Dear Sir or Madam,
The Export Control Management System
of Shell Information Technology International (SITI) requires export
classification for products to be exported.
From your company we use
product
Ethereal (ver
0.10.4)
For each of these products, we
request the following information:
·
Is your
product "U.S. origin" such that it is subject to U.S. export regulations when
exported or re-exported from non-U.S. countries?
All products manufactured and sold
in the U.S. are considered to be "U.S. origin" and are subject to U.S. export
regulations. In addition, products
that are manufactured and sold outside the U.S. may be "U.S. origin" if they
contain more than "de minimus" amounts of U.S. components or work product. Information about the US Export
Regulations can be found on http://www.bis.doc.gov/. Sections 734.3 and 734.4 of the EAR
provide specific information for determining whether your product is "U.S.
origin" and subject to U.S. export regulations (http://w3.access.gpo.gov/bis/ear/txt/734.txt).
·
What is the
U.S. export classification of your product?
The U.S. classification is needed
for all products that are "U.S. origin".
If available, it would be helpful to have the U.S. classification for
"non U.S. origin" products as well.
We request the full U.S. export classification as follows:
.... Full ECCN (including paragraph
references where applicable)
.... Qualifying license exceptions (e.g. ENC
and TSU).
.... "Mass Market" or "Retail"
product classification (if applicable)
.... CCATS review number (for
products reviewed by BIS)
·
Is your
product subject to non-U.S. export controls?
What is considered to be the
"country of origin" for your product (if other than the U.S.). Describe any controls imposed by that
country on the export or re-export of your product to other countries.
Thank you for your
assistance.
Vignes
Shell Information Technology
International, Cyberjaya
Tel: +603 8313 4885
www.shell.com