Skip To Content
Website Privacy Statement search mail_outline call (802) 527-7726
Request for Quote Upcoming Tradeshows Careers
mail_outline call (802) 527-7726 Search search
  • About Us
    • Company Overview
    • Latest News
    • Quality Policy
    • External Provider Quality Clause
    • Terms and Conditions of Sale
    • Terms and Conditions of Purchase
  • Material Solutions
    • Ceramic Materials Solutions
      • Aluminas
      • Silicates
      • Zirconia Ceramics
    • Hermetic Sealing Solutions
      • Products
      • Capabilities
  • Industries & Applications
    • Aerospace & Defense
    • Analytical Instrumentation
    • Technical Ceramics for Energy
    • Oil & Gas / Petrochemical
    • Semiconductor Processing
    • Medical
  • Resources & Whitepapers
    • STC Brochures & Featured Products
    • Ceramic Material Property Charts
    • Technical Ceramics White Papers
    • Safety Data Sheets
  • Contact
    • Contact Us
    • Design Smarter with Ceramics
    • Submit a Request For Quote
  • Website Privacy Statement

Thank You

Home > Thank You

Thanks for contacting us! We will get in touch with you shortly.

Certifications

Click below to view our Quality Certifications, Registrations and Compliance

AS9100 & ISO 9001

ITAR Registered

ITAR Registered

ITAR Registered

ITAR Registered

STC was certified ITAR registered starting July 2007 and has been most recently re-registered July 2024.

The International Traffic in Arms Regulations (ITAR) is a set of United States government regulations that control the permanent and temporary export and import of defense-related articles and services.

View our ITAR Registration Letter

The ITAR’s purpose is to protect U.S national security and advance U.S foreign policy goals. The Department of State Directorate of Defense Trade Controls (DDTC) is responsible for the interpretation and enforcement of ITAR.

ITAR ensures that information and materials regarding defense and military related technologies are only shared with United States individuals or foreign (non-US) nationals granted special authorization by the Department of State.

United States organizations and/or individuals face severe fines if they are found to have provided access to ITAR regulated defense articles, services or information to unauthorized foreign entities.

ITAR is available from the Government Printing Office (GPO) as an e-document or as part of the annual hard copy publication of the Code of Federal Regulations (CFR) which includes all amendments made to the ITAR since the last annual publication. You can find out more about ITAR by visiting the U.S. Department of State website.

Reach

Reach Compliant

Reach

STC Reach Compliance Statement

Superior Technical Ceramics (STC) makes ceramics, and sells no chemical substances, but is a supplier to EU companies and companies supplying into the EU. STC has been asked by numerous customers to confirm that our ceramics are Reach Compliant.

STC supports the goals of REACH, which are consistent with our own commitment to promote the responsible manufacturing, use, and handling of chemicals. After a complete bi-annual review of the materials used in our parts and the manufacturing process, we can advise you, our customers, that STC is Reach compliant to the 240 substances now on the ECHA list.

https://echa.europa.eu/candidate-list-table

March 4, 2025

Understanding REACH

REACH is a regulation of the European Union, adopted to improve the protection of human health and the environment from the risks that can be posed by chemicals, while enhancing the competitiveness of the EU chemicals industry. It also promotes alternative methods for the hazard assessment of substances in order to reduce the number of tests on animals.

REACH places the burden of proof on companies. To comply with the regulation, companies must identify and manage the risks linked to the substances they manufacture and market in the EU.

REACH stands for Registration, Evaluation, Authorization and Restriction of Chemicals. It entered into force on 1 June 2007.

This letter is to confirm that the products/articles listed below have been evaluated against Regulation (EC) 1907/2006 of the European Parliament, “Registration, Evaluation, and Authorization of Chemicals (REACH), as interpreted by EU Court of Justice Decision C-106/14 of 10 September 2015. The compliance status of the product(s) was confirmed based on the latest 235 substances as updated by ECHA on June 14, 2023. Please refer to the following ECHA list for the most current candidate list of substances.

 Download a PDF of our registration letter here.

RoHS

RoHS Compliant

RoHS

STC RoHS Compliance Statement

Superior Technical Ceramics (STC) makes no stand-alone electronic or electrical products but is proud to be a subcontractor of ceramics used in electronic and electrical products. STC has been asked by numerous customers to confirm that our ceramics are RoHS Compliant.

