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U.S. EPA Moving Toward Risk Management Deliberations on Toxic Chemicals

Oct 13, 2020
| By Kelly Scanlon

Key Summary

• EPA is entering a critical TSCA phase where it will propose risk management rules for chemicals used in electronics
• Ten chemical evaluations are concluding while twenty more are beginning, creating parallel regulatory cycles
• EPA has already identified unreasonable risks for methylene chloride, 1-bromopropane, and HBCD in electronics uses
• Upcoming risk management rules may restrict manufacturing, processing, disposal, or communication practices
• IPC urges companies to share data now to help shape practical, effective chemical regulations


The U.S. Environmental Protection Agency (EPA) is approaching a critical phase of deliberations under the Toxic Substances Control Act (TSCA), and the next several steps in the process will have major ramifications for electronics manufacturers, who need to focus on this issue now to protect their own long-term interests and help IPC advocate for the industry.

The EPA’s process for assessing and managing risks from existing chemicals has three basic steps: prioritization, risk evaluation, and risk management.

Currently, there are two cycles of this three-step process happening at the same time, for two different sets of chemicals. In the first cycle, EPA is nearing the completion of 10 risk evaluations; in the second cycle, EPA is just beginning the risk evaluations for 20 more high-priority chemical substances.

Just over the horizon, the EPA will begin to consider and then propose actual risk management strategies for the first 10 of these chemicals. By law, the EPA is required to take action to address such risks within two years after a risk evaluation is published. This will be the first time that the EPA is doing risk management under the 2016 amendments to TSCA, so it’s a unique opportunity to get involved.

Thus, now is the time for our industry to get organized, collaborate, and prepare to advocate our views on how the EPA should address any unreasonable risks to human health and the environment. The EPA is seeking input from us, and our expertise will be critical to forging smart solutions to manage and address risks.

Which chemicals are we talking about?

Since June 2020, the EPA has published three final risk evaluations for:

  • methylene chloride (CAS 75-09-2);
  • 1-bromopropane (CAS 106-94-5); and
  • cyclic aliphatic bromide cluster chemicals (CASRN 25637-99-4, 3194-55-6, and3194-57-8), including hexabromocyclododecane (HBCD).

Notably, each of these risk evaluations mentions the use of these chemicals in electronics.

  • For methylene chloride, the EPA has determined that the use of this chemical as a solvent in industrial processes where electronics equipment, appliance, and component manufacturing takes place presents an unreasonable risk of injury to human health.
  • For 1-bromopropane, the EPA has determined that the use of this chemical as a solvent for cleaning or vapor degreasing in the manufacturing of electrical equipment presents unreasonable risks of injury to human health.
  • For HBCD, the EPA has determined that the use of this chemical in solder paste or flux presents an unreasonable risk to the environment.

To manage unreasonable risks, the EPA has several regulatory options at its disposal, including the ability to prohibit, limit, or otherwise restrict their manufacture, processing, or distribution for particular uses; to regulate the manner or method of their disposal; to regulate how risks are communicated to consumers and various supply chain actors; and/or to require monitoring, testing, and recordkeeping.

If you have information that is relevant to these proceedings, we need to hear from you. Specifically, if you have information on safe and essential uses; on safe and effective alternatives; or on uses that have been phased out or can be phased out; then now is the time to get ready to work with IPC and engage with the EPA. 

The IPC Government Relations team will facilitate and coordinate a unified industry response. Ultimately, the EPA needs our knowledge and expertise to arrive at solutions that protect human health and the environment and enable our industry to thrive.

Posted in
Advocacy
EHS
Toxic Chemicals
Q:
What TSCA steps is the EPA taking that affect electronics manufacturers?
A:

EPA is finishing risk evaluations for 10 chemicals and beginning evaluations for 20 more. It will now develop risk management proposals for chemicals that present unreasonable risks, which could directly impact electronics manufacturing materials and processes.
 

Q:
Which chemicals has EPA identified as risky for electronics applications?
A:

EPA found unreasonable risks for methylene chloride, 1-bromopropane, and HBCD. These chemicals appear in solvents, cleaning processes, vapor degreasing, solder paste, and flux used in electronics production.
 

