Extended Minerals Reporting Template

The Extended Minerals Reporting Template (EMRT) is a free, standardized reporting template developed by the Responsible Minerals Initiative to identify pinch points and collect due diligence information in the cobalt and mica supply chains. This is a template that was formally launched on October 20, 2021. The RMI recommends using EMRT v. 1.3 or higher for the Reporting Year.

The upcoming EMRT 2.0 release in April 2025 will include the addition of four new minerals to the Extended Minerals Reporting Template (EMRT): copper, graphite (natural), lithium, and nickel. The expanded scope aims to support companies' reporting requirements under the EU Battery Regulation (graphite, lithium, nickel) and RMI’s ability to identify new facilities in these supply chains (copper is a mineral with a significant number of identified Eligible facilities). EMRT 2.0 will also include an optional mine-level facility tab, as offered with the AMRT 1.2 file.

Download the Template

Download the latest version of the EMRT (version 1.3) below.

Download EMRT

The changes you will see in EMRT v. 1.3 (released April 26, 2024) include:

  • Corrections to all bugs and errors
  • Updates to highlighting on the Smelter List tabs
  • Updates to Smelter Reference List and Standard Smelter List
  • Added German translation to file

The next version of the EMRT is anticipated to be released in the Spring of 2025.

Q: If AMRT is released in October 2024 and EMRT2.0 will be released in April 2025, are companies expected to use both MRTs to collect data for the four minerals added to EMRT2.0 (copper, graphite [natural], lithium, nickel)?

  • Although it depends on the survey schedule of individual companies, it is recommended to use EMRT2.0 to collect data on the four minerals after the release of EMRT2.0 scheduled in April 2025.
  • EMRT allows companies to gather and disclose more detailed due diligence information for each mineral and includes the smelter reference list, which contains facilities that have been identified by the RMI as eligible smelters for the minerals in scope of the EMRT.
  • If a company plans on surveying the four minerals before the EMRT2.0 release, they may use AMRT. However, if the survey of the same minerals is conducted in different reporting templates in a short period of time, the burden on suppliers will increase. Because of that, it is recommended that a company uniformly use either AMRT or EMRT, and not both.

Please use the EMRT for cobalt and mica supplier reporting. The RMI phased out the Cobalt Reporting Template (CRT) and Mica Reporting Template (MRT) on March 31st, 2022.

FOR A LIST OF CURRENTLY IDENTIFIED COBALT REFINERS AND MICA PROCESSORS, CLICK HERE. This list is subject to expand as additional cobalt refiners and mica processors are confirmed.

The RMI has been made aware that modified versions of the Extended Minerals Reporting Template and unofficial Raw Materials Reporting Template (RMRT) is being circulated. The RMI does not recognize any modified Minerals Reporting Template which was not developed through our cross-industry consensus process.

CIQs for Cobalt and Mica

The disposition process to review and add cobalt refiners and mica processors is ongoing. To submit the name of a cobalt refiner, download and complete the Company Identification Questionnaire. To submit the name of a mica processor, download and complete the Company Identification Questionnaire for Emerging Minerals. Submit completed Company Identification Questionnaires (CIQs) to RMIaudit@responsiblebusiness.org.

EMRT Completion Guide

Click here for a new downloadable guide on how to complete EMRT v. 1.0 and higher. JPN also available (Japanese translation provided by JEITA).

 

We welcome error reports, please contact us at RMI@ResponsibleBusiness.org.

 

Frequently Asked Questions

  1. What is the Extended Minerals Reporting Template (EMRT)?
    • The Extended Minerals Reporting Template (EMRT) is a free, standardized reporting template created by the Responsible Business Alliance® (RBA®). The EMRT facilitates the exchange of information through the supply chain regarding mineral country of origin and processors being utilized. In doing so, it supports companies’ exercise of due diligence in accordance with the OECD Due Diligence Guidance for Responsible Supply Chains of Minerals from Conflict-Affected and High-Risk Areas. The MRT also facilitates the identification of refiners and processors.
    • The EMRT was designed for downstream companies to gather and disclose information about their supply chains. RMI members collaboratively developed this tool to create efficiencies and simplify the supply chain surveying process. Downstream companies include those companies from the end user up to but not including the refiner or processor. If your company is a refiner or processor, we recommend you enter your company’s name in the Smelter List tab.
    • The EMRT's scope is currently limited to cobalt and natural mica supply chains.
  2. Why is the EMRT different from the CMRT?
    • The CMRT is intended, in part, to facilitate the exchange of data necessary for compliance with Section 1502 of the Dodd-Frank Act. There are no regulatory compliance requirements in place for cobalt or mica at this time.
  3. Where do I submit my completed EMRT? Does RMI collect these?
    • The RMI does not collect EMRTs. EMRTs should be provided to your customers and as a good practice measure, and may be posted on your external web site.
  4. What is a Conflict-Affected and High-Risk Area and how do I know if I am sourcing from one?
    • The OECD defines conflict-affected and high-risk areas as areas that are identified by the presence of armed conflict, widespread violence or other risks of harm to people. Armed conflict may take a variety of forms, such as a conflict of international or non-international character, which may involve two or more states, or may consist of wars of liberation, or insurgencies, civil wars, etc. High-risk areas may include areas of political instability or repression, institutional weakness, insecurity, collapse of civil infrastructure and widespread violence. Such areas are often characterized by widespread human rights abuses and violations of national or international law.
    • The European Union defines conflict-affected and high-risk areas as areas in a state of armed conflict, fragile post-conflict areas, as well as areas witnessing weak or non-existing governance and security, such as failed states, and widespread and systematic violations of international law, including human rights abuses
    • While there is no definitive list of conflict-affected and high-risk areas, each company can utilize the resources provided here to make that determination.
    • On Question 3, an answer of “Unknown” is an acceptable response.
  5. Why are some of the cobalt refiners or mica processors on my suppliers’ lists not recognized by the EMRT?
    • The RMI maintains an up-to-date Smelter Reference list. This list contains all cobalt refiners and mica processors that have been validated by the RMI to meet the definition of a cobalt refiner or mica processor. There are several reasons why a supplier may provide refiners and processors not listed in the EMRT. Examples of reasons include: the company does not process cobalt or natural mica, the company is upstream or downstream of a refiner or processor, the company has yet to be validated as eligible through RMI’s Smelter Disposition Process or the company is no longer in operation and has been removed from the Smelter Reference List. One way to check the status of a SOR that is not on the Smelter Reference list is to become a RMI member, which gives companies access to the RMI’s smelter database.
    • The cobalt refiner definition applied by the RMI is “An entity that processes cobalt concentrates, intermediates or recycled feed and produces a cobalt product for direct use in a downstream manufacturing process.” This does not include upgrading or refining facilities associated with large scale mining operations and / or in-country in the Democratic Republic of Congo if these provide outputs that require further refining before being applied in the downstream manufacturing process.
    • The mica processor definition applied by the RMI is "A mica processor is an entity that takes raw mined minerals such as pegmatites (schist), feldspar, kaolin, muscovite or phlogopite and subjects them to various physical or mechanical methods to separate non-mica components from mica components, then produce grades of mica products for use in downstream manufacturing processes. Raw mineral processing can include sorting, separation, milling, grinding, cutting, stamping and binding".
  6. Where can I find additional due diligence information?