Export Compliance
Aviation parts can fall under ITAR, EAR, or both. PartsPerk classifies before quoting, screens parties before shipping, and refuses transactions when the destination, end use, or end user does not clear. This page is informational, not legal advice — your in-house compliance team remains the system of record on every shipment.
Defense articles on the U.S. Munitions List are administered by the U.S. Department of State, DDTC. We hold defense-article inquiries to verified U.S. parties or those with valid export authorization, and we will not provide technical data outside an authorized channel.
Dual-use commercial items are administered by BIS under the Commerce Control List. We classify the ECCN at quote time, evaluate license requirements by destination, and document the license exception used (or the license obtained) for each export.
Every party on a shipment — buyer, end user, freight forwarder, broker — is screened against the U.S. Consolidated Screening List (DPL, Entity List, SDN, Unverified, Military End User) and equivalent allied lists before release.
For controlled lines we collect end-use statements and may require an end-user certificate. Diversion-risk indicators — vague end use, freight-forwarder-only addresses, mismatched payors — pause the shipment until resolved.
Send your business name, country, end-use, and end-user details with the RFQ. Most commercial aviation lines clear quickly; ITAR-controlled and Entity-Listed cases get a direct conversation rather than a silent refusal.