Export Compliance Information
It is the policy of Ettus Research that all export and re-export sales or shipments of its products and technical data will be made in accordance with all applicable global export control laws, including without limitation:
- United States export laws and regulations; and
- European Union and national export laws and regulations.
The United States export laws and regulations include, but are not limited to, the U.S. Commerce Department's Export Administration Regulations ("EAR"), U.S. State Department's International Traffic in Arms Regulations ("ITAR"), U.S. Treasury Department's Foreign Assets Control Regulations, Nuclear Regulatory Commission Regulations and the U.S. Energy Department's Assistance to Foreign Atomic Energy Activities Regulations. The European Laws and Regulations include, but are not limited to, the Council Regulation (EC) No. 428/2009.
Diversion contrary to U.S. and E.U. law is strictly prohibited.
Ettus Research products or technology MAY NOT BE exported or re-exported, either directly or indirectly, to the following:
- Any country subject to a comprehensive embargo by the United States, currently:
- Cuba
- Iran
- North Korea
- Sudan
- Syria
- An entity that you know or have reason to know is involved in any of the following end uses:
- Biological Weapons
- Chemical Weapons
- An entity (person, address or company/university) that is listed on the Denied Persons List, Unverified List, Entity List, Specially Designated Nationals List, Debarred List and Nonproliferation Sanctions List. The full lists are available are on the U.S. Department of Commerces Bureau of Industry and Security webpage:
http://www.bis.doc.gov/complianceandenforcement/liststocheck.htm
Ettus Research products MAY be prohibited from shipping to an entity involved with any of the following end uses, depending upon the destination country:
- Military End Use
- Rocket Systems
- Nuclear Activities
- Unmanned Aerial Vehicles
It is the policy of Ettus Research to require End Use Information, in order to verify that the intended end use would not constitute a violation of the U.S. export control laws, for any shipment of product, including re-export by customers, to the following countries:
- Afghanistan
- Belarus
- China
- Hong Kong
- Iraq
- Malta
- Pakistan
- Libya
- United Arab Emirates
- Singapore
- Malaysia
End Use Information, which includes end user name, company name, address and intended use of Ettus Research products, may be sent for review via email at sales@ettus.com
Ettus Research reserves the right not to ship Ettus Research products ordered if, at any time, Ettus Research believes that such shipment may violate U.S. or E.U. export control laws.
Although we provide this information to assist you, you remain responsible for exporting or re-exporting Ettus Research products in accordance with all applicable global export control laws, including without limitation, U.S. and E.U. laws.
Questions may be directed to Alex Ruffell (Phone: +1-650-967-2870 or Email: export@ettus.com)
For an overview of United States export controls, please visit the website of the Bureau of Industry and Security:
http://www.bis.doc.gov/licensing/exportingbasics.htm
For European Union export controls, please view Council Regulation (EC) No. 428/2009 at the below link:
http://trade.ec.europa.eu/doclib/docs/2009/june/tradoc_143390.pdf