# Exporting Information
If your division solution needs an export license from the United States Dept. of Commerce the following are the known ECCNs for software utilized by the Ability Platform. If you know of a product that is missing and need it to be added here, please contact the Ability Client Success Team. ECCNs are five-character alpha-numeric designations used on the Commerce Control List (CCL) to identify dual-use items for export control purposes. An ECCN categorizes items based on the nature of the product, i.e., type of commodity, software, or technology and its respective technical parameters.
The list of components built into the base Ability Edge framework can be found below as well as references for Microsoft cloud components. ABB Divisions are responsible for compiling a complete list of ECCN components and for establishing the ECCN classifications for their product and solutions.
Divisions should be aware that an Edge and the cloud deployment may exist in different geographies and care should be taken to understand the deployment for their solutions to insure compliance.
# ECCN numbers
Vendor Product | ECCN | CCATS | Location |
---|---|---|---|
Microsoft Azure Services | Various | The details of the Azure services can be found here | Cloud |
Mocana NanoSSL Client* | 5D002C.1 | G071825 | Edge |
Mocana NanoTAP* | 5D002C.1 | G171071 | Edge |
Mocana NanoSSL Server* | 5D002C.1 | G071827 | Edge |
Mocana NanoBoot* | 5D002C.1 | G066112 | Edge |
Mocana NanoCrypto* | 5D002C.1 | G075791 | Edge |
Mocana NanoCAP | EAR99 | G180373 | Edge |
Mocana NanoCert Client* | 5D002C.1 | G071830 | Edge |
*Mocana Products Utilizing Encryption
The Mocana products utilizing encryption technology are classified by BIS as ECCN 5D002.c. and authorized the use of License Exception ENC, 15 CFR § 740.17, under subparagraphs (a) and (b)(2) in connection with these items.
Mocana Export Details
The Mocana software components are still under US control and restriction and cannot be offered for export to North Korea, Sudan, Syria, Cuba and Iran. All components have a classification of 5D002.c.1 and are eligible for licence exception other than Nano Cap which has a classification of EAR99.
With regards to sale to China and Chinese citizens there should be no restrictions other than companies and individuals already included in the BIS Entity List. For companies entered on the list there is an indication of the additional licence requirements and also a likely determination by BIS. Therefore any sale or distribution needs to be checked against the entity list to ensure compliance is maintained.