Q:
How could future TSCA risk management rules impact electronics operations?
A:

EPA may prohibit or restrict manufacturing, processing, or distribution, require new disposal methods, impose communication rules, or mandate monitoring and recordkeeping. These measures could require changes to processes or materials in electronics manufacturing.
 

Q:
Why does the electronics industry need to engage with EPA now?
A:

This is EPA’s first full risk management cycle under the updated TSCA framework. Industry expertise on safe uses, alternatives, and phased-out applications is essential to ensure rules are science-based, workable, and aligned with manufacturing realities.
 

Q:
How will IPC support companies throughout the TSCA risk management process?
A:

IPC will coordinate a unified industry response, collect relevant data, and advocate for balanced solutions that protect health and the environment while supporting a strong, innovative electronics manufacturing sector.

  • Read more about U.S. EPA Moving Toward Risk Management Deliberations on Toxic Chemicals
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EU Strives for “Strategic Autonomy;” France Offers Grants for Electronics Manufacturing Projects

Oct 07, 2020

Key Summary

• EU leaders prioritize “strategic autonomy” to reduce reliance on foreign suppliers revealed during COVID-19
• Recovery and Resilience Facility dedicates major funding to digital transition, including 5G, AI and microelectronics
• EU urges Member States to align national recovery plans with goals for resilience, climate action and digital investment
• France launches €100B Recovery Plan with grants for reshoring and strengthening electronics manufacturing
• Eligible French projects include new production units, upgrades for flexibility, industrial-scale technology deployment and PCB manufacturing


When European Commission President Ursula von der Leyen unveiled her €750 billion Recovery and Resilience Facility (RRF) to help the European Union recover from the COVID-19 pandemic, she stressed that “strategic autonomy” must be at the heart of the EU’s response. As was also seen in North America, the COVID-19 crisis revealed the EU’s dependence on other regions for critical goods, including raw materials, medicines, and medical supplies.

More recently, during the European Council meeting on 1-2 October, national leaders concluded that “achieving strategic autonomy while preserving an open economy” was a key objective of the Union. They called on the European Commission to identify and address various strategic dependencies by diversifying production and supply chains, “especially for microprocessors,” as well as by fostering production and investment in Europe. About the same time, European Council President Charles Michel stressed that the notion of strategic autonomy should not equate to protectionism, but rather it should translate into the dissemination of European standards and values around the world.  

EU leaders have also agreed to focus on the development of next generation digital technologies, including accelerating the deployment of 5G, supercomputers, blockchain, and human-centered artificial intelligence. To help achieve these objectives, EU leaders reiterated that at least 20 percent of the funds under the RRF should be made available for the digital transition, including funds for small and medium-sized enterprises.

To encourage national capitals to draw up recovery plans in line with the overarching goal of more autonomy, the Commission has proposed certain guidelines for Member States. For example, to foster resilience and autonomy at the national level, the guidelines recommend a minimum of 37 percent of expenditures related to climate objectives and 20 percent related to the digital transition.


French Plan Includes Electronics Manufacturing Among Strategic Industries  

In line with the EU’s call for greater autonomy, the government of France’s €100 billion Recovery Plan aims to encourage the reshoring and strengthening of key sectors including electronics manufacturing. A call for specific investment proposals was issued on August 31 and is open through November 17. Projects aimed at strengthening the capacity of electronic manufacturing companies to respond to crisis situations will be given priority. Annex 3 of the document provides a non-exhaustive list of activities that may qualify, such as:

  • The creation of new production units;
  • Investments in existing production units to make them more productive and flexible;
  • The development and implementation of new technologies on an industrial scale; and
  • Manufacturing of printed circuit boards, as well as assembly services.

The French plan includes a total of 13 criteria that businesses must meet to qualify for financial support.

How would these proposals and plans affect your company? We would love to hear from you on this and any other EU policy issues of concern. Please reach out to me at AlisonJames@ipc.org with any questions, issues or comments.

