Export Compliance

Veritas Export Compliance

"As a global company, Veritas is committed to fully comply with the United States and all other applicable government export and import laws and regulations governing the export, re-export, or import of Veritas solutions, regardless of where we do business," says Veritas CEO Greg Hughes in a Corporate trade compliance policy statement.

Veritas products, including software, hardware, services, and technology are subject to export and import controls administered by the United States (including, but not limited to, the U.S. Department of Commerce Export Administration Regulations ("EAR")), the member states of the European Union, Singapore, and other applicable jurisdictions.

All Veritas products, services, and technology are subject to the following:

  • Diversion contrary to U.S. or other applicable law of any Veritas product, service, or technology is prohibited.
  • Veritas products, services, and technology are prohibited for U.S. export or re-export to Cuba, Iran, North Korea, Sudan, and Syria.
  • Veritas products, services, and technology are prohibited for U.S. export or re-export to any person or entity listed on the various U.S. and other Government denied parties lists, including, but not limited to, the U.S. Department of Commerce Denied Persons List and the U.S. Department of Treasury's lists of Specially Designated Nationals, Specially Designated Narcotics Traffickers, or Specially Designated Terrorists.
  • Veritas products, services, and technology are prohibited for use with chemical or biological weapons, sensitive nuclear end-users, or missiles, drones or space launch vehicles capable of delivering such weapons.

Export Control Classification Numbers

For information on the Export Control Classification Number (ECCN), Licensing Authority, and related information for Veritas products, see Product Classification Matrix*.

FAQs

Are Veritas products subject to US Export Controls?

Yes, all Veritas products are subject to US export and re-export controls. More specifically, Veritas products, including software, hardware, services, and technology are subject to export and import controls administered by the United States (including, but not limited to, the U.S. Department of Commerce Export Administration Regulations ("EAR")), the member states of the European Union, Singapore, and other applicable jurisdictions.

How do I find ECCNs for Veritas products?

For ECCNs, consult the Veritas Global Trade Compliance classification matrix*.

How do I find HTS numbers for Veritas products?

For HTS numbers, consult the Veritas Global Trade Compliance classification matrix*.

Who do I contact at Veritas for additional information regarding export or import issues?

Contact us as follows:

*Disclaimer: Veritas provides this data for informational purposes only. Classifications are subject to change and Veritas does not represent, warrant, or guarantee that the information is complete, accurate, or up-to-date. The information provided is not intended to constitute legal advice or to be used as a substitute for specific legal advice. Under the US Export Regulations, the US Government assigns your organization or client, as exporter/importer of record, the responsibility for determining the correct classification of any item at the time of export/import. In some cases there are restrictions that apply to exports based on the product, the end-user, the end-use, or the country of destination, and an export license or other authorization may be required prior to shipment. The Department of Commerce's Bureau of Industry and Security provides a web site and can assist you with determining the need for a license or with information regarding where to obtain help prior to exportation. The URL is: https://www.bis.doc.gov/.