This is Syn-Apps’s export compliance matrix. It is a list of our products and features with respective Export Control Classification Numbers (ECCNs) and eligible license exception as per the United States Department of Commerce, Bureau of Industry and Security, Export Administration Regulations.
All information on this export compliance matrix is strictly a recommendation to the user, and should be used in conjunction with the Export Administration Regulations when classifying Syn-Apps products and services for export purposes.
Syn-Apps makes no representation or warranty as to the accuracy or reliability of the classifications listed in this export compliance matrix. Any use of such classifications by the user, is without recourse to Syn-Apps and is at the users’ own risk. You are responsible for ensuring that use of the software is in compliance with these U.S. Export Administration Regulations. Syn-Apps is in no way responsible for any damages whether direct, consequential, incidental, or otherwise, suffered by the user as a result of using or relying upon such classifications, for any purpose whatsoever.
The Syn-Apps Encryption Registration Number (ERN) is R105290.
|Product Name||ECCN||Eligible License Exception|
|Revolution Notification Platform||5D992.c||MMKT|
|Revolution iOS Mobile Client||5D992.c||MMKT|
|Revolution Android Mobile Client||5D992.c||MMKT|
|Revolution MAC Desktop Client||5D992.c||MMKT|
|Revolution Windows Dewsktop Client||5D992.c||MMKT|
Definition of Terms and Acronyms
ECCN = Export Control Classification Number
MMKT = Mass Market Eligible Products
Syn-Apps complies with U.S. regulations related to embargoed countries and regions. As such, Syn-Apps currently prohibits the unauthorized usage of its products and services in Cuba, Iran, North Korea, Sudan, Syria, and the region of Crimea. Because this list of countries and regions may change from time to time, customers and their users are urged to consult the relevant regulations, including the U.S. Export Administration Regulations (15 CFR Part 730 et seq.), U.S. Office of Foreign Assets Control sanctions programs, and Canada’s Area Control List under Canada’s Export and Import Permits Act.
The exportation, re-exportation, sale or supply, directly or indirectly, from the United States, or by a U.S. person wherever located, of any Syn-Apps products, services or technology (including technical data) to any of these countries or regions is strictly prohibited without prior authorization by the U.S. Government.
Syn-Apps products and services may not be exported to, re-exported to, transferred to, or used by any restricted person or entity, including those listed on the U.S. Treasury Department’s list of Specially Designated Nationals, the U.S. Department of Commerce Denied Person’s List or Entity List, the State Department’s Debarred list, or similar denied parties list without prior authorization by the U.S. Government.
For more information and for further assistance in determining your individual licensing requirements, contact the Department of Commerce, Bureau of Industry and Security (http://www.bis.doc.gov/) or Office of Foreign Assets Control (http://www.treasury.gov).
Syn-Apps products and services may not be exported, re-exported, or transferred if for use directly or indirectly in any prohibited activity described in Part 744 of the U.S. Export Administration Regulations, including certain nuclear, chemical or biological weapons, rocket systems or unmanned air vehicle end-uses.
If you have any questions about our export and compliance status, please contact us.