ITAR / Export Notice
Important information regarding U.S. export-control regulations affecting night vision products, components, optics, image intensifier tubes, and related technical data.
Many night vision devices, parts, optics, image intensifier tubes, and related technical data may be controlled under U.S. export laws including the International Traffic in Arms Regulations (ITAR) and/or the Export Administration Regulations (EAR). The applicable regulation depends on the specific product, configuration, and intended end use.
Customers are responsible for complying with all applicable U.S. export-control laws. Restricted products may not be exported, re-exported, transferred, loaned, hand-carried, shipped, or disclosed to foreign persons without proper authorization. This includes physical products, technical data, and any related software or documentation.
USM may cancel or refuse any order that appears to violate export-control rules. USM may request additional documentation to verify eligibility, end use, or end user prior to fulfilling an order. Made-to-order builds may require export-compliance attestation prior to production scheduling.
The following acknowledgment is required at checkout and on certain quote forms:
"I certify that I am eligible to purchase this product, that I will comply with all applicable U.S. export-control laws, and that I will not export, transfer, disclose, or provide controlled products or technical data to any prohibited person or destination without required authorization."
Certain USM products are available in a "No Objectives" configuration, which ships the housing without objective lenses. This option is intended to support export-sensitive scenarios and international compliance pathways. Customers in such scenarios are responsible for sourcing compliant optics and confirming that their full intended configuration meets applicable regulations.
This page is provided for general information only and does not constitute legal advice. Customers with specific compliance questions should consult qualified export-control counsel. Regulations change; the controlling authority is the applicable U.S. government regulation in force at the time of the transaction.