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    SEC Form SD filed by Nucor Corporation

    5/29/26 4:15:10 PM ET
    $NUE
    Steel/Iron Ore
    Industrials
    Get the next $NUE alert in real time by email
    SD 1 d103659dsd.htm SD SD
     
     

    UNITED STATES

    SECURITIES AND EXCHANGE COMMISSION

    Washington, D.C. 20549

     

     

    FORM SD

     

     

    Specialized Disclosure Report

     

     

    NUCOR CORPORATION

    (Exact name of registrant as specified in its charter)

     

     

     

    Delaware   1-4119   13-1860817

    (State or other jurisdiction of

    incorporation or organization)

      (Commission File Number)  

    (I.R.S. Employer

    Identification No.)

     

    1915 Rexford Road, Charlotte, North Carolina     28211
    (Address of principal executive offices)     (Zip Code)

    Michael D. Keller

    Vice President and Corporate Controller

    Nucor Corporation

    (704) 366-7000

    (Name and telephone number, including are code, of the person to contact in connection with this report.)

     

     

    Check the appropriate box to indicate the rule pursuant to which this form is being filed, and provide the period to which the information in this form applies:

     

    ☒

    Rule 13p-1 under the Securities Exchange Act (17 CFR 240.13p-1) for the reporting period from January 1 to December 31, 2025.

     

    ☐

    Rule 13q-1 under the Securities Exchange Act (17 CFR 240.13q-1) for the reporting period from      .

     

     
     


    Section 1 – Conflict Minerals Disclosure

    Item 1.01 Conflict Minerals Disclosure

    In accordance with Section 1502 of the Dodd-Frank Act, which amends the Securities Exchange Act of 1934 to add Section 13(p), Nucor Corporation (“Nucor” or the “Company”) has completed its assessment process to determine whether the products it manufactured during the year ended December 31, 2025 contained conflict minerals that were necessary to their functionality or production and are required to be reported in the calendar year covered by this specialized disclosure report. Please refer to Rule 13p-1 and Form SD for definitions of the terms used in this disclosure, unless otherwise defined herein.

    The Company believes that a very small portion of the products it manufactured during the reporting period that are required to be reported in the calendar year covered by the specialized disclosure report contained conflict minerals that were necessary to the functionality or production of its products. Based on its reasonable country of origin inquiry process, the Company has no reason to believe that the conflict minerals may have originated in covered countries or that they did not come from recycled or scrap sources.

    Reasonable Country of Origin Inquiry Process

    In order to determine if any of the Company’s manufactured products contain conflict minerals and whether, for each product, those minerals were necessary to the functionality or production of the manufactured product, Nucor developed a scoping process that utilized the expertise of employees from each of its product groups in its steel mills, steel products and raw materials segments.

    For each Nucor product group, cross-functional teams were established that included purchasing, metallurgy, engineering and finance. These teams (i) completed a scoping document which listed the products the Company manufactured and sold to customers during 2025, (ii) evaluated the raw materials that were contained in each of those products utilizing a decision tree based on interpretive guidance provided by the Securities and Exchange Commission (the “SEC”) in its final rule about when a conflict mineral is necessary to the functionality of a product or when it is necessary to the production of a product and (iii) determined which products contained or potentially contained conflict minerals that were necessary to the functionality or production of the manufactured product. If the product contained or potentially contained a conflict mineral that was necessary to the functionality or production of the product, then the vendors of that raw material content were identified. All vendors that were identified from the decision tree scoping process as having the potential to have sold Nucor necessary conflict minerals were then incorporated into its reasonable country of origin inquiry survey process.

    Nucor conducted a survey of the vendors identified in the scoping process using the Responsible Minerals Initiative conflict minerals reporting template in order to determine whether the products sold to us actually contained conflict minerals and, if conflict minerals were present, the country of origin of those conflict minerals. The template was developed by the Responsible Minerals Initiative as a means to collect vendor sourcing information related to conflict minerals. It includes questions regarding the origin of necessary conflict minerals included in a vendor’s products or process, the implementation of due diligence measures and conflict-free policies within the vendor’s supply chain, and a listing of smelters used by the vendor and its suppliers, among others.


    A small number of the survey responses from the scoped-in vendors indicated that conflict minerals may have been present in some portion of the products that the vendor sold to Nucor. All of the vendors whose survey response included such an indication provided representations regarding the origin of those conflict minerals during the reasonable country of origin inquiry survey process, which included representations that the conflict minerals either did not originate in covered countries or came from recycled or scrap sources. In addition, the Company does not believe that the representations and information provided by such vendors was not reliable or accurate. Therefore, the Company has no reason to believe that the conflict minerals which may have been necessary to the functionality or production of its products originated in covered countries or did not come from recycled or scrap sources.

    Recycled and Scrap Minerals

    Scrap metal and scrap substitutes are the most significant element in Nucor’s total cost of steel production and the largest raw material input into its finished steel products such as joist, decking and metal buildings. Scrap metal used by Nucor is sourced from post-industrial or post-consumer scrap, melted in electric arc furnaces and poured into continuous casting systems to produce new steel. Nucor, through its wholly owned subsidiary The David J. Joseph Company and its affiliates, operates scrap recycling facilities and brokerage operations across the United States that serve as the primary source of scrap metal for Nucor’s steel mills. While such scrap metal may incidentally contain conflict minerals, they are not necessary to the functionality or production of the products manufactured utilizing the scrap. Further, we believe that the scrap meets the definition of “recycled and scrap sources” under Item II.E.4(c)(i) of the SEC’s final rule on 17 CFR Parts 240 and 249b and is therefore exempt from further due diligence processes.

    Other Information

    A copy of this conflict minerals disclosure is also available in the “Investors” section, “SEC Filings” subsection, of the Company’s website at www.nucor.com.

    SIGNATURES

    Pursuant to the requirements of the Securities Exchange Act of 1934, Nucor Corporation has duly caused this report to be signed on its behalf by the duly authorized undersigned.

     

    NUCOR CORPORATION
    By:  

    /s/ Michael D. Keller

      Michael D. Keller
      Vice President and Corporate Controller

    Dated: May 29, 2026

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