Posted in
Advocacy
Advocacy
EU policy
Q:
Why is the EU focused on strategic autonomy?
A:

The COVID-19 crisis exposed how dependent the EU is on foreign suppliers for critical materials and technologies. Strategic autonomy aims to strengthen domestic capabilities, diversify supply chains, and ensure Europe can produce essential goods like microprocessors, electronics components and digital infrastructure without major vulnerabilities.
 

Q:
How does the Recovery and Resilience Facility support electronics manufacturing?
A:

The RRF directs large portions of funding toward digital transformation, including next-generation technologies such as 5G, AI, high-performance computing and microelectronics. These investments are intended to help EU industries reduce reliance on external suppliers and increase manufacturing capacity across critical technology sectors.
 

Q:
What kinds of projects qualify for France’s electronics manufacturing grants?
A:

France prioritizes projects that expand production capacity, increase manufacturing flexibility, or industrialize new technologies. Examples include new production units, upgrades to existing facilities, advanced automation, and capabilities for PCB fabrication and electronics assembly. The goal is to strengthen domestic resilience and reduce supply chain risks.
 

Q:
How will these initiatives impact electronics manufacturers in the EU?
A:

Manufacturers may benefit from new funding opportunities, reshoring incentives and infrastructure development that support advanced production capabilities. However, companies may need to align operations with EU policy priorities, meet sustainability targets, and participate in regional supply-chain strengthening efforts to remain competitive.
 

Q:
What should companies do to prepare for upcoming EU policies?
A:

Electronics companies should evaluate their current supply chain vulnerabilities, identify opportunities for EU-aligned investments, and determine whether their operations meet new resilience, digitalization and sustainability expectations. Engaging early with national programs, industry associations and EU consultations can help companies shape policies and secure available funding.

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How do European Policy Initiatives Impact Electronics Manufacturing Competitiveness?

An interview with Alison James, IPC Europe
Oct 06, 2020
| By Sandy Gentry

Key Summary

• IPC Europe is navigating COVID-19 impacts while continuing virtual engagement with EU institutions
• EU policy priorities are shifting toward recovery, digitalization, and climate goals that influence electronics manufacturing
• Sustainability, circular economy rules, and expanded reporting requirements pose major challenges to the sector
• EU recovery plans create opportunities for advanced manufacturing, digital technologies, and low carbon production
• Supply chain transparency initiatives like REACH and SCIP require collaboration across electronics manufacturing networks


Curious about what’s happening in IPC Europe? IPC blog staff took the opportunity to talk to Alison James, senior director, IPC Europe, Government Relations, about the European response to COVID-19, as well as other issues facing the European electronics manufacturing industry.

Q: How are you settling into your role as senior director of IPC Europe? We know that the pandemic is making all of us do our jobs differently, but what specific changes has IPC Europe experienced because of COVID-19?

AJ: I am settling in very well and delighted to be part of a versatile team. I joined IPC at the end of 2019 and was lucky enough to be able to attend IPC APEX EXPO before the pandemic with IPC’s government relations team led by Chris Mitchell. That was an important start to have time with IPC’s executives, to meet members and to see the evolving technologies. Government relations relies on understanding the business and its strategic direction and translating that into objectives regarding anticipated legislation. I was intending a few rounds of European EMS and PCB site visits this year, but all meetings have of course become virtual. However, it has been impressive that contact with European institutions has continued well under changing circumstances. On the policy side, we have seen a re-focusing of governments on managing the pandemic in the immediate term which has shifted policy priorities. Policy going forward will be viewed through the lens of recovery.

Q: Can you provide us with information on the top industry challenges facing IPC Europe? How does your background with the EU help you find solutions to those challenges?

AJ: Prior to joining IPC, I spent 20 years heading up the public affairs departments for a range of technology companies from Kodak to Microsoft to Hollywood studios. Before that I also worked for the European Commission. Europe has its own particular set of challenges and sensitivities.  When it comes to legislation, the EU is leading the way in quite a few areas. That has always been the case in the environmental field and even more so now with Europe’s Green Deal and move towards a circular economy.