After a complete bi-annual review of the materials used in our parts and the manufacturing process, we can advise you, our customers, that STC is RoHS & RoHS 3 compliant.

March 4, 2025

RoHS stands for Restriction of Hazardous Substances and impacts the entire electronics industry and many electrical products as well. The original RoHS, also known as Directive 2002/95/EC, originated in the European Union in 2002 and restricts the use of six hazardous materials found in electrical and electronic products. All applicable products in the EU market from July 1, 2006, must pass RoHS compliance.

Directive 2011/65/EU was published in 2011 by the EU, which is known as RoHS-Recast or RoHS 2. RoHS 2 includes a CE-marking directive, with RoHS compliance now being required for CE marking of products. RoHS 2 also added Categories 8 and 9 and has additional compliance recordkeeping requirements.

Directive 2015/863 is known as RoHS 3. RoHS 3 adds four additional restricted substances (phthalates) to the list of six.

EU RoHS specifies maximum levels for the following 10 restricted substances. The first six applied to the original RoHS while the last four were added under RoHS 3, which took effect July 22, 2019.

  • Cadmium (Cd): < 100 ppm
  • Lead (Pb): < 1000 ppm
  • Mercury (Hg): < 1000 ppm
  • Hexavalent Chromium: (Cr VI) < 1000 ppm
  • Polybrominated Biphenyls (PBB): < 1000 ppm
  • Polybrominated Diphenyl Ethers (PBDE): < 1000 ppm
  • Bis(2-Ethylhexyl) phthalate (DEHP): < 1000 ppm
  • Benzyl butyl phthalate (BBP): < 1000 ppm
  • Dibutyl phthalate (DBP): < 1000 ppm
  • Diisobutyl phthalate (DIBP): < 1000 ppm

RoHS 3 (EU Directive 2015/863) adds Category 11 (catch-all) products and adds four new restricted substances – all phthalates. The four phthalates are mainly used as insulation plasticizers and are on the REACH list of SVHC (Substances of Very High Concern). The expanded list for RoHS 3 is thus as follows:

  • Cadmium (0.01 %)
  • Lead (0.1 %)
  • Mercury (0.1 %)
  • Hexavalent chromium (0.1 %)
  • Polybrominated biphenyls (PBB) (0.1 %)
  • Polybrominated diphenyl ethers (PBDE) (0.1 %)
  • Bis(2-ethylhexyl) phthalate (DEHP) (0.1 %)
  • Butyl benzyl phthalate (BBP) (0.1 %)
  • Dibutyl phthalate (DBP) (0.1 %)
  • Diisobutyl phthalate (DIBP) (0.1 %)

 Download a PDF of our registration letter here.

Conflict Minerals Policy

STC Material Solutions Conflict Minerals Policy

STC Material Solutions is committed to ensuring that its products and product components are responsibly manufactured. Vendors are expected to ensure that products supplied to STC Material Solutions do not contain metals derived from “conflict minerals” – tin, tantalum, tungsten and gold, or their derivatives – that directly or indirectly finance or benefit armed groups in the Democratic Republic of the Congo (or any adjoining country). To promote compliance with this standard, Vendors are expected to:

  • Establish appropriate policies, data exchange methods, due diligence frameworks, risk mitigation strategies and systems designed to accomplish the goal of supply chain transparency. These steps should be consistent with an internationally recognized due diligence framework, such as the OECD Due Diligence Guidance for Responsible Supply Chains of Minerals from Conflict-Affected and High-Risk Areas and its applicable supplements (see http://www.oecd.org/daf/inv/mne/mining.htm).
  • Communicate their own policies and expectations down to their sub-suppliers, reflecting a commitment to responsible sourcing of minerals.
  • Establish appropriate objectives and targets, regularly measure, and assess sub-supplier performance, and practice continual improvement in pursuit of “conflict free” supply chains.
  • Work with sub-suppliers to attain traceability of conflict minerals to the smelter level by asking them to submit their policies to STC Material Solutions.
  • Promptly provide accurate and appropriate reporting to STC Material Solutions when requested regarding the smelters and facilities within Vendor’s minerals supply chain, and the steps taken to investigate the source and chain-of-custody of such minerals, and to address “red flags” indicating potential exploitation by armed groups.
  • Careers
  • Upcoming Trade Shows
  • Resources and Whitepapers
  • Ceramic Materials Solutions
  • Hermetic Sealing Solutions
  • Industries and Applications
  • Contact Us
  • Resources
  • Sitemap
  • Terms of Website Use
  • Quality Policy
  • Privacy Statement
  • STC Material Solutions


