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435. Is the exportation of anti-virus, anti-malware, anti-tracking, and anti-censorship software authorized under 31 CFR § 560.540 of the Iranian Transactions and Sanctions Regulations (ITSR)?
Yes. Section 560.540(a)(3) authorizes the exportation of certain anti-virus, anti-malware, anti-tracking, anti-censorship software, and related services, as specified in categories (6), (7), and (9) of the31 CFR § 560.540 List of Services, Software, and Hardware Incident to Communications.
Date Updated: May 16, 2024
February 17, 2015
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435. Is the exportation of anti-virus, anti-malware, anti-tracking, and anti-censorship software authorized under General License (GL) D-2?
Yes. Paragraph (a)(3) of GL D-2 authorizes the exportation of certain anti-virus, anti-malware, anti-tracking, and anti-censorship software, as specified in categories (6), (7), and (9) of the Annex to GL D-2.
Date Updated: January 11, 2023
Updated on 01/11/2023
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435. Is the exportation of anti-virus, anti-malware, anti-tracking, and anti-censorship...
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* FAQ amended on 5-16-24 in connection with OFAC’s incorporation of Iran GL D-2 into the ITSR at section 560.540. Amendments to this FAQ were non-substantive in nature.
* On 9-23-22, OFAC replaced Iran GL D-1 with Iran GL D-2, initially without making amendments to this FAQ. See Iran GL D-2, and comments thereto, for a discussion on the changes between GL D-1 and GL D-2. On 1-11-23, OFAC amended this FAQ without making substantive changes beyond, as the case may be, changing references to GL D-1 to GL D-2, removing "personal" from "personal communications", and removing references to the GL D-1 equivalent that was previously found in the now-repealed Sudanese Sanctions Regulations. The notes below the asterisks pertain to the original version of the FAQ (see native PDF file).
---Below comments not amended as a result...