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BEFORE SHIPPING EQUIPMENT TO REI, Return Merchandise Authorization (RMA#) is required.
REI products, components, and technology are subject to the U.S. Export Administration Regulations and other U.S. export controls and sanctions laws and may be subject to similar laws, regulations or requirements in other countries. Any export, re-export, or transfer of any REI products, components, or technology must be conducted in compliance with such applicable laws and regulations. Diversion contrary to U.S. law is strictly prohibited. Unless authorized by the U.S. Government, Research Electronics International (REI) prohibits the export and re-export of REI equipment, software, services, and technology to destinations subject to U.S. embargoes or trade sanctions. See the Department of Treasury's Office of Foreign Assets Control website ( http://www.treasury.gov/about/organizational-structure/offices/Pages/Office-of-Foreign-Assets-Control.aspx) for information on U.S. embargoes and economic sanctions. See the U.S. Department of State Directorate of Defense Trade Controls (DDTC) website for additional information on additional embargoed countries for shipments of military items: http://www.pmddtc.state.gov/embargoed_countries/index.html U.S. export restrictions vary from country to country and from item to item. The most restricted destinations include Cuba, Iran, North Korea, Sudan, and Syria (REI products are strictly prohibited in these countries); however this list is subject to change without notice. For current information on U.S. embargoed and sanctioned countries, as well as information on U.S. Export regulations and laws, please see the Bureau of Industry and Security (BIS) U.S. Department of Commerce http://www.bis.doc.gov , the OFAC site referenced above, and the U.S. Department of State Directorate of Defense and Trade Controls http://www.pmddtc.state.gov. The OSCOR Blue, part number OBL-24 is subject to the licensing jurisdiction of the U.S. Department of State in accordance with the International Traffic in Arms Regulations (ITAR) (22 CFR 120 through 130). It is designated as a defense article under Category XI(b) of the United States Munitions List (USML). Licenses issued by the U.S. Department of State Directorate of Defense Trade Controls (DDTC) are required prior to export of the OSCOR Blue OBL-24. Below are ECCN and CCATS Codes for REI products:
U.S. Foreign Corrupt Practices Act The US Foreign Corrupt Practices Act of 1977, as amended (the "FCPA" or the "Act"), makes it illegal for U.S. citizens and companies, their officers, directors, employees and agents, and any stockholders or others acting on their behalf, as well as foreign companies and persons acting in the United States, to make payments to foreign government officials to assist in obtaining or retaining business. REI acts in accordance to the FCPA, and REI resellers and sales partners must also comply with the FCPA. Please see the United States Department of Justice website for more information: http://www.justice.gov. NOTE: You may find the information on this page useful for determining exportability to particular places or parties and for completing export or shipping documentation, record keeping, or post-shipment reporting. The information provided on this page is subject to change without notice. Although we provide the information on this page to assist you in determining your export control obligations, you remain solely responsible for exporting or re-exporting REI's products in accordance with U.S. law. We encourage you to seek appropriate legal advice and/or to consult the EAR and the BIS Department of Commerce or other relevant U.S. export control agencies before exporting, re-exporting, or distributing REI equipment.
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