Export control and sanctions
This document is not published yet.
We would rather say that than put up something that reads like a policy and is not one. A document like this has to be written by a solicitor: it is enforceable, and getting it wrong is worse than not having it.
Who asks for it
Load-bearing here specifically: routing to US models while serving Iranian customers is a re-export question.
What it has to cover
- Which jurisdictions' rules apply, given a UK company, US providers and an Iranian rail.
- Who may and may not be served, and how that is checked.
- What the position is on payment rails in sanctioned jurisdictions.
- The boundary stated explicitly, rather than left implied.
If this is blocking a decision, say so on the quote form. Meanwhile our sub-processors are listed in full, because that is a matter of fact rather than a legal opinion.