SEIKOM-Electronic is committed to protecting people and the environment by avoiding hazardous substances in our products. We source responsibly and manage optimize our waste, sorting and recycling processes whenever possible.

We meet local and international requirements on chemicals, waste and sourcing.


SEIKOM-Electronic meets the requirements of European Union Regulation EC 1907/2006 with amendments, REACH (Registration, Authorisation and Restriction of Chemicals).

We are constantly working with our suppliers to keep track of chemicals in products.

As part of a sustainable strategy, we monitor the status of REACH and Substances of Very High Concern (SVHC) in components. We will act according to regulation EC 1907/2006 if SVCH is used in concentrations above stated limits.


SEIKOM-Electronic meets the requirements of RoHS3, meaning the Restriction of Hazardous Substances Directives 2011/65/EU (RoHS2) with amendments, including Directive 2015/863/EU (RoHS3).

Generally, our products fall under category 9: Monitoring and Control Instruments.

While we produce spare parts for products put on the market before 2006 which are exempt from the RoHS directive, we continue to adjust our processes, materials, etc. to make all our products comply with the RoHS directive.


SEIKOM-Electronic meets the requirements of WEEE (Waste Electrical and Electronic Equipment Directive), which stipulates the collection and recycling of all kinds of electronic waste and prompts manufacturers to collect and dispose of electronic waste.

We fulfill our obligations through collaboration with BellandVision. We are registered with LUCID (Stiftung Zentrale Stelle Verpackungsregister) under registration no. DE594 585 250 222 9.

Sorting and recycling

We have strict in-house procedures for waste management, meeting or exceeding all requirements from local and national authorities.

Conflict minerals

You can be sure that the minerals in your products are sourced with due respect for human rights and the need to avoid contributing to conflicts.

The so-called conflict minerals pose a specific challenge, as mentioned in the U.S. Dodd-Frank Act, section 1502, and in Regulation (EU) 2017/821. We aim to avoid that any of these minerals used in our products are sourced in a way that finances conflicts in the Democratic Republic of Congo or adjoining countries. As we do not source any of these minerals directly, our efforts focus on ensuring that our suppliers are as committed as we are.