ThunderCloud DaaS Export Control Policy

Export Control Policy

TCS U.S. Export/Re-Export Laws and Regulations
Thunder Cloud Services, LLC (“TCS”) is committed to complying with all applicable U.S. export/re-export laws and regulations. We observe applicable restrictions on the export and re-export of our products, services, or technical data.

If you are exporting or re-exporting TCS products, services, or technical data, U.S. export control applies to you, and you are required to ascertain your compliance obligations.

Please contact the TCS Legal Department with any questions regarding export compliance for our products, services, or technical data at [email protected]
Laws and Regulations
The U.S. Department of Commerce and the U.S. Department of the Treasury administer and enforce the following export compliance laws and regulations: It is important to note that an export or re-export transaction need not necessarily involve a sale of product. Exports or re-exports can also include the shipment or electronic transmission of software or technology for beta, quality assurance, demonstration, or other purposes. The release of software source code or technology within the U.S. to a non-U.S. national or non-permanent resident alien is also an export.
Prohibited Countries
TCS prohibits any export or re-export of TCS products, services, or technical data to any destinations subject to U.S. embargoes or trade sanctions. The following countries are subject to U.S. embargo or restricted trade sanctions:
Cuba, Iran, North Korea (Democratic People's Republic of Korea), Sudan and Syria
Export Restrictions
The U.S. Department of Commerce and the U.S. Department of Treasury administer and maintain exclusion lists. TCS does not ship products to any entity or individual, whether in the U.S. or abroad, specified on these lists.

U.S. Department of Commerce Denied Persons List
U.S. Department of Commerce Denied Entity List
U.S. Department of Commerce Unverified List
U.S. Department of Treasury Specially Designated Nationals List
U.S. Department of State Debarred List
U.S. Department of State Nonproliferation Sanctions


Scott Shields, MBA, J.D.
(385) 204-2210
[email protected]