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The Power Contractor
Industrial Equipment & EPC
Legal

Export Compliance Notice

Our position on export controls, dual-use goods, sanctions and end-use restrictions.

Last updated: May 2026

1. Compliance commitment

The Power Contractor complies with applicable export control laws of the People's Republic of China and respects the export control regimes of the United States, the European Union, the United Kingdom and the United Nations, among others.

We will not knowingly supply equipment to sanctioned parties, sanctioned end-uses, or destinations prohibited under applicable law.

2. Buyer's obligations

By placing an order, the buyer represents that the goods will be used by the named end-user, at the named end-use, and in the named end-country, and that the supply does not violate any export control or sanctions law of the buyer's jurisdiction, ours, or the manufacturer's.

The buyer agrees not to re-export, transfer or otherwise divert the goods to any third party or any destination contrary to applicable law without our prior written consent.

3. Dual-use goods

Some industrial equipment may be classified as dual-use under various export control regimes. Where applicable, we will obtain the necessary export licences or end-user certificates before shipment, and may require the buyer to provide an end-user statement.

4. Documentation

On request, we will provide HS classification, country of origin, and ECCN/EAR99 references for the equipment we supply, to support the buyer's own compliance and customs processes.

5. Right to decline

We reserve the right to decline any order or to suspend any shipment if we have reason to believe that the transaction would contravene applicable export control or sanctions law.

6. Contact

For compliance enquiries, email info@pc-cn.com referencing "Export compliance".

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