Covered entities
- Huawei Technologies Company
- ZTE Corporation
- Hytera Communications Corporation
- Hangzhou Hikvision Digital Technology Company
- Dahua Technology Company
- Subsidiaries and affiliates of any of the above, and any entity the Secretary of Defense designates as owned or controlled by the People's Republic of China.
Section 889(a)(1)(A) and (B)
- Part A
- The U.S. Government may not procure, obtain, or extend or renew a contract to procure or obtain covered telecommunications equipment or services. Effective August 13, 2019.
- Part B
- The U.S. Government may not enter into a contract with any entity that uses covered telecommunications equipment or services as a substantial or essential component of any system. Effective August 13, 2020.
PartsPerk posture
- Internal hardware, video surveillance systems, and telecommunications services are sourced from non-covered providers; substitutions are vetted through procurement and security review.
- We make the FAR 52.204-26 representation and FAR 52.204-25 prohibition certifications truthfully on every applicable solicitation.
- When a buyer requests a Section 889 certification on a non-federal order, we provide a corresponding written attestation.
- Any incidental discovery of covered equipment within our environment triggers immediate isolation, replacement, and a written notification to affected federal customers.
Supplier flow-down
Suppliers furnishing components, subassemblies, or services into PartsPerk federal-bound deliveries certify in writing that they do not use covered telecommunications equipment or services as a substantial or essential component, and they cooperate with audits or representations our customers require.
Waivers
We do not seek or rely on Section 889 waivers. Any line that cannot be cleared is removed from federal-bound supply.
Question, request, or follow-up?
Reach the PartsPerk team for clarification, escalation, or to start a related conversation.
PartsPerk LLC · Delaware, United States · Doc /policies/section-889 · v1.0
