Export Reference

Export Reference

It is Milton Roy’s policy to comply with applicable U.S. Export laws, rules, and regulations. Accordingly, we want to remind your company that Milton Roy products are subject to U.S. export laws, rules and regulations.

The right to export MR products and technology from the United Sates and re-export these products from one destination to another outside the United States is limited by the various regulations administered by the U.S. Department of Commerce, the U.S. Department of State and or the U.S. Treasury Department’s Office of Foreign Assets Control. Information regarding these requirements is available via the Internet and may be found at the following websites:

                         Department of Commerce: http://www.bis.doc.gov

                         Department of State: http://www.pmdtc.org

                         Foreign Assets Control: http://www.treas.gov/offices/enforcement/ofac/regulations

 

MR products and technology may only be exported or re-exported in accordance with U.S. export control laws and an export license or exception may be required. MR products and technology may not be sold or transferred to any person or entity denied export privileges by the U.S. Government or to countries subject to a US embargo.

Certain of our products are classified by and Export Control Classification Number (ECCN) 2B350 and require a BIS export/re-export license to the countries controlled for Chemical & Biological Weapons reasons, appearing in the BIS Commerce Country Chart at 15 C.F.R. part 738, Supplement No. 1.

Under no circumstances can Milton Roy product be shipped to the following countries: Cuba, Iran, North Sudan, Syria, and North Korea.

The products that Milton Roy Company has classified as ECCN 2B350 include:

All pumps with a flow rate over 158.5 GPH AND material construction of * materials.

  • All valves with port diameters of 1.0cm or greater AND material construction of * materials.
  • Agitators for use in reaction vessels or reactors line with *materials.
  • Tanks of 100liters or greater capacity and lined with

*Materials include but are not limited to: AFLAS (TFE/P or TFE/Propylene), Polyprel® (our tradename); Alloy 20 aka Carpenter 20, or CA20; Ceramics; FLUORAZ (TFE/P or TFE/Propylene); Fluoropolymers; Glass; Hasteloy C22; Hastelloy C276; Kalrez (FFKM) Chemraz; Monel; PTFE; PVDF (Kynar); Teflon;TFE; Titanium; Viton (FPM/FKM) Fluorel; Zirconium or zirconium alloys.

For a listing of specific products that require licensing, please consult directly with the factory.

We also strongly recommend that our domestic representatives and distributors scrutinize purchase orders from any and all customers but especially engineering groups, trading houses, freight forwarders, and other known exporters. It is important to understand the end-use and end-user for all products you sell in order to avoid common pitfalls. Red flags which often identify sales for export include but are not limited to:

  • Requests for certificates of origin
  • Request for shipments to freight forwarders.
  • Payments in cash.
  • Customers reluctant to identify end-use
  • Export packaging
  • Product does not fit customer’s capabilities or line of business.
  • Routine installation, maintenance, or training is declined.

All parties to the export transaction may be penalized in the event of a violation. Milton Roy strongly supports Export Compliance initiatives and hopes that you will do likewise.