Safety Information

the EAR and, if the items are subject to the EAR, ZTE must be provided with (i) the Export
Control Classification Numbers (ECCNs) of the items and (ii) any export license or license
exceptions used to provide the items to ZTE (e.g. License Exception CIV). ZTE will also
require its suppliers to provide relevant export classification and licensing information for
items that are not subject to the EAR.
3. Ensure that, unless all appropriate licenses or other authorizations are obtained pursuant
to applicable laws and regulations prior to any such transfer, no hardware, software or
technology will be:
A. Provided directly or indirectly to or for use in countries or regions that are sanctioned by
the United States (currently Iran, Sudan, Syria, North Korea, Cuba, and Crimea);
B. provided directly or indirectly to or for use by entities or individuals on any Chinese, UN,
EU, US or other list of sanctioned/restricted parties;
C. used in a manner otherwise prohibited under the EAR or other applicable export control
or economic sanctions laws and regulations.
4. Keep a complete record pertaining to destination, end user and end use of exports, re-
exports and transfers (in-country) of ZTE hardware, software and technology, and promptly
provide all such records upon ZTE's reasonable request.
Compliance with U.S. export control regulations is an essential requirement for ZTE and its
international business operations.
Chairman of ZTE
President of ZTE
PDF downloadOpen Letter and Notice to Directors, Officers, Employees, Contractors,
Suppliers, and Business Partners Regarding Prohibited Transfers of Items Subject to the EAR
to Restricted Regions