Compliance and export control.

For program officers and contracting officers: our export control status, TAA compliance intent for US government acquisition, and facility clearance posture. Stated factually. We do not claim certifications we have not completed.

ITAR and Export Administration Regulations

Notice

Tarysar products are subject to US export control regulations under the International Traffic in Arms Regulations (ITAR) and Export Administration Regulations (EAR). All engagements require completion of end-user certificate procedures before technical specifications are shared.

The Tarysar Subsurface Detection System is classified as dual-use hardware — it has both defense applications (tunnel warfare detection, border security) and civilian applications (mine safety monitoring, subsurface survey). Dual-use classification means the hardware and technical data fall under the Commerce Control List (CCL) and may also be subject to ITAR review depending on the specific configuration and end use.

We do not export, transfer, or disclose controlled technical data to foreign nationals or foreign entities without prior completion of the applicable export authorization procedures. This applies to system specifications, source code, manufacturing data, and technical discussions of controlled parameters.

Prospective customers — including US government agencies, US prime contractors, and US law enforcement — will be asked to complete standard end-user certification before detailed technical engagement. This is standard practice for dual-use defense hardware companies and is not a barrier to engagement.

Export License and Country Coverage

Current Tarysar engagements are limited to US-domiciled entities and US government programs. Foreign military sales and direct commercial sales to foreign governments are subject to additional ITAR authorization procedures and are evaluated on a case-by-case basis consistent with applicable regulations.

We do not publicly disclose which specific export control categories our products fall under. Prospective partners and program offices with specific classification questions should direct those inquiries to our compliance contact.

TAA Compliance Intent for US Government Acquisition

Tarysar's product design intent is US-origin hardware for US government acquisition eligibility under the Trade Agreements Act. The Tarysar SDS sensor node electronics, mechanical enclosures, and firmware are being designed and manufactured with TAA compliance in mind for future US federal procurement engagements.

Important qualification

We are an early-stage company. We make no representation that our current product configuration has been formally reviewed or certified as TAA-compliant. Program offices with formal TAA compliance requirements should discuss specific contract requirements directly with our team.

For US government acquisitions subject to FAR 25.4 and TAA requirements, we engage at the pre-solicitation stage to understand contract vehicle requirements and ensure our supply chain and manufacturing documentation can support TAA compliance verification before contract award.

Security Clearance Requirements

Tarysar does not currently hold facility clearances (FCL). We are an early-stage company, and the FCL process is tied to specific program award timelines. For classified programs requiring cleared contractor access: we engage with program security officers at the pre-solicitation stage to map clearance requirements against anticipated award timing. Individual team member clearance eligibility is discussed in those conversations on a case-by-case basis.

Compliance questions: contact us directly.

Export control and compliance questions should go to our primary contact. We respond to substantive compliance inquiries from program officers, contracting officers, and legal counsel.