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(Updated March 2, 2020)
Syncro Soft ("Syncro") software products may be subject to international rules that govern the export of software. The information contained on this page is provided to aid our channel partners and end customers in their export compliance efforts and it should not be considered a source of legal guidance or advice.
Before considering the export of a Syncro product, customers should review the End-User License Agreement (see "Export Regulations" clause) that came with the product to verify if the terms of the agreement allow the product to be moved out of a given country or region.
Syncro products are considered “Country of Origin: Romania”. Even if the Syncro software products are developed outside the U.S, they contain controlled U.S-origin items and are subject to U.S. Export Administration Regulations (EAR). Therefore, the export or re-export of these products, or transfer of these technologies, is subject to the export laws and regulations of the United States. The primary agencies that administer and enforce these laws and regulations are the Bureau of Industry and Security("BIS") and the Office of Foreign Assets Control.
In addition to U.S. export and re-export controls, Syncro software products are also subject to European Union (EU) export controls if they are exported from an EU location to a destination outside the EU. Parties exporting Syncro software products from the EU should obtain proper export licenses as required under EU rules (Council Regulation (EC) No. 428/2009) and Member State laws.
Similar requirements may apply to Syncro software products exported from other countries, located outside the U.S.A. and the E.U., depending on the jurisdiction governing the company that exports Syncro software products.
Encryption products are also subject to import restrictions in certain countries, including prior notification and licensing requirements.
An ECCN is an alphanumeric reference (for example, 5D992) that the United States Export Administration Regulations use to identify items for export control purposes. An ECCN is used to categorize products based on the type of commodity, technology, or software and its respective technical parameters, such as the encryption algorithm a product uses, the processing capabilities of an integrated circuit, or positioning accuracy in machine tools (reference: www.bis.doc.gov)
The following ECCN classifications are based on unmodified software products in original condition, as shipped by Syncro:
ECCN/EAR's Assigned to Syncro Soft software products
ECCN Third-party libraries
However, without limitation, the Syncro software may not be exported or reexported:
The U.S. government's consolidated export screening list is located at the following link: http://www.export.gov/ecr/eg_main_023148.asp. All parties to a transaction should be screened against this list prior to export or re-export.
Please note that end-users, end-use, and country of ultimate destination may affect your export licensing requirements. You are ultimately responsible for exporting Syncro products in accordance with the EAR. We encourage you to consult the BIS and any other appropriate sources before you export or reexport Syncro products.
Syncro provides this information page for your reference only. Since the export control laws are frequently amended, it is important to recognize that the information posted on this page may not include the most recent changes to these laws and how the changes may affect our products. As such, Syncro does not represent, warrant or guarantee that the posted information is complete, accurate or up-to-date. The information does not nor is it intended to be legal advice.
We encourage all parties exporting or re-exporting Syncro products to consult the EAR, contact BIS, and/or obtain appropriate legal advice related to their transactions. For more information regarding exports from or imports into the EU or other jurisdictions, it may be advisable to obtain legal guidance and/or contact the administrative body responsible for export and import requirements in the jurisdiction in question.
If you have any questions, please contact