Find a US Representative
Use the drop down to find the representative in your area.
International Sales Representative
Please fill out the form below and your request will be assigned to the correct sales representative.
Terms & Conditions
The purchase and sale of New Wave Design and Verification, LLC, dba New Wave Design (“New Wave”) hardware and software products are made under New Wave’s standard terms and conditions of sale. Our Purchase Order terms and conditions are used when placing orders with our suppliers. You can find copies of both documents below.
Policies
- Conflict Minerals Policy – This conflict minerals policy aims to ensure minerals like tin, tantalum, tungsten, and gold (often called 3TG) in New Wave’s products do not fund violence or human rights abuses.
- Anti-Human Trafficking Policy – This policy details New Wave Design’s commitment to preventing, identifying, and reporting human trafficking activities.
- Export Compliance Policy – New Wave Design products are subject to control under the U.S. Export Administration Regulations (15 CFR Part 730 et. seq.) and other applicable U.S. export control laws and regulations. Please review this section for more information.
Conflict Minerals Policy
New Wave Design and Verification, LLC dba New Wave Design is committed to providing high-quality products to our customers while complying with Section 1502 of the Dodd-Frank Wall Street Reform and Consumer Protection Act. Conflict minerals include tantalum (Ta), tungsten (W), tin (Sn), and gold (Au), also known as 3TG, sourced from the Democratic Republic of Congo (DRC) and its neighboring countries.
Although we are a non-SEC registered, private small business, and are not subject to the SEC ruling, New Wave Design promotes the traceability of these minerals and the transparency of the supply chain. We firmly believe that our customers should be informed about the products they purchase. We work closely with our suppliers to ensure transparency and traceability of our products. We do not purchase raw ore or unrefined minerals and only buy parts from authorized distributors of original equipment manufacturers (OEMs). We only purchase electronic parts from suppliers approved through our Quality System and Supplier Evaluation.
New Wave fully understands the importance of this issue to its customers and is committed to supply chain initiatives, overall corporate social responsibility, and sustainability efforts that work towards a conflict-free supply chain. New Wave uses Silicon Expert to verify vendors’ conflict status and view reporting templates and conflict mineral policies and statements, and we do not directly purchase any conflict minerals from any source or purchase products that contain conflict minerals. To ensure our suppliers’ compliance, we require them to have an active conflict minerals policy statement and/or a current Conflict Minerals Reporting Template (CFSI_CMRT). When using contract manufacturers (CMs) for direct manufacturing of New Wave’s products or sub-assemblies, we collect CMRTs to determine their compliance with Section 1502.
In summary, as a small company that delivers high-quality products, New Wave is committed to following the regulations outlined in Section 1502 of the Dodd-Frank Wall Street Reform and Consumer Protection Act concerning the use of conflict minerals. We will not knowingly purchase products that contain conflict minerals that directly or indirectly finance, or benefit armed groups in the DRC or adjoining countries.
For More Information:
Dodd-Frank Wall Street Reform and Consumer Protection Act: https://www.congress.gov/111/plaws/publ203/PLAW-111publ203.pdf
Responsible Business Alliance: https://www.responsiblebusiness.org/initiatives/rli/
Silicon Expert: https://www.siliconexpert.com/
Combating Trafficking in Persons Policy
New Wave Design and Verification, LLC, dba New Wave Design is firmly committed to preventing human trafficking and upholding ethical and responsible business practices throughout our operations. We are dedicated to ensuring that our workplace is free from human trafficking and that our business practices do not contribute to it in any way. New Wave Design strictly prohibits employees, agents, contractors, subcontractors, suppliers, and business partners from engaging in human trafficking-related activities.
This policy applies to all employees, agents, contractors, suppliers, and business partners of New Wave Design. We expect all individuals and entities associated with our business to adhere to the highest ethical standards and comply with all applicable laws and regulations related to human trafficking.
Human trafficking, as defined by the United Nations Office on Drugs and Crime (UNODC), is generally defined as the recruitment, transportation, transfer, harboring, or receipt of persons, through the threat or use of force or other forms of coercion, of abduction, of fraud, of deception, of the abuse of power or of a position of vulnerability or of the giving or receiving of payments or benefits to achieve the consent of a person having control over another person, for exploitation.
New Wave Design strictly prohibits any activities that could be considered human trafficking, including but not limited to:
· Engaging in, or benefiting from, sex trafficking or forced labor.
· Using force, fraud, coercion, or deception to recruit or exploit individuals.
· Obtaining labor from a person by threats of serious harm to that person or another person.
· Withholding, destroying, or otherwise denying access to an employee’s (or other persons performing work for the company) identification documents.
· Charging recruitment fees to applicants, employees, or laborers.
· Providing inadequate working conditions or housing that fails to meet local standards.
· Failing to provide required employment contracts or work documents.
· Engaging with suppliers or business partners of the company known to be involved in human trafficking.
Violation of this policy will be taken seriously and may result in disciplinary action, up to and including termination of employment or termination of contracts with customers or suppliers.
Reporting Procedure:
Employees and individuals associated with New Wave DV are required to report any suspected human trafficking activity. Reports can be made anonymously through the following methods:
· Third-Party Reporting Hotline 855-222-0916 · Third-Party Reporting Email: reports@lighthouse-services.com
The timeliness of reporting any suspected violation is critical. Failure to report actual or potential illegal behavior or suspected violations of this policy may subject employees to disciplinary action, up to and including termination of employment or termination of contracts with suppliers or business partners.
New Wave Design cooperates fully with the U.S. government or other appropriate governmental authorities in audits or investigations. Employees are required to cooperate in any internal or external audits or investigations of suspected wrongdoing under this policy.
Non-Retaliation:
New Wave Design does not tolerate retaliation or threats of retaliation against anyone who raises concern under this policy or who assists with an internal or external audit or investigation. Any employee who engages in retaliation or threats of retaliation may be subject to disciplinary action, up to and including termination of employment.
Additional Resources:
National Human Trafficking Hotline: 1-888-373-7888 Polaris Project: https://polarisproject.org/human-trafficking/ United Nations Office on Drugs and Crime (UNODC): https://www.unodc.org/unodc/human-trafficking.
Export Compliance Policy
Products delivered from New Wave Design are subject to U.S. export control laws and regulations. Our Buyers agree to comply with all applicable U.S. export control laws and regulations, including, but not limited to, the requirements of the Arms Export Control Act, 22 U.S.C. 2751-2799, including the International Traffic in Arms Regulations (ITAR), 22 CFR 120-130 and the Export Administration Act, 50 U.S.C. §§ 2401-2420, including Export Administration Regulations, 15CRR 730774; including the requirement for obtaining any export license or agreement, if applicable. Without limiting the foregoing, Buyer agrees that it will not transfer any export-controlled item, data, or service, including transfer to a foreign person employed by or associated with or under contract to Buyer or Buyer’s lower-tier suppliers, without the authority of an export license or applicable exemption or exception. Buyer represents that it is registered with the Office of Defense Trade Controls as required by ITAR and it maintains an effective export/import compliance program in accordance with the ITAR. Buyer agrees that it will not export, re-export, or otherwise distribute the Products or any technical data related thereto, in violation of any export control laws or regulations of the United States.