Shanghai Sunland Industrial Co., Ltd is the top manufacturer of Personal Protect Equipment in China, with 20 years’experience. We are the Chinese government appointed manufacturer for government power,personal protection equipment , medical instruments,construction industry, etc. All the products get the CE, ANSI and related Industry Certificates. All our safety helmets use the top-quality raw material without any recycling material.
safety hat with shield
We provide exclusive customization of the products logo, using advanced printing technology and technology, not suitable for fading, solid and firm, scratch-proof and anti-smashing, and suitable for various scenes such as construction, mining, warehouse, inspection, etc. Our goal is to satisfy your needs. Demand, do your best.
Professional team work and production line which can make nice quality in short time.
The professional team provides 24 * 7 after-sales service for you, which can help you solve any problems
Address：No. 3888, Hutai Road, Baoshan District, Shanghai, China
14/5/2018, · Many manufacturers designate ,ITAR, zones that require a badge to access where employees only work on ,ITAR, parts, section off or enclose ,part, of the manufacturing floor to produce ,ITAR, products, or have specific machines designated to run ,ITAR, parts. However, with the speed and volume of parts manufactured at Protolabs, this approach isn’t ...
23/6/2020, · ITAR is a set of export control requirements (22 CFR 120-130) that were created to protect the movement, sale, or transfer of defense-related technology and prevent it from getting into the hands of foreign countries or parties who could use it for malicious purposes.
The Directorate of Defense Trade Controls (DDTC), U.S. Department of State, administers the ,International Traffic in Arms Regulations, (,ITAR,) (22 CFR parts 120 through ,130,). On May 24, 2018, DDTC published a proposed rule, 83 FR 24198 , for public comment regarding proposed revisions to Categories I, II, and III of the ,ITAR,'s U.S. Munitions List (USML) ( 22 CFR 121.1 ).
27/1/2020, · The Commerce Department also noted that while reporting of fees and commissions under ITAR Part 130 will not apply to EAR-controlled items, “the Foreign Corrupt Practices Act (FCPA) already prohibits this type of corruption activity and provides a robust regulatory scheme.
29/7/2019, · ,Part 130, – Political Contributions, Fees and Commissions The ,ITAR, is vague and open to interpretation. That is not by mistake but by design to allow the government the most flexibility and control over the military articles and services and, again, to protect …
The alleged violations include: unauthorized exports to foreign person employees; unauthorized provisions of defense services to various countries, including proscribed destinations; failure to properly apply for and manage licenses and exemptions (violations of provisos, terms and conditions of licenses); and undisclosed payments under Part 130 of the ITAR.
Under the export control regulations, every item can classified as being subject to ,ITAR,, the CCL, another agency’s regulations, or else is designated as EAR99. ,What is ITAR,? ,ITAR, stands for the ,International Traffic in Arms Regulations, (22 CFR §§ 120-,130,), established by the Directorate of Defense Trade Controls within the U.S. Department of State.