ECCN Publication Statement
- ZTE Corporation (“ZTEC”) and its subsidiaries are committed to complying fully with all
applicable export control laws and regulations. As part of its compliance efforts, ZTEC makes
available to its customers and business partners the applicable Export Control Classification
Number (“ECCN”), de minimis calculation for items that include controlled U.S.-origin content,
and other export control information for products subject to the Export Administration
Regulations. Please use the query tool below to search for ECCN and other export control
information by Item Code, Bar Code/SN/IMEI, Item Name or Item Series. Please be aware that the
information provided is subject to change and may be updated from time to time based on
The information provided herein is not intended for use in determining applicable export control
restrictions under US export control and sanctions regulations for exports, reexports or other
transfer to sanctioned countries and regions. It is ZTE policy not to do business directly or
indirectly with sanctioned countries and regions (currently Cuba, Iran, North Korea, Syria, and
the Crimea region). Exports of ZTE products to these countries and regions are not authorized.
The information provided herein does not take into consideration the specifics of any given
transaction, where factors such as country of destination, end-user, and end-use may impact
license determination (e.g., whether the end-user is on a restricted parties list or whether the
end-use is prohibited).
The DM25 column indicates whether an item is subject to the EAR when performing a de minimis
calculation where the numerator includes the value of all content that is subject to the EAR and
classified in an ECCN subject to controls beyond solely Anti-Terrorism Column 1 (AT1).
The DM10 column indicates whether an item is subject to the EAR when performing a de minimis
calculation where the numerator includes the value of all content subject to the EAR, whether
classified as EAR99 or specifically enumerated on the Commerce Control List. Exporters must
review all applicable export control and sanctions regulations and the specific facts of the
transaction at issue. Information provided in the DM10 column cannot be relied on for legal
compliance purposes. In addition, as noted above, it is ZTE policy not to do business directly
or indirectly with the above-referenced sanctioned countries or regions. Any export, reexport or
transfer by a third party of ZTE items directly or indirectly to these sanctioned countries or
regions is contrary to ZTE policy.
This information does not constitute legal advice under US or other laws and regulations. ZTEC
provides ECCNs and other information for informational purposes only, and takes no
responsibility for any transactions, exports, re-exports, or transfers undertaken by a third
party in reliance on this information.
- If you have any questions concerning this query tool or ECCNs provided, please contact:ZTE.ECCN@zte.com.cn.
Official Website Inquiry Operation Manual.pdf》.
||De minimis (25%)
||Subject to EAR (25%)
||Applicable Exception Clause
||De minimis (10%)
||Subject to EAR (10%)