All of this implies longer term change for the electronics industry in materials used and a significant increase in reporting requirements in the shorter term. We control the sails but not the wind, meaning that EU legislation will come, but our government relations function is here to speak for the industry, mitigate costs as much as possible and work with the legislators towards solutions that are workable and do not compromise on safety or reliability. There are a high number of policy initiatives underway here that directly or indirectly impact the competitiveness of our sector. We have a European industrial policy under development and an effort towards broad-scale digitalization of infrastructure and processes. Considering COVID-19, much is up for review and we certainly see a new spotlight on supply chains and an increased focus on re-shoring and regionalization.  In addition, there is a review of Europe’s trade policy which can have a substantial impact on businesses and their sourcing and manufacturing strategy. Consequently, it will impact their global supply chains. It’s important that electronics manufacturing can benefit from the push towards digitalization and automation and that future policy here provides a needed boost for our sector in this region. My background helps me to approach industry issues in a holistic way; to understand the different components of the ecosystem and integrate business demands into policy objectives together with the GR team and members’ expertise. To enable a cross-functional approach to deal with multilayered matters.

Q: How does the EU’s Climate-Focused Recovery Plan affect the European electronics manufacturing industry?

AJ: I’ll break this down into a few answers. Firstly, I would say that the EU’s climate focus was already there before the pandemic. Secondly, there are also opportunities in greater production of low carbon technologies from green mobility to energy and beyond. The details of the package still need to be agreed on by the EU Member States. Thirdly, the recovery plan is not all climate focused. Let’s not forget the shorter-term measures that have enabled flexibility for manufacturers in financing short time work schemes, the loans and grants that have been provided at Member State level. The Recovery Plan is also a stimulus for Member States to invest in digital infrastructure and technologies as the EU’s direction for the future is both green and digital. Hence there are opportunities as well as challenges for the European electronics manufacturing industry.

Q: What opportunities exist for manufacturers to align their factories with the European recovery plan?

AJ: The opportunity for manufacturers is to implement advanced manufacturing (AI, Data Spaces) and utilize low carbon technologies and initiatives that together potentially can create a global leading position in electronics manufacturing.

Q: The European Chemicals Agency (ECHA) states that the Registration, Evaluation, Authorization and Restriction of Chemicals (REACH) directive to push companies to replace harmful chemicals with safer alternatives has had a notable impact on the industry. How does this directive affect the work you do with IPC to establish collaborative networks across the supply chains?

AJ: What we are seeing not only in REACH and the related SCIP database but also in other requirements pending, is a heightened move towards transparency throughout the supply chain and eventual substitution. Given this general direction, it is important for us in government relations to receive input from industry experts and stakeholders across the chain. There are challenges in reporting for the industry; there is interdependency, the chain is only as strong as the weakest link. Hence integral communication by IPC and collaboration with our standards committees is key.

Q: We understand that IPC provided EU leaders with input via the Roadmap for Economic Recovery. How has that input affected the manufacturing industry in Europe?

AJ: We seized upon the opportunity to provide input and the European Council were very appreciative of receiving it. However, the work is still on-going as recovery is still on-going and as in any process the devil is in the details. There were immediate-term objectives to keep manufacturing sites and supply chains up and running and we worked very closely with the European Commission, its Transport Directorate General and with the Heads of the EU Member States to have this understood and acted upon.

Now with the longer-term objective to re-build we would like to see a resilient, competitive electronics manufacturing sector in this region.

That means it is now critical to continue to work with our members and with the European institutions and Member States. To make sure that the future policy environment reflects the criticality of the electronics sector for Europe’s competitiveness. That together we can provide the right conditions to help it thrive and grow.

Posted in
Advocacy
Advocacy
European Policy Initiatives
Q:
How has COVID-19 changed IPC Europe’s work with the electronics manufacturing industry?
A:

IPC Europe shifted to virtual meetings and adapted to rapidly changing policy priorities as governments focused on pandemic response and economic recovery.
 

Q:
What major challenges are affecting electronics manufacturers in Europe right now?
A:

Manufacturers face evolving environmental legislation, expanded reporting requirements, digital transformation pressures, trade policy reviews, and renewed focus on supply chain resilience and regionalization.
 

