ITAR & Export Control Policy
Last Updated: December 27, 2025
Certain products, components, software, and technical data offered by 3E USA are subject to United States export control laws and regulations.
Export, re-export, transfer, disclosure, or shipment of such items is strictly prohibited without proper authorization, including a valid export license when required, issued by the appropriate U.S. government authority.
ITAR Compliance Statement
It is the policy and intent of 3E USA to comply fully with all applicable United States federal laws and export control regulations governing our products, technology, and services.
Exports must be conducted in accordance with all applicable regulations, including but not limited to:
-
The International Traffic in Arms Regulations (ITAR)
(Title 22, Code of Federal Regulations, Parts 120–130), administered by the Directorate of Defense Trade Controls (DDTC) of the U.S. Department of State -
The Export Administration Regulations (EAR)
(Title 15, Code of Federal Regulations, Parts 730–774), administered by the U.S. Department of Commerce
Some items sold by 3E USA may be ITAR-controlled. The export, re-export, transfer, or disclosure of such items without proper authorization is strictly prohibited and may result in civil and criminal penalties under U.S. law.
Foreign Persons & Deemed Exports
ITAR-controlled products, technical data, and defense services may not be sold, transferred, exported, re-exported, or disclosed to foreign persons, whether within or outside the United States, without proper authorization.
Disclosure of controlled technical data to foreign persons may constitute a deemed export under U.S. export control regulations.
Prohibited Transactions
3E USA will not engage in, support, or facilitate—directly or indirectly—any transaction that would require or result in the illegal export, re-export, or transfer of controlled products, components, software, or technical data.
The sale, transfer, transportation, shipment, or disclosure of any product or technical data outside the United States, or to unauthorized persons, without compliance with applicable export control laws—including licensing, documentation, or authorization requirements—is strictly prohibited.
Customer Responsibility
The customer is solely responsible for ensuring compliance with all applicable export control laws and regulations, including obtaining any required licenses, approvals, or authorizations related to export, re-export, transfer, or disclosure of products, technical data, or services purchased from 3E USA.
Additional Information
Export control regulations are complex and subject to change. Customers with questions regarding ITAR, EAR, or other U.S. export control requirements should consult the appropriate U.S. government authorities or qualified export compliance professionals.
