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Regulatory Compliance

Trust and success of our customers are the highest priorities for insightsoftware.com. Compliance plays a key role in achieving these goals. We are committed to abiding by the laws and regulations that apply to us as we conduct business around the world.

Export Compliance in the United States

This is insightsoftware.com’s export compliance matrix. It is a list of our Hubble® products with respective Export Control Classification Numbers (ECCNs) and eligible license exceptions as per the United States Department of Commerce, Bureau of Industry and Security, Export Administration Regulations.

All information on this export compliance matrix is strictly a recommendation to the user, and should be used in conjunction with the Export Administration Regulations when classifying Hubble products and services for export purposes.

insightsoftware.com makes no representation or warranty as to the accuracy or reliability of the classifications listed in this export compliance matrix. Any use of such classifications by the user, is without recourse to insightsoftware.com and is at the users’ own risk. You are responsible for ensuring that use of the software is in compliance with these U.S. Export Administration Regulations. insightsoftware.com is in no way responsible for any damages whether direct, consequential, incidental, or otherwise, suffered by the user as a result of using or relying upon such classifications, for any purpose whatsoever.

insightsoftware.com’s Encryption Registration Number (ERN) is R106074:

Hubble Cloud Service

Product

Capability

ECCN

Eligible License Exception

CCATS

Hubble

Analytics & Reporting

5D002

ENC

G154012

Hubble Accelerator

For assistance with export classification of Hubble Accelerator, please contact the equipment manufacture.

Definition of Terms and Acronyms

ECCN = U.S. Export Control Classification Number
CCATS = U.S. Commodity Classification Automated Tracking System

Prohibited Countries

insightsoftware.com complies with U.S. regulations related to embargoed countries. As such, insightsoftware.com currently prohibits the usage of its products and services in Cuba, Iran, North Korea, Sudan, and Syria. Because this list of countries may change from time to time, customers and their users are urged to consult the list of countries set forth in Country Group E of the US Export Administration Regulations or in accordance with Canada’s Area Control List under Canada’s Export and Import Permits Act.

The exportation, reexportation, sale or supply, directly or indirectly, from the United States, or by a U.S. person wherever located, of any Hubble products, services or technology (including technical data) to any of these countries is strictly prohibited without prior authorization by the U.S. Government.

Denied Parties

insightsoftware.com products may not be exported or re-exported to anyone on the U.S. Treasury Department’s list of Specially Designated Nationals or Foreign Sanctions Evaders Lists, the U.S. Department of Commerce Denied Person’s List, Entity List, or Unverified List, the State Department's Debarred list, or similar government authorized denied parties list.

For more information and for further assistance in determining your individual licensing requirements, contact the Department of Commerce, Bureau of Industry and Security .

Export Compliance in the European Union (EU)

Legal framework:

Dual-use items (including technology and software) can be subject to controls when such items are transferred within or exported from the EU. An export license is required for products which are listed in Annex I of Council Regulation (EC) No 428/2009 (as amended by EU Regulation No. 1232/2011 and EU Council Regulation No. 388/2012), unless they meet the specific exclusions outlined in the notes contained in the Regulation. There are specific exclusions for certain software and technology items. Careful consideration should be applied when assessing whether such exclusions can be met.

insightsoftware.com is committed to meet all of its export compliance obligations in accordance with both EU and National export control legislation and regulations which may apply in the country of the export.

Based on the nature and technical specifications of Hubble products, insightsoftware.com has determined that all Hubble products are listed in Category 5 (Telecommunications and “information security”) in Annex I of Council Regulation (EC) No 428/2009 (as amended by EU Regulation No. 1232/2011 and EU Council Regulation No. 388/2012) and have assigned the following EU control list number to the Hubble product:

Product

Capability

EU Control List Number

Hubble

Analytics & Reporting

5D002

All information on this export compliance matrix is strictly a recommendation to the user, and should be used in conjunction with the EU and National export control legislation and regulations when classifying Hubble products and services for export purposes.

An export license is only required for the movement of dual-use products within the EU if it is listed in Annex IV of Council Regulation (EC) No. 428/2009 (as amended by EU Regulation No. 1232/2011 and EU Council Regulation No. 388/2012). All Hubble products are considered to fall outside of the listing contained in Annex IV and are not subject to control for movements within the EU.

EU Licensing – Exports outside the EU:

An EU license will be required if the Hubble product is exported outside of the EU. Council Regulation (EC) No 428/2009 (as amended by EU Regulation No. 1232/2011 and EU Council Regulation No. 388/2012) and local National legislation should be consulted by the user in order to determine the specific licensing requirements which should be complied with. The license type together with any license simplifications may differ between EU Member States.

The re-export of controlled products listed in this document is the responsibility of the user and the user is responsible for ensuring compliance with appropriate EU or National legislation.

EU “catch-all” clause:

Items which are not included in Annex I of Council Regulation (EC) No 428/2009 (as amended by EU Regulation No. 1232/2011 and EU Council Regulation No. 388/2012) may still be subject to export controls under certain circumstances. For instance, if the exporter has been informed by the Export Licensing Authorities in the relevant EU Member State that the goods are to be used in connection with chemical, nuclear or biological weapons, or of any other nuclear explosive devices then an export license will be required. An export license is also required where:

  • the purchasing country or the destination country of the goods is subject to an arms embargo imposed by certain organizations and the Export Licensing Authorities in the relevant EU Member State have informed the exporter that the goods are, or may be intended for military use; or
  • where the Export Licensing Authorities of the relevant EU Member State have informed the exporter that their goods are, or may be intended, to be used as part of military items listed in the National military list of the relevant EU Member State where the goods have already been exported from the EU without having obtained an export license or in violation of a license provided for by the legislation of the relevant EU Member State.

EU Restrictive Measures:

The EU imposes restrictive measures (or sanctions) on certain countries, individuals and organisations. The restrictive measures can vary from arms embargoes to financial sanctions and the EU regularly publishes updates to the restrictive measures which are in force.

Insightsoftware.com adheres to all restrictive measures imposed by the EU and does not permit any transaction which may breach such measures. It is also the responsibility of users to comply with such measures.

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