Q:
How might the EU’s climate focused recovery plan influence electronics manufacturing?
A:

It aims to support low carbon technologies, digital infrastructure, and new green initiatives, creating both opportunities and operational challenges for manufacturers.
 

Q:
What opportunities can manufacturers pursue to align with Europe’s recovery strategy?
A:

Manufacturers can implement advanced manufacturing technologies, utilize low carbon solutions, and adopt digital systems to strengthen competitiveness in the European market.
 

Q:
How do REACH and increased transparency requirements affect electronics supply chains?
A:

They accelerate pressure to substitute hazardous chemicals, require more extensive reporting, and increase the need for collaboration and communication across all supply chain partners.

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This Week’s #TrendingTopic is Data Exchange on Chemical Substances

Sep 24, 2020
| By Corey Lynn

This week, IPC played a role in two different presentations offered by two different organizations on one common theme: the need for accurate, workable exchange of data about substances in products throughout the supply chain.

On September 23, Kelly Scanlon, IPC’s director of environment, health and safety policy and research, presented to the workgroup on materials and substances declaration at the International Aerospace Environmental Group’s  (IAEG’s) fall meeting. Kelly’s presentation highlighted IPC’s efforts to monitor, meet, and engage on emerging policies such as the U.S. EPA’s risk evaluations of high-priority substances under the Toxic Substances Control Act (TSCA) and the European Commission’s Chemicals Strategy for Sustainability.  Kelly’s presentation to IAEG was sandwiched between presentations on the need to harmonize materials declaration standards and the usefulness of standards to enable compliance with policies, including the policy that is driving the creation and implementation of the EC’s Substances of Concern in Products (SCIP) database.

Then on September 24, Chemical Watch sponsored a free webinar on “IPC-1754-AM2: Materials and Substances Declaration for Aerospace, Defense, and other Industries,” focusing attention to the recent amendment to this IPC standard. Patrick Crawford, IPC’s manager of the materials declaration and data exchange standards, gave an overview of the IPC-175x family and then had a software solutions provider and an aerospace and defense representative demonstrate real-world use cases for data exchange.  The presentations explained the technical features of the standard and the business case for its adoption.

For more information about IPC’s materials declaration and data exchange standards, please contact Patrick Crawford, IPC’s manager for design standards and related industry programs, and for more information on IPC’s policy advocacy on this topic, contact Kelly Scanlon.

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IPC’s September 2020 Economic Report: U.S. and EU Outlook

Sep 22, 2020
| By Corey Lynn

As we present the September economic outlook report, the economy has improved over the last month, but momentum is slowing as manufacturers remain cautious. In this report, you will find U.S. and European data on economic growth, employment, Manufacturer’s Sentiment (PMI) and end markets for electronics.

You will also find details on industrial production, capacity utilization, PCB production data and North American PCB bookings.

Please let us know how you use this research along with what other details you would like to see from IPC. We welcome your thoughts and feedback.

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IPC and 40 Groups Urge European Commission President to Postpone Reporting Deadline for SCIP Database

by Alison James, senior director, Europe, Government Relations
Sep 21, 2020
| By Corey Lynn

Key Summary

• IPC and nearly 40 industry groups urged the European Commission to postpone the January 2021 SCIP database reporting deadline
• Companies supplying articles with SVHCs would otherwise be required to begin submissions on 5 January 2021
• Concerns center on the database’s workability, lack of stakeholder consultation, and insufficient time for companies to adapt
• IPC supports the database’s intent but believes implementation has been rushed and disproportionate
• Industry groups hope the Commission will reconsider the deadline and take a more practical approach


Today, IPC joined with almost 40 other industry groups in calling on European Commission President Ursula von der Leyen to postpone the January deadline for a new chemicals database and to study related issues further before it goes forward.

Under current plans, companies supplying articles containing substances of very high concern (SVHCs) to the EU market will be obligated to submit information on these articles to the European Chemicals Agency (ECHA) beginning on 5 January 2021.

