Shanghai Sunland Industrial Co., Ltd is the top manufacturer of Personal Protect Equipment in China, with 20 years’experience. We are the Chinese government appointed manufacturer for government power,personal protection equipment , medical instruments,construction industry, etc. All the products get the CE, ANSI and related Industry Certificates. All our safety helmets use the top-quality raw material without any recycling material.
Dingzhou has FRP safety helmet factory
We provide exclusive customization of the products logo, using advanced printing technology and technology, not suitable for fading, solid and firm, scratch-proof and anti-smashing, and suitable for various scenes such as construction, mining, warehouse, inspection, etc. Our goal is to satisfy your needs. Demand, do your best.
Professional team work and production line which can make nice quality in short time.
The professional team provides 24 * 7 after-sales service for you, which can help you solve any problems
29/7/2019, · The ,International Traffic in Arms Regulations, (,ITAR,) are part of a web of laws and regulations prohibiting U.S. individuals and companies from engaging in business with prohibited/sanctioned countries and persons for various economic, financial, anti …
International Traffic in Arms Regulations, (,ITAR,) 9/9/2020; 2 minutes to read; In this article ,ITAR, overview. The US Department of State is responsible for managing the export and temporary import of defense articles (meaning any item or technical data designated under the US Munitions List, as described in Title 22 CFR 121.1) that are governed by the Arms Export ,Control, Act (Title 22 USC 2778 ...
Each USML category also describes technical data – that is, ,controlled, information relating to munitions – in its purview. One feature of the ,ITAR, that caused much confusion among exporters was the “catch-all” coverage of parts and components specially designed or modified for another USML article.
International Traffic in Arms Regulations, (,ITAR,) is a set of United States government regulations that ,control, the export and import of defense-related articles and services on the United States Munitions List (USML). These regulations implement the provisions of the Arms Export ,Control, Act (AECA), and are described in Title 22 (Foreign Relations), Chapter I (Department […]
26/7/2020, · Hi, I'm currently not in US My friend found some surefire classic series weapon light (for pistol) that I've been looking for in US, was wondering are the Old classic series ,controlled, by ,ITAR,? ( not laser or IR, just normal weapon lights 310r,333r,644r..etc.) will my friend be in trouble to export these out of US? Don't want to invade US law by accident,if its ,controlled, I wont ship it for ...
1/4/2019, · Understanding ,ITAR,—the ,International Traffic In Arms Regulations,; How ECCNs Work. An ECCN is an alphanumeric, five-character number classification found in the Commerce ,Control, List of the Export Administration Regulations to identify dual-use items for export ,control, purposes.
30/5/2019, · ,International Traffic in Arms Regulations,, or most commonly known as ,ITAR,, is a set of government rules that ,control, the import and export of Defence-related articles, services, and technology on the US Munitions List (USML). Quite heavy! Sounds more like something related to missiles and nuclear weapons but it has more to it.
29/5/2019, · ,ITAR, is administered by the DDTC at the State Department and the most ,controlled, items are SME’s (Significant Military Equipment). As noted below, services (TAA) can be regulated by ,ITAR, so if your business provides technical assistance or teaches others to repair an SME , then you must be ,ITAR, …
The ,ITAR, is a statute that regulates the manufacture, distribution, and sale of defence-related products, services, and technical data as outlined in the United States Munitions List (USML). The Directorate of the Defense Trade ,Controls, (DDTC) is responsible for ,ITAR, compliance enforcement.
An ,ITAR, violation for improperly exporting ,controlled, software may occur by disclosing or otherwise transferring ,controlled, software to a foreign person, whether in the United States or abroad, or a foreign government. Software exports may include the disclosure of source code to a foreign person through both oral and written means.