Rapid7's products are subject to U.S. export controls. The sale, use, reexport or transfer of Rapid7's products must comply with all applicable export and reexport control laws and regulations, including the Export Administration Regulations (EAR), administered by the U.S. Department of Commerce, and trade and economic sanctions, administered by the U.S. Treasury Department's Office of Foreign Assets Control (OFAC). Specifically, no person or entity may - directly or indirectly - sell, export, reexport, transfer, divert, or otherwise dispose of any product, software, or technology (including products derived from or based on such technology) to any destination, entity, or person prohibited by the laws or regulations of the United States, without obtaining prior authorization from the U.S. government as required by those laws and regulations. In addition, depending on the location and/or distribution of Rapid7's products, they may also be subject to the export control and import laws of other jurisdictions. Encryption Controls Many of Rapid7's products are subject to additional export restrictions under U.S. law because they include encryption technology.