IPC supports the intent of the SCIP database to make information about SVHCs available throughout the life cycle of products and enable “circular economy” efficiencies. However, the development and implementation of the database has raised serious doubts about its workability, proportionality, and value. Specifically, we believe the ECHA failed to finalize the database within a timeframe that would enable companies to develop, test and adapt their own systems to meet the January deadline. Moreover, contrary to the EU Better Regulation principles, the requirements were adopted without any prior stakeholder consultation or impact assessment.

To date, the relevant parties have resisted calls for a postponement of the deadline, but IPC and our industry colleagues hope that by shining a spotlight on the flaws in the process, we can persuade the EC to take a more measured, reasonable approach. In the weeks ahead, we will continue to work with you and European policy makers to advocate for a better policy outcome.

View industry joint news release and the list of signatories.

Please contact me if you have any questions and/or want to be involved.

Posted in
Advocacy
Q:
What deadline did IPC and other groups ask the European Commission to postpone?
A:

They asked to postpone the 5 January 2021 start date requiring companies to submit SVHC information to the SCIP database.
 

Q:
Why is industry calling for a delay to the SCIP database requirements?
A:

The database was not finalized early enough for companies to build and test compliance systems, raising concerns about workability and proportionality.
 

Q:
Does IPC support the purpose of the SCIP database?
A:

Yes, IPC supports improving SVHC transparency and enabling circular economy practices but disagrees with how quickly the system is being implemented.
 

Q:
What process concerns were raised about SCIP development?
A:

The requirements were adopted without stakeholder consultation or an impact assessment, which runs counter to EU Better Regulation principles.
 

Q:
What are IPC’s next steps regarding this issue?
A:

IPC will continue working with members and policymakers to advocate for a more workable approach and encourage reconsideration of the deadline.

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Chemical Watch Hosts Webinar on IPC-1754

A must-attend session for those obligated to declare materials content
Sep 16, 2020
| By Corey Lynn

Key Summary

• Chemical Watch is hosting a free webinar on IPC-1754-AM2, a standard used to exchange material and substance data across industries
• The session will explain requirements for reporting materials content in aerospace, defense, automotive, electronics, heavy equipment, and software sectors
• Speakers from IPC, Raytheon Technologies, and DXC Technology will break down how IPC-1754-AM2 supports compliance and data transparency
• Attendees will learn why accurate substance declarations are essential for suppliers and customers managing regulatory and industry reporting needs
• Registration includes access to the slides and recording even for those who cannot attend live


Next week, Chemical Watch will host the latest addition to its series of free webinars, IPC-1754-AM2: Materials and Substances Declaration for Aerospace, Defence and Other Industries (Thursday 24 September, 15:30 BST), presented by representatives from IPC, Raytheon Technologies and DXC Technology. During the webinar, an expert panel of speakers will explore IPC-1754-AM2, an IPC standard that establishes the requirements for exchanging material and substance data for products between suppliers and their customers — essential information for those in the aerospace, defence, heavy equipment, automotive, electronics and software solution sectors.

Speakers:

  • Patrick Crawford,  Manager of Design Standards and Related Industry Programs, IPC
  • Tim Sheehan, Engineering Fellow, Raytheon Technologies
  • Chuck LePard, Senior Consultant, DXC Technology

Register for webinar

Please note, if you cannot attend the live broadcast, you can still register for the webinar and receive a link to the slides and recording.

 

Posted in
Standards
Q:
What is IPC-1754-AM2?
A:

It is an IPC standard that defines how suppliers and customers should exchange material and substance data for products across industries.
 

Q:
Who should attend this webinar on IPC-1754-AM2?
A:

Anyone responsible for materials declarations in aerospace, defense, heavy equipment, automotive, electronics, or software solutions.
 

Q:
Who is presenting in the IPC-1754-AM2 Webinar?
A:

Speakers include Patrick Crawford of IPC, Tim Sheehan of Raytheon Technologies, and Chuck LePard of DXC Technology.
 

