TRADE COMPLIANCE

 

IMPORT / EXPORT COMPLIANCE

Victaulic is committed to maintaining compliance with all applicable import and export trade compliance laws and regulations, as well as other mandatory trade sanctions, in countries where Victaulic conducts business. Victaulic will not knowingly import or export products contrary to US and/or local government import and export laws and regulations.

When importing and/or exporting Victaulic products we recommend you consult legal counsel or your particular countries government agency for laws and regulations regarding importing and/or exporting our product.

Our Global Trade Compliance team develops, implements, and enforces import and export policies and procedures, in accordance with US and/or local import regulatory requirements. We maintain product tables indicating “dual use” items that may require export licenses to specific countries. To obtain ECCN numbers for our product, review the product tables or contact Global Trade Compliance at [email protected]

EXPORT CLASSIFICATION - EAR OR ITAR?

Victaulic products are developed for commercial applications (i.e. not designed, developed, configured, adapted or modified for a military or space application) and are subject to the jurisdiction of the U.S. Export Administration Regulations (EAR).

DUAL USE

Victaulic products are intended for use in commercial applications. However, some products are subject to export, or re-export license requirements, and additional end-use restrictions under U.S Export Administration due to possible dual-use application. A validated export license may be required to certain countries for these products as indicated in the Export Administration Regulations (EAR Part 738 Supp. 1). For further assistance, please contact Victaulic at [email protected]

DESTINATION CONTROLS

Victaulic product and technology is exported from the United States in accordance with the Export Administration Regulations. Diversion contrary to U.S. law is prohibited. The US maintains economic sanctions against Cuba, Iran, North Korea, Sudan, and Syria. Additionally, the US Government maintains lists of individuals and other entities for which Victaulic may not transact business. It is Victaulic’s intent to follow export and re-export controls in order to avoid unlawful diversion of Victaulic products.

Disclaimer
Victaulic has provided this webpage for informational purposes only. Import and export regulations are subject to regular change. Therefore, the information provided is not intended to constitute legal advice and does not eliminate the responsibility of the importer, exporter, or re-exporter to comply with US and/or local laws and regulations. It is your responsibility to obtain professional advice regarding your particular trade compliance concerns. Victaulic makes no representations or warranties regarding the accuracy or reliability of the information and it is used at the user’s own risk. Consult the Export Administration Regulations (EAR) and/or the Bureau of Industry & Security (BIS) for further assistance. Victaulic will not be liable for any misuse or misrepresentation of information provided on this site.