Trust & Compliance
Export Compliance & Sanctions
Our commitment to international trade compliance
FoxtInn complies with all applicable export control and economic sanctions laws including those administered by the US Department of the Treasury Office of Foreign Assets Control (OFAC), US Department of Commerce Bureau of Industry and Security (BIS), EU Common Foreign and Security Policy (CFSP), UK Office of Financial Sanctions Implementation (OFSI), and United Nations Security Council sanctions.
1. Restricted Territories
FoxtInn services are NOT available in the following comprehensively sanctioned countries/regions:
- Cuba
- Iran
- North Korea (DPRK)
- Syria
- Crimea, Donetsk, and Luhansk regions of Ukraine
- Any other territory subject to comprehensive US, EU, or UN sanctions
This list is updated as sanctions regimes change.
2. Sanctions Screening
FoxtInn screens all customers against:
- OFAC Specially Designated Nationals (SDN) List
- OFAC Consolidated Sanctions List
- EU Consolidated Financial Sanctions List
- UK Sanctions List
- UN Security Council Consolidated List
Screening occurs at: Account registration, subscription changes, annual re-screening for active accounts
Matches result in: Account suspension pending review
3. Customer Obligations
By using FoxtInn, you represent and warrant that:
- You are not located in a restricted territory
- You are not on any sanctions list
- You will not use FoxtInn to facilitate transactions with sanctioned parties
- You will not export, re-export, or transfer FoxtInn data or services to restricted territories
- You will comply with all applicable export control and sanctions laws in your jurisdiction
4. Export Classification
FoxtInn Classification: EAR99 (no export license required for most destinations)
Encryption: Uses standard commercial encryption (TLS 1.2+, AES-256) classified under ECCN 5D992 (mass-market encryption, License Exception ENC applicable)
Controlled technology: None. No controlled technology, technical data, or defense articles involved.
5. Anti-Money Laundering (AML)
FoxtInn does not provide financial services subject to Bank Secrecy Act (BSA) registration. Payment processing is handled by Stripe (PCI DSS Level 1, registered Money Services Business where required).
Suspicious activity: If FoxtInn identifies suspicious transactions consistent with money laundering indicators, we may suspend the account and report as required by law.
6. Anti-Bribery & Corruption
FoxtInn complies with the US Foreign Corrupt Practices Act (FCPA), UK Bribery Act 2010, and applicable anti-corruption laws.
- Policy: Zero tolerance for bribery, kickbacks, or improper payments
- Partners & resellers: Required to comply with our anti-corruption standards
7. Modern Slavery Statement
FoxtInn is committed to preventing modern slavery and human trafficking in our business and supply chain per the UK Modern Slavery Act 2015 and Australia Modern Slavery Act 2018.
- Due diligence: All material vendors and subprocessors assessed for labor practices
- Risk areas: Cloud infrastructure (data center labor), content moderation services
- Reporting: Concerns about modern slavery to ethics@foxtcon.com
8. Conflict Minerals
As a software company, FoxtInn does not directly source minerals. We are committed to ensuring our hardware vendors (data center equipment providers) comply with Section 1502 of the Dodd-Frank Act regarding conflict minerals.
9. Reporting Concerns
Export compliance officer: compliance@foxtcon.com
Anonymous ethics hotline: ethics@foxtcon.com
Whistleblower protections: Apply to good-faith reports
10. Consequences of Violation
Violations of export control or sanctions laws may result in:
- Immediate account termination
- Reporting to relevant government authorities
- Civil and criminal penalties (up to $1M per violation and/or imprisonment under US law)
FoxtInn cooperates fully with government investigations.
11. Updates
Last updated: April 13, 2026. Reviewed quarterly and upon changes to sanctions regimes.