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U.S. Defense Bills Would Bring Greater Resiliency and Security to Electronics Supply Chains

By John Mitchell, IPC president and CEO
Sep 16, 2020
| By Corey Lynn

Key Summary

• The FY2021 NDAA includes provisions to strengthen resiliency and security across U.S. electronics supply chains
• The bill would limit sourcing of PCBs and PCBAs for defense systems to trusted allied countries
• The DoD faces risks when electronics are sourced from regions viewed as security threats
• Congress broadly supports these requirements and the industry has sufficient allied manufacturing capacity
• NDAA provisions could boost domestic and allied electronics production and reinforce national security


For more than two decades, the United States has turned a blind eye to its shrinking electronics manufacturing base, even as experts in and out of government have warned that the decline has weakened the country’s national security.

In response, both the U.S. House and Senate have included in the FY 2021 National Defense Authorization Act (NDAA) provisions to bolster the resiliency and security of the electronics manufacturing ecosystem, including printed circuit board (PCB) fabrication and printed circuit board assembly (PCBA).

The NDAA provisions aim to improve the security of electronics purchased by the Defense Department by developing an affirmative list of allied, trusted countries from which the DoD can source those boards and assemblies. The United States should not be sourcing electronics for national security systems from countries it deems a current or potential security threat. Nor should any other country, for that matter.

Today, without this requirement, there are potential national security risks associated with systems that are built with PCBs and PCBAs from sources that are beyond the visibility of the DoD. These risks have been well-documented by the Defense Department and outside experts.

The opposition fears the new requirements will disrupt their established supply chains in countries that are not affirmatively covered. But the provisions explicitly authorize the Secretary of Defense to add countries to the list of locations from which PCBs and PCBAs can be sourced. And, with over $10 billion of PCB manufacturing today in allied countries and the United States, there is ample capacity today to meet DoD demand for military and commercial off-the-shelf electronics.

In addition to down-stream electronics industry support, the provisions have more than four dozen supporting members of Congress from both sides of the aisle in the House and the Senate. Not a single member of Congress has risen in opposition.

Moreover, both the full House and Senate have voted to include these provisions in the bill, so in keeping with committee precedent, the broad parameters of issue are settled.

The NDAA provisions offer the ancillary, but meaningful, benefit of strengthening supply chain resiliency by growing the market for electronics manufactured in the United States and its allies. In fact, U.S. CEOs have indicated a desire to grow their manufacturing operations in the United States but are hedging for the moment. They are waiting for the passage of the NDAA and the demand signal it will send.

As a global organization, IPC supports public policies and industry initiatives that cultivate resilient and secure supply chains everywhere we have members. While we are committed to global commerce and a lowering of trade barriers, we believe that all countries can and should take meaningful steps to shore up trusted supply chains for electronics related to essential government functions such as national security.

Many governments IPC works with appreciate the importance of secure and robust electronics manufacturing and cultivate an environment for it to flourish. The United States is among the exceptions. The NDAA offers the United States an opportunity to begin to follow through on its commitment to a more robust industrial base and unquestioned national security.

Posted in
Advocacy
Q:
Why do the NDAA electronics provisions matter for U.S. national security?
A:

The provisions address long-standing concerns about sourcing PCBs and PCBAs from countries considered security risks. Limiting defense procurement to trusted allied sources helps reduce vulnerabilities in mission-critical systems and strengthens supply chain visibility.
 

Q:
How would the NDAA change sourcing requirements for defense electronics?
A:

The bill directs the DoD to create an approved list of allied nations from which PCBs and assemblies may be procured. The Secretary of Defense can expand this list over time, ensuring flexibility while maintaining security-focused sourcing standards.
 

Q:
What risks exist when defense systems use foreign-made PCBs and PCBAs?
A:

When boards and assemblies are sourced from untrusted regions, the DoD lacks visibility into manufacturing practices and potential tampering risks. These vulnerabilities can compromise system integrity and have been documented by government and independent experts.
 

Q:
Does allied manufacturing capacity meet DoD needs under the NDAA?
A:

Yes. More than $10 billion in PCB manufacturing already exists across allied countries and the United States. This volume is sufficient to meet military and commercial off-the-shelf demand without disrupting supply availability.
 

Q:
How could the NDAA strengthen U.S. electronics manufacturing?
A:

By signaling demand for trusted, domestically aligned electronics, the NDAA encourages U.S. companies to expand production. These policies support greater supply chain resiliency, enhanced security, and a more competitive industrial base aligned with national interests.