  • 600 Industrial Park Rd.
    Saint Albans, VT 05478

  • Tel: (802) 527-7726
  • Fax: (802) 527-1181
  • Email: sales@ceramics.net
Contact Us Request a Quote
ITAR Registered
ITAR Registered

ITAR Registered

STC was certified ITAR registered starting July 2007 and has been most recently re-registered July 2024.

The International Traffic in Arms Regulations (ITAR) is a set of United States government regulations that control the permanent and temporary export and import of defense-related articles and services.

View our ITAR Registration Letter

The ITAR’s purpose is to protect U.S national security and advance U.S foreign policy goals. The Department of State Directorate of Defense Trade Controls (DDTC) is responsible for the interpretation and enforcement of ITAR.

ITAR ensures that information and materials regarding defense and military related technologies are only shared with United States individuals or foreign (non-US) nationals granted special authorization by the Department of State.

United States organizations and/or individuals face severe fines if they are found to have provided access to ITAR regulated defense articles, services or information to unauthorized foreign entities.

ITAR is available from the Government Printing Office (GPO) as an e-document or as part of the annual hard copy publication of the Code of Federal Regulations (CFR) which includes all amendments made to the ITAR since the last annual publication. You can find out more about ITAR by visiting the U.S. Department of State website.

Reach
Reach

STC Reach Compliance Statement

Superior Technical Ceramics (STC) makes ceramics, and sells no chemical substances, but is a supplier to EU companies and companies supplying into the EU. STC has been asked by numerous customers to confirm that our ceramics are Reach Compliant.

STC supports the goals of REACH, which are consistent with our own commitment to promote the responsible manufacturing, use, and handling of chemicals. After a complete bi-annual review of the materials used in our parts and the manufacturing process, we can advise you, our customers, that STC is Reach compliant to the 240 substances now on the ECHA list.

https://echa.europa.eu/candidate-list-table

March 4, 2025

Understanding REACH

REACH is a regulation of the European Union, adopted to improve the protection of human health and the environment from the risks that can be posed by chemicals, while enhancing the competitiveness of the EU chemicals industry. It also promotes alternative methods for the hazard assessment of substances in order to reduce the number of tests on animals.

REACH places the burden of proof on companies. To comply with the regulation, companies must identify and manage the risks linked to the substances they manufacture and market in the EU.

REACH stands for Registration, Evaluation, Authorization and Restriction of Chemicals. It entered into force on 1 June 2007.

This letter is to confirm that the products/articles listed below have been evaluated against Regulation (EC) 1907/2006 of the European Parliament, “Registration, Evaluation, and Authorization of Chemicals (REACH), as interpreted by EU Court of Justice Decision C-106/14 of 10 September 2015. The compliance status of the product(s) was confirmed based on the latest 235 substances as updated by ECHA on June 14, 2023. Please refer to the following ECHA list for the most current candidate list of substances.

 Download a PDF of our registration letter here.

RoHS
RoHS

STC RoHS Compliance Statement

Superior Technical Ceramics (STC) makes no stand-alone electronic or electrical products but is proud to be a subcontractor of ceramics used in electronic and electrical products. STC has been asked by numerous customers to confirm that our ceramics are RoHS Compliant.

After a complete bi-annual review of the materials used in our parts and the manufacturing process, we can advise you, our customers, that STC is RoHS & RoHS 3 compliant.

March 4, 2025

RoHS stands for Restriction of Hazardous Substances and impacts the entire electronics industry and many electrical products as well. The original RoHS, also known as Directive 2002/95/EC, originated in the European Union in 2002 and restricts the use of six hazardous materials found in electrical and electronic products. All applicable products in the EU market from July 1, 2006, must pass RoHS compliance.

