IPv6 Link Export Control Policy

IPv6 Link Export Control Policy

We are committed to complying with all applicable US laws and regulations regarding the export of our encryption software products, including the Export Administration Regulations ("EAR") and the International Traffic in Arms Regulations ("ITAR"). This Export Control Policy explains our procedures for ensuring compliance with these laws and regulations.

Export Compliance Officer

We have designated an Export Compliance Officer ("ECO") who is responsible for overseeing our compliance with US export control laws and regulations. The ECO is responsible for:

  • Ensuring that our encryption software products comply with applicable export control laws and regulations
  • Conducting internal audits and assessments to ensure compliance with applicable export control laws and regulations
  • Providing guidance and training to employees and contractors on US export control laws and regulations
  • Reviewing and approving all exports of our encryption software products to ensure compliance with applicable export control laws and regulations

You can contact our ECO.

Encryption Strength

Our encryption software products are subject to US export control laws and regulations, including those related to the strength of encryption. We classify our encryption software products under the applicable Export Control Classification Number ("ECCN") and comply with the applicable licensing requirements for the ECCN.

Restricted Parties

We do not provide our encryption software products to persons or entities that are prohibited from receiving them under applicable US export control laws and regulations, including individuals or entities on the US Department of Commerce's Denied Persons List or Entity List, the US Department of State's Debarred List, or any other applicable list maintained by the US government. Before providing our encryption software products to any person or entity, we will conduct a screening against these lists to ensure compliance with applicable export control laws and regulations.

End-Use and End-User Restrictions

We do not provide our encryption software products for use in connection with any activity that is prohibited by applicable US export control laws and regulations, including without limitation, the development, design, manufacture, or production of nuclear, chemical, or biological weapons or missile technology. Before providing our encryption software products to any person or entity, we will conduct a review of the end-use and end-user to ensure compliance with applicable export control laws and regulations.

Record Keeping

We maintain records of all exports of our encryption software products, including the identity of the recipient, the end-use and end-user, and the export license (if any) obtained for the export. These records are maintained in accordance with applicable US export control laws and regulations.

Training and Education

We provide training and education to all employees and contractors on US export control laws and regulations, including the EAR and ITAR. This training and education is designed to ensure that all employees and contractors understand their obligations and responsibilities under applicable US export control laws and regulations.

Contact Us

If you have any questions or concerns about our Export Control Policy or our compliance with US export control laws and regulations, please contact our ECO.