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HDP User Group Announces Free Aerospace Electronics Webinar

Sep 15, 2020
| By Corey Lynn

Key Summary

• HDP User Group is hosting a free webinar on aerospace electronics on November 12, 2020
• Experts from ESA, NASA, Collins Aerospace, Tech Search, and Lockheed Martin will speak
• The webinar will address reliability, PCB risks, tin pest research, and heterogeneous integration
• The event is open to all and held in English with a three-hour technical agenda
• Attendees can register by emailing their contact information to HDP User Group representatives


High-Density Packaging (HDP) User Group is hosting a free webinar that will provide its members and others in the electronics industry the latest information on issues facing aerospace electronics. Worldwide experts in the field will share their knowledge and concerns during the 3-hour webinar, which is open to all interested parties.

“Aerospace electronics pose the most severe use environment in all of the electronics world. This, coupled with the mission-critical aspect of aerospace applications, make it a reliability and performance challenge that can provide valuable insight to all of our members and anyone involved in electronics”, said Marshall Andrews, Executive Director of HDP User Group.

The webinar will be held on November 12, 2020, at 8:00 am US Central Time.

Agenda

8:00 am – 11:00 am US Central Time
Welcome – Larry Marcanti, HDP

  • Opening of the Webinar by the Moderator
    Martin Cotton – Martin joined HDP in 2018 as European representative. He holds eight patents in PCB design and has held senior positions in OEM, PCB, and materials companies. He is a Fellow of the Institute of Circuit Technology and is active in seminars and educational forums regarding PCB design.
  • Reliability of HDI PCBs for European Space Agency (ESA) Projects
    Stan Heltzel – ESA
  • An Overview of Printed Circuit Board Risks and Supplier Capability
    Bhanu Sood – NASA
  • An Investigation into the Tin Pest Phenomena: Ten Years of Testing Chasing Myths
    David Hillman – Collins Aerospace
  • The Promise of Heterogeneous Integration
    Jan Vardaman – Tech Search Inc.
  • How to Give the Fabricator the Best Chance at Success for Creating Reliable Microvia Connections
    Kevin Kusiak – Lockheed Martin

Round Table & Questions

Webinar Close

The Webinar is in the English language.

Please register for webinar log-in and call details by e-mailing your contact info (name, company, e-mail) to one of the following: Kim Andrews at kima77@hdpug.org, Martin Cotton at martinc@hdpug.org or Larry Marcanti at larrym@hdpug.org.

About HDP User Group

HDP User Group (www.hdpug.org) is a global research and development organization based in Cave Creek, Arizona, which is dedicated to “reducing the costs and risks for the Electronics Manufacturing industry when using advanced electronic packaging and assembly.” This international industry-led group organizes and conducts R&D programs to address the technical issues facing the industry, including design, printed circuit board manufacturing, electronics assembly, and environmental compliance. HDP User Group maintains additional offices in Austin, Texas, and Singapore.

Q:
What is the purpose of the HDP User Group aerospace electronics webinar?
A:

The webinar aims to provide updated insights on issues facing aerospace electronics, focusing on reliability and performance challenges in the most severe use environments.
 

Q:
Who will be presenting during the High-Density Packaging webinar?
A:

Experts from ESA, NASA, Collins Aerospace, Tech Search Inc., and Lockheed Martin will deliver technical presentations covering PCB reliability, risks, tin pest research, heterogeneous integration, and microvia connection success.
 

Q:
Who is HDP User Group and what do they do?
A:

HDP User Group is a global R&D organization focused on reducing costs and risks in advanced electronic packaging and assembly through industry-led programs on design, PCB manufacturing, assembly, and environmental compliance.

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Addressing the Skills Gap — IPC Launches New Electronics Workforce Training Courses

Sep 11, 2020
| By Corey Lynn

John Mitchell, IPC president and CEO, shares how IPC Electronics Workforce Training courses will help IPC members overcome workforce skills gap challenges with essential and value-added coursework that is curated exclusively to address the most difficult-to-fill positions in the electronics industry.

Posted in
Education
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