APEX Compliance Policy

APEX Compliance Policy

The APEX Compliance Policy was updated on December 01, 2024

At Aviation Parts Executive, Inc. (APE), we are committed to maintaining the highest standards of compliance with all applicable trade, export, and sanctions regulations in every country where we conduct business. Our goal is to ensure full adherence to U.S. and international laws governing the sale, transfer, and export of aviation parts and related materials.

Key Areas of Compliance
• Export and Sanctions Regulations: APE abides by all U.S. export and sanctions laws, including those enforced by the Office of Foreign Assets Control (OFAC). We ensure that our transactions are conducted in accordance with applicable country-specific sanctions, embargoes, and restrictions.
• International Traffic in Arms Regulations (ITAR): Products and services classified under the United States Munitions List (USML) are subject to the control of the International Traffic in Arms Regulations (ITAR). APE strictly follows these requirements to ensure that ITAR-controlled items are not sold, shipped, or transferred to unauthorized parties or countries.
• Export Administration Regulations (EAR): Items governed by the Export Administration Regulations (EAR) and listed on the Commerce Control List (CCL) are handled with the utmost diligence. APE ensures that all necessary export licenses and authorizations are obtained before shipping products to any restricted destinations.

Commitment to Ethical Trade
Aviation Parts Executive, Inc. prioritizes ethical trade and regulatory compliance to protect the integrity of our business and the aviation supply chain. We conduct internal audits, require end-user statements, and engage in due diligence to verify that all transactions comply with applicable laws and regulations.

If you have any questions about APE’s Compliance Policy or need further clarification on trade restrictions, please contact your Aviation Parts Executive, Inc. representative.

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