Export Compliance
Read below for MESCIUS' compliance with all export activities that are subject to export controlling regulations.
As defined under the provisions of the Bureau of Export Administration MESCIUS products are classified as EAR 99.
Notwithstanding the statement above, the term "subject to the EAR" should not be confused with licensing or other requirements imposed in other parts of the EAR. The fact that an item or activity is subject to the EAR does not necessarily mean that a license or other requirement automatically applies. A license—or other export restrictions—apply only in those cases where the EAR specifically imposes it on such items or activities.
Exports or Re-Exports to countries subjected to stringent export restrictions due to a US general embargo, as well as to individuals listed under the Federal Register as persons that have been denied export rights, may require a license from the Bureau. In general, those licenses are subject to a general policy of denial.
As a rule, MESCIUS does not intend nor will it knowingly, directly or indirectly, export or re-export ( i ) any Technical Information or Materials or ( ii ) any product (or any part thereof), process, know-how or service ( A ) to any country that is subject to U.S. export embargo (currently including, but not necessarily limited to Iran, Iraq, Syria, Cuba, North Korea, Libya, Rwanda, Serbia, Kosovo, Montenegro and Sudan), or to any national of any such country, wherever located, who intends to transmit or transport the products back to such country; ( B ) to any end-user who MESCIUS knows or has reason to believe will utilize such information or material in the design, development or production of nuclear, chemical or biological weapons; or ( C ) to any end-user who has been prohibited from participating in U.S. export transactions by any agency of the U.S. government.