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Base rate computed from analyst-asserted responds_to: edges in the reverse direction (target-country → issuer-country) for prior issuer-actions on the same target. Modal type + lag percentiles only — not a model output. Treat as a historical anchor for sizing counter-response scenarios, not a forecast in itself.
The Unverified List (Supplement No. 6 to 15 CFR Part 744) lists foreign persons whose bona fides BIS was unable to verify in prior end-use checks. UVL placement does not impose a license-denial presumption (unlike the Entity List) but it suspends EAR license exceptions for shipments to listed parties and requires US exporters to obtain a signed UVL Statement before exporting items subject to the EAR. Removal occurs under § 744.15(c)(2) when BIS completes a satisfactory pre-license or post-shipment check.
This rule removes three companies effective January 19, 2024:
1. Skymount Drones (Canada) — a Canadian drone-technology company. The Canada listing is notable given drone components' dual-use sensitivity and Canada's role as a potential transit point; BIS completion of verification restores normal EAR access.
2. Plexus (Xiamen) Co., Ltd. (China) — an electronics manufacturing services company operating in Xiamen. Plexus is a subsidiary of Plexus Corp (PLXS), a Neenah, Wisconsin– based electronics manufacturing services (EMS) provider.
3. Delma Industrial Supply & Marine Services (UAE) — a marine and industrial supply company based in the UAE. UAE entities routinely appear on the UVL due to the jurisdiction's role as a trans-shipment hub for controlled items; this removal indicates satisfactory end-use verification.
parties to normal EAR footing.
supply-chain sensitivity in the 2024 Russia-Ukraine context; it signals BIS was satisfied that the Canadian drone company is not routing controlled technology to sanctioned end users.
relevant for US OEMs relying on Plexus for PCB assembly.
Skymount Drones reappears in any subsequent UVL or Entity List action.