Directive 2011/65/EU was published in 2011 by the EU, which is known as RoHS-Recast or RoHS 2. RoHS 2 includes a CE-marking directive, with RoHS compliance now being required for CE marking of products. RoHS 2 also added Categories 8 and 9 and has additional compliance recordkeeping requirements.

Directive 2015/863 is known as RoHS 3. RoHS 3 adds four additional restricted substances (phthalates) to the list of six.

EU RoHS specifies maximum levels for the following 10 restricted substances. The first six applied to the original RoHS while the last four were added under RoHS 3, which took effect July 22, 2019.

  • Cadmium (Cd): < 100 ppm
  • Lead (Pb): < 1000 ppm
  • Mercury (Hg): < 1000 ppm
  • Hexavalent Chromium: (Cr VI) < 1000 ppm
  • Polybrominated Biphenyls (PBB): < 1000 ppm
  • Polybrominated Diphenyl Ethers (PBDE): < 1000 ppm
  • Bis(2-Ethylhexyl) phthalate (DEHP): < 1000 ppm
  • Benzyl butyl phthalate (BBP): < 1000 ppm
  • Dibutyl phthalate (DBP): < 1000 ppm
  • Diisobutyl phthalate (DIBP): < 1000 ppm

RoHS 3 (EU Directive 2015/863) adds Category 11 (catch-all) products and adds four new restricted substances – all phthalates. The four phthalates are mainly used as insulation plasticizers and are on the REACH list of SVHC (Substances of Very High Concern). The expanded list for RoHS 3 is thus as follows:

  • Cadmium (0.01 %)
  • Lead (0.1 %)
  • Mercury (0.1 %)
  • Hexavalent chromium (0.1 %)
  • Polybrominated biphenyls (PBB) (0.1 %)
  • Polybrominated diphenyl ethers (PBDE) (0.1 %)
  • Bis(2-ethylhexyl) phthalate (DEHP) (0.1 %)
  • Butyl benzyl phthalate (BBP) (0.1 %)
  • Dibutyl phthalate (DBP) (0.1 %)
  • Diisobutyl phthalate (DIBP) (0.1 %)

 Download a PDF of our registration letter here.

STC Material Solutions Conflict Minerals Policy

STC Material Solutions is committed to ensuring that its products and product components are responsibly manufactured. Vendors are expected to ensure that products supplied to STC Material Solutions do not contain metals derived from “conflict minerals” – tin, tantalum, tungsten and gold, or their derivatives – that directly or indirectly finance or benefit armed groups in the Democratic Republic of the Congo (or any adjoining country). To promote compliance with this standard, Vendors are expected to:

  • Establish appropriate policies, data exchange methods, due diligence frameworks, risk mitigation strategies and systems designed to accomplish the goal of supply chain transparency. These steps should be consistent with an internationally recognized due diligence framework, such as the OECD Due Diligence Guidance for Responsible Supply Chains of Minerals from Conflict-Affected and High-Risk Areas and its applicable supplements (see http://www.oecd.org/daf/inv/mne/mining.htm).
  • Communicate their own policies and expectations down to their sub-suppliers, reflecting a commitment to responsible sourcing of minerals.
  • Establish appropriate objectives and targets, regularly measure, and assess sub-supplier performance, and practice continual improvement in pursuit of “conflict free” supply chains.
  • Work with sub-suppliers to attain traceability of conflict minerals to the smelter level by asking them to submit their policies to STC Material Solutions.
  • Promptly provide accurate and appropriate reporting to STC Material Solutions when requested regarding the smelters and facilities within Vendor’s minerals supply chain, and the steps taken to investigate the source and chain-of-custody of such minerals, and to address “red flags” indicating potential exploitation by armed groups.

© 2025 STC Material Solutions, All Rights Reserved  |  Site created by Thomas Marketing Services

STC uses cookies to collect information about the use of our website. We use different cookies to operate our website, analyze the use of the website, improve the performance of our website and display suitable advertisement that might be relevant to you. Some of these cookies are provided by third parties. You are free to decide which categories you would like to permit and can withdraw this consent at any time (find out how on our cookie notice page). You can either accept all cookies, or reject all but the necessary cookies.Accept AllReject All But Necessary CookiesPrivacy policy
You can revoke your consent any time using the Revoke consent button.Revoke consent