Anonabox Tor hardware router is subject to U.S. export control laws and regulations. Under these regulations, a U.S. government export license or other approval may be required depending on the destination country, end-user or end-use. Anonabox LLC complies with U.S. export control regulations and expects its customers to comply as well, especially when exporting, re-exporting, transferring or otherwise using Anonabox Tor hardware router.

The following information is provided to assist customers in complying with U.S. export control requirements. As with any legal compliance, Anonabox LLC encourages customers to review U.S. export control laws and regulations and, as appropriate, seek legal counsel for advice regarding your specific situation. Additionally, export and import controls may apply to the import or use of the product in certain countries and customers should ensure their activities are in compliance with local requirements.

General Requirements

Anonabox Tor hardware router is subject to the U.S. Export Administration Regulations ("EAR") (15 C.F.R. Parts 730-774) and is considered a Mass Market encryption device (15 C.F.R. 742.15(b)(1)) with an export classification of Export Control Classification Number ("ECCN") 5A992.c. The U.S. Department of Commerce, Bureau of Industry and Security ("BIS") confirmed the classification in Commodity Classification Automated Tracking System ("CCATS") ruling G160574.

Anonabox Tor hardware router is also subject to sanctions and embargoes administered by the U.S. Department of Treasury, Office of Foreign Assets Control ("OFAC") regulations. Under the EAR and/or OFAC regulations, U.S. government approval may be required prior to exporting, re-exporting and otherwise transferring Anonabox Tor hardware router to U.S. sanctioned countries. As of April 2015, such countries include Cuba, Iran, North Korea, Sudan and Syria.

Additionally, U.S. government approval may be required prior to exporting, re-exporting, transferring or otherwise using Anonabox Tor Hardware router as described below.

Prohibited End Users

In general, Anonabox hardware router may not be sold, exported, re-exported or otherwise transferred to any person or entity on the Denied Persons List or the Entity List maintained by the U.S. Department of Commerce, Bureau of Industry and Security, parties subject to U.S. Department of State Nonproliferation sanctions, or entities or persons listed on OFAC's Specially Designated Nationals and Blocked Persons List.

A consolidated list of prohibited end-users is available here.

Prohibited End Use

Anonabox hardware router may not be exported, reexported or otherwise transferred for any prohibited end-use involving certain nuclear activities, chemical/biological weapons or missile, rocket systems or unmanned air vehicle applications, or any other prohibited end-use described by EAR Part 744.

Legal Note

The information provided on this webpage is for general informational purposes only and does not constitute advice by Anonabox LLC as to any particular or actual set of facts, and does not represent any undertaking by Anonabox LLC to keep customers or other parties advised as to relevant U.S. export control developments. All information is provided "AS IS" and is subject to change without notice. Anonabox LLC is in no way responsible for any damages, whether direct, consequential, incidental, or otherwise, suffered by you as a result of using or relying upon the provided information.