2025-03-16 9:43 PM
These are the ECCN for these processors. The code for MP1 and MP2 are different. When purchasing parts from retailer in the USA, an export authorization check was done on their website (no idea why) and retailer said they had to wait for the US agency for export clearance , that took 2 days to clear. After clearance but he invoice stated:
These items are controlled by the U.S. Government and authorized for export only to the country of ultimate destination for use by the ultimateconsignee or end-user(s) herein identified. They may not be resold, transferred, or otherwise disposed of, to any other country or to any personother than the authorized ultimate consignee or end-user(s), either in their original form or after being incorporated into other items, withoutfirst obtaining approval from the U.S. government or as otherwise authorized by U.S. law and regulations
Almost all other STMICRO MCU are classified a 3A991.a.2. But ut states that assembly is allowed but not without authorization from the US governemtn. Does this mean when using STMICRO processors, these items need to obtain an export authorization exemption "ENC" even when produced outside the US ? Even with this exemption, does selling the assemblies need a check on restricted country, people and end-user is needed for EAR99 ? Could the ECCN code change for these parts ?