Export Compliance
The Euler Dynamics ED-4 platform, its components, software, and related technical data are subject to United States export control and economic sanctions laws. This page summarizes the framework that governs how we engage with international customers and partners.
Regulatory framework
Our products and technical data may be controlled under the International Traffic in Arms Regulations (ITAR, 22 CFR 120-130), the Export Administration Regulations (EAR, 15 CFR 730-774), and U.S. economic sanctions administered by the Office of Foreign Assets Control (OFAC). Specific items may be classified under U.S. Munitions List Category VIII (Aircraft and Related Articles) or Export Control Classification Number 9A012 (Unmanned Aerial Vehicles), as determined on a per-configuration basis.
Eligible end-users
Sales, demonstrations, technical disclosures, and training are restricted to the U.S. Government, qualifying allied foreign governments, and eligible commercial end-users following case-by-case end-use and end-user screening. All international engagements require pre-engagement compliance review.
Prohibited destinations and parties
We do not export to, or knowingly engage with, parties located in or controlled by countries subject to comprehensive U.S. embargo (currently including Cuba, Iran, North Korea, Syria, and the Crimea, Donetsk, Luhansk, Kherson, and Zaporizhzhia regions of Ukraine). We screen against the OFAC Specially Designated Nationals (SDN) List, the Bureau of Industry and Security (BIS) Entity, Denied Persons, and Unverified Lists, the State Department's Debarred Parties list, and equivalent restricted-party lists in customer jurisdictions.
End-use and end-user controls
Prospective customers are required to provide a written end-use statement, end-user identification, and intended deployment geography. We will not authorize transactions where the stated or likely end-use involves prohibited weapons of mass destruction, missile proliferation, unauthorized military diversion, or other destinations or applications inconsistent with U.S. national security and foreign policy.
Licensing
Where required, Euler Dynamics will obtain authorization from the U.S. Department of State Directorate of Defense Trade Controls (DDTC) for ITAR-controlled transactions, or from the Department of Commerce Bureau of Industry and Security (BIS) for EAR-controlled transactions, prior to disclosure or export. Submission of a license application does not guarantee approval. Customers are responsible for any import authorization required in their jurisdiction.
Re-export and retransfer
Recipients of our products and technical data agree, as a condition of any sale or disclosure, not to re-export, retransfer, or divert the products, components, software, or technical data, in whole or in part, in violation of U.S. or applicable foreign export control and sanctions laws, regardless of whether re-export authorization would otherwise be required.
Reporting
Suspected violations or compliance concerns should be reported to [email protected]. Reports are reviewed by our trade compliance function and may be escalated to U.S. or foreign regulators where appropriate.
Contact
Authorization, licensing, and end-user screening inquiries: [email protected].