International Traffic in Arms Regulations (ITAR)
ITAR COMPLIANCE - THE INTERNATIONAL TRAFFIC IN ARMS REGULATIONS (ITAR)
EXPORT POLICY AND EXPORT RESTRICTIONS INFORMATION
The U.S. Department of State’s Directorate of Defense Trade Controls, the U.S. Department
of Commerce’s Bureau of Industry and Security, and the U.S. Department of the Treasury’s
Office of Foreign Assets Control administer export control regulations that some
aspects of our business. We request that you (the “Customer”) read and familiarize
yourself with the following regarding certain applicable export regulations.
The sale, transfer, transportation, or shipment outside of the U.S. of any product prohibited
or restricted for export without complying with U.S. export control laws and regulations,
including proper export licensing, documentation or authorization, is strictly prohibited and
may result in civil penalties and/or constitute a federal crime. Midwest NVG LLC will not
engage in any transaction that requires the illegal export of any products and will not assist
directly or indirectly with the illegal export or re-export of any products. If you should have
any questions or require additional information regarding export regulations please contact
me or contact the:


U.S. Department of Commerce U.S.
Bureau of Industry and Security
OƯice of Exporter Services
PH (202) 482-4811
Website: http://www.bis.doc.gov
Department of State
Directorate of Defense Trade Controls
Response Team
PH (202) 663-1282
Website: http://www.pmddtc.state.gov


Export of night vision equipment and optical sighting equipment is controlled by the U.S.
Department of State OƯice of Defense Trade Controls, in accordance with International
Traffic in Arms (ITAR), Title 22, Code of Federal Regulations Part 120-130 and/or the Export
Administration Regulations (EAR) U.S. Department of Commerce.
It is unlawful to export or attempt to export or otherwise transfer or sell any hardware or
technical data or furnish any service to any foreign person, whether abroad or in the United
States, for which a license or written approval of the U.S. Government is required, without
first obtaining the required license or written approval from the Department of the U.S.
Government having jurisdiction. It is the Resellers/End Users responsibility to request and
obtain export licenses for the export of the subject items, and to ensure that the
requirements of all applicable laws, regulations and administrative policies are met. Sales
or transfers to entities on the List of Debarred Parties, Denied Persons list and Embargoed
Countries are strictly prohibited. These lists can be found at the above US Government
websites or at the following links:
Denied Persons list:
https://www.bis.doc.gov/index.php/the-denied-persons-list
Unverified list:
https://www.bis.doc.gov/index.php/policy-guidance/lists-of-parties-ofconcern/unverified-list
Entity list:
https://www.bis.doc.gov/index.php/policy-guidance/lists-of-parties-of-concern/entity-list
Specially Designated Nationals list:
http://www.treas.gov/oƯices/enforcement/ofac/sdn/
Debarred list:
https://www.pmddtc.state.gov/ddtc_public?id=ddtc_kb_article_page&sys_id=c22d1833db
b8d300d0a370131f9619f0
Nonproliferation Sanctions:
http://www.state.gov/t/isn/c15231.htm
Embargoed Countries (see part 746) and OFAC Sanctions Programs:
https://www.bis.doc.gov/index.php/regulations/export-administration-regulations-ear
https://www.treasury.gov/resource-center/sanctions/Pages/default.aspx


ITAR items and items marked for domestic sale only should only be used by party identified
on the Midwest NVG LLC Sales Order/Invoice for use or resale in the U.S. only. Such items
should not be exported, provided to foreign persons in the U.S. (including Foreign
Embassies in the U.S.A.), or sold domestically for export by a third party (including U.S.
Government agencies). If/when such items are resold, the original purchasing party must
advise customers/end users of their duty to comply with U.S. export control regulations or
face the possibility of severe criminal and civil fines including imprisonment if convicted.
Furthermore if above mentioned items are resold or transferred in any way, the original
purchaser must inform customers/end user(s) that if these items are lost, stolen or
destroyed, they must report this fact to Midwest NVG LLC and provide the date of the
incident as well as the associated serial number of the item.
“U.S. Person” for this purposes is a U.S. citizen, lawful permanent resident as defined by 8
U.S.C.1101 (a) (20), protected individual as defined by 8 U.S.C. 1324b(a)(3)) and “US
Company” as the company entity organized under the laws of the United States.
Export of GEN-3 night vision equipment from the United States without a valid export
permit issued by the U.S. Department of State, OƯice of Defense Trade Controls is strictly
prohibited.
Generation 4, autogated/filmless technology is not available for export. Diversion contrary
to U.S. law is prohibited.
Other Restrictions: Restrictions on the use of night vision optics with or without a weapon
vary from state to state. You are strongly advised to learn these laws and adhere to them.
Midwest NVG LLC will not be held responsible for unlawful usage.
By completing your order, you agree to the following:
I understand that the products obtained from Midwest NVG, LLC. are subject to the export
control laws and regulations of the U.S. Government and that they fall under the
jurisdiction of either the Department of State or the Department of Commerce.
I understand that it is unlawful to export, or attempt to export or otherwise transfer or sell
any hardware or technical data or furnish any service to any foreign person, whether
abroad or in the United States (U.S.), for which a license or written approval of the U.S.
Government is required, without first obtaining the required license or written approval
from the department of the U.S. Government having jurisdiction.
I understand that, in the ITAR (§ 120.16), a foreign person means any natural person who is
not a lawful permanent resident as defined by 8 U.S.C.1101(a)(20) or who is not a protected
individual as defined by 8 U.S.C. 1324b(a)(3). It also means any foreign corporation,
business association, partnership, trust, society or any other entity or group that is not
incorporated or organized to do business in the U.S., as well as international organizations,
foreign governments and any agency or subdivision of foreign governments (e.g.,
diplomatic missions).
I understand that I am responsible for compliance with any and all U.S. Government export
controls and regulations and that, if I violate them, it could result in severe criminal and
civil penalties (including substantial fines, imprisonment, seizure of controlled products
and technical data, and/or suspension/removal of export privileges).
I understand that ANY diversion contrary to United States law is prohibited; it is the
responsibility of the purchaser, and of any entity with which I am aƯiliated to comply with
all applicable international, national, state, regional and local laws and regulations,
including but not limited to any applicable import and use restrictions; that commodities or
data may not be exported or re-exported or otherwise transferred to entities and persons
that are ineligible under U.S. law to receive such product, technology, and/or software.
I represent that neither I, any entity with which I am aƯiliated, nor any person involved in or
benefiting from the export or re-export of products sold by Night Solutions, LLC are named
on the Lists of Prohibited Individuals, Entities and Countries. I further understand that
exports, re-exports, or transfers of any products to, or for the benefit of, individuals, entities
and countries named in the lists referenced in the Lists of Prohibited Individuals, Entities
and Countries are strictly prohibited.

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Please Email LEO/Mil Creditentials to Blake@mwnvg.com