Export Control & Sanctions Policy
Effective: 2/26/2026 SECURE DOCUMENT
# Export Control & Sanctions Policy
**Effective Date:** January 1, 2024
## Compliance Commitment
Strix VPN is committed to complying with all applicable export control laws and economic sanctions, including those administered by:
- U.S. Department of Treasury, Office of Foreign Assets Control (OFAC)
- U.S. Department of Commerce, Bureau of Industry and Security (BIS)
- European Union sanctions regimes
- Other applicable jurisdictions
## Restricted Territories
Our services are NOT available in:
- Iran
- North Korea
- Syria
- Cuba
- Crimea region
- Donetsk and Luhansk regions of Ukraine
- Any other sanctioned jurisdiction
## Denied Parties
We do not provide services to:
- Individuals on the OFAC Specially Designated Nationals (SDN) list
- Entities on the BIS Entity List
- Other denied parties per applicable laws
## Prohibited End Uses
Services may not be used for:
- Development of weapons of mass destruction
- Support of terrorist activities
- Violation of export control laws
## Screening
We conduct screening of users against applicable sanctions lists and reserve the right to deny or terminate service to any party identified on such lists.
## User Responsibility
Users represent and warrant that they:
- Are not located in a sanctioned territory
- Are not on any denied party list
- Will not use services for prohibited purposes
## Updates
Sanctions programs change frequently. This policy is updated regularly to reflect current requirements.
## Contact
**Strix VPN**
Email: legal@strixvpn.com