are not fully defined and may change.)
Sincerely,
Linda Young
Product Ecology Program Manager
Intel Corporation
4500 South Dobson Road, Mail Stop: OC4-110
Chandler, Arizona 85248
linda.young@intel.com
http://www.intel.com/intel/other/ehs/product_ecology/
An Equal Opportunity Employer