COMPLIANCE & EXPORT CONTROL POLICYEffective Date: February 13, 2026
1. Commitment to CompliancePrime Turbine Support LLC is committed to full compliance with all applicable United States laws and regulations governing international trade, export controls, and sanctions.
We conduct our business in accordance with U.S. export control and sanctions regulations.
2. Applicable RegulationsOur operations may be subject to, including but not limited to:
- U.S. Export Administration Regulations (EAR)
- U.S. Department of Treasury – Office of Foreign Assets Control (OFAC) sanctions programs
- U.S. anti-boycott regulations
- Other applicable U.S. trade control laws
3. Restricted Parties & Sanctioned JurisdictionsPrime Turbine Support LLC does not:
- Conduct business with sanctioned countries or regions
- Engage with individuals or entities listed on U.S. restricted party lists
- Facilitate transactions intended to circumvent U.S. export laws
All counterparties may be subject to screening against applicable denied party lists.
4. End-Use and End-User VerificationWe may require customers to provide:
- End-user statements
- Ultimate consignee information
- Corporate registration documentation
- Intended end-use details
Transactions may be declined if sufficient information is not provided.
5. Export Classification & DocumentationWhere applicable, products may be subject to export classification requirements.
Customers are responsible for complying with all applicable local import regulations.
6. RecordkeepingPrime Turbine Support LLC maintains records in accordance with applicable U.S. regulatory requirements.
7. Refusal of TransactionsWe reserve the right to refuse or terminate any transaction that:
- Raises export compliance concerns
- Involves inaccurate or incomplete information
- May violate U.S. law
8. Reporting ConcernsCompliance-related inquiries may be directed to:
sales@prime-turbinesupport.com