Arrow China Electronics Trading Co. Details Emerge
Table of Contents
- 1. Arrow China Electronics Trading Co. Details Emerge
- 2. The Broader Context of Electronics Trade in China
- 3. Frequently Asked Questions
- 4. What are the core functions of the Bureau of Industry and Security (BIS) in implementing U.S. export control policy?
- 5. Understanding the department of CommerceS Export Control Regulations: An Overview of Billing Code 3510-33-P and the bureau of Industry and Security
- 6. What are Export Control Regulations?
- 7. The Role of the Bureau of Industry and Security (BIS)
- 8. Decoding Billing Code 3510-33-P
- 9. Key Concepts in Export Control: ECCNs and CCL
- 10. License Exceptions: Streamlining Exports
- 11. Red Flags & Compliance Best Practices
Recent disclosures have brought further clarity to the structure of Arrow China Electronics trading Co., Ltd., a key player in the electronics component distribution sector. The company,which also operates under the alias Arrow (China) Electronics Trading Company limited,is located at Section A of a building,a detail previously noted in company filings.
This details surfaces amid increased scrutiny of international trade and supply chains, particularly concerning electronics manufacturing. Arrow China’s role is notable given China’s position as a global hub for electronics production, accounting for over 50% of global electronics manufacturing according to Statista.
Further details regarding the company’s operations and affiliations are currently under review by regulatory bodies. The revelation of the alias, Arrow (China) Electronics Trading Company Limited, points to a complex corporate structure, common in multinational enterprises operating within China’s economic landscape.
Industry analysts suggest this clarification is a step toward greater transparency in the often-opaque world of international trade. The disclosure may impact future business dealings and partnerships for Arrow China, as well as influencing regulatory oversight.
| Company Name | Alias | Location |
|---|---|---|
| Arrow China Electronics trading Co., Ltd. | Arrow (China) Electronics trading company Limited | Section A, Building |
Did You Know? China’s share of global electronics sales is projected to reach 35.8% in 2025, further solidifying its dominance in the industry.
The Broader Context of Electronics Trade in China
China’s electronics industry has experienced exponential growth over the past two decades, fueled by factors such as low labor costs, a robust supply chain, and government support. However, this growth has also been accompanied by challenges, including increasing competition, trade tensions, and concerns about intellectual property protection.
Foreign companies operating in China often navigate a complex regulatory surroundings and face unique challenges related to compliance and market access. Understanding these dynamics is crucial for businesses seeking to engage in trade wiht China.
Pro Tip: When researching companies operating in China, always verify their official registration details and explore any associated aliases to ensure a thorough understanding of their structure.
Frequently Asked Questions
-
What is Arrow China Electronics Trading Co., Ltd.?
Arrow China Electronics trading Co., Ltd. is an electronics component distributor operating in China, also known as Arrow (China) Electronics Trading Company Limited.
-
Why is the alias vital?
The alias, Arrow (China) Electronics Trading Company Limited, provides a more complete picture of the company’s identity and its operations within china.
-
What impact might this disclosure have?
The disclosure may lead to greater transparency in the company’s dealings and perhaps influence regulatory oversight.
-
What is China’s role in global electronics manufacturing?
China is the world’s largest electronics manufacturer, accounting for over 50% of global output.
-
Where can I find more information about electronics trade in China?
Resources such as Trade.gov provide comprehensive information on the electronics industry in China.
What are the core functions of the Bureau of Industry and Security (BIS) in implementing U.S. export control policy?
Understanding the department of CommerceS Export Control Regulations: An Overview of Billing Code 3510-33-P and the bureau of Industry and Security
What are Export Control Regulations?
Export controls are U.S. laws and regulations that govern the export, re-export, and transfer (in-country) of items – including products, technologies, software, and data – to ensure they don’t compromise national security, foreign policy interests, or international commitments. These regulations are primarily administered by the Bureau of Industry and Security (BIS),a division of the U.S. Department of Commerce. Understanding these regulations is crucial for businesses involved in international trade, technology transfer, and even certain research activities. Non-compliance can lead to severe penalties, including hefty fines, imprisonment, and loss of export privileges.
The Role of the Bureau of Industry and Security (BIS)
The BIS plays a central role in implementing U.S. export control policy. Its core functions include:
* Licensing: Evaluating export license applications for items subject to control.
* Enforcement: Investigating potential violations of export control regulations.
* Policy Growth: Developing and updating export control regulations based on evolving threats and technologies.
* Outreach & Education: Providing guidance and training to businesses on compliance requirements.
BIS controls are found in the Export Administration Regulations (EAR), codified in Title 15 of the Code of Federal Regulations, Parts 730-774. The EAR categorizes items based on their potential for misuse and establishes licensing requirements for exporting them to specific destinations.
Decoding Billing Code 3510-33-P
Billing Code 3510-33-P specifically relates to the Department of Commerce,and more precisely,the Bureau of Industry and Security (BIS). It’s a standardized code used by the U.S. government for tracking and identifying agency actions,notably those involving regulations,notices,and other official documents.
Here’s what it signifies:
* 3510: Represents the Department of Commerce.
* 33: Specifically designates the Bureau of Industry and Security (BIS).
* P: Indicates that the action is related to export administration regulations.
When you encounter this billing code in the Federal Register or other government publications, it signals that the document pertains to BIS’s export control activities. It’s a key identifier for quickly locating relevant regulations and guidance. Searching for “Billing code 3510-33-P” alongside specific keywords (e.g., “dual-use goods,” “license exception”) can substantially refine yoru research.
Key Concepts in Export Control: ECCNs and CCL
Two essential concepts underpin the EAR:
* Export Control Classification Number (ECCN): A five-digit alphanumeric classification that identifies the specific type of item being exported. Each ECCN corresponds to a particular category of goods, software, or technology. Determining the correct ECCN is the first step in determining if a license is required.
* Commerce Control List (CCL): The CCL (Supplement No.1 to Part 738 of the EAR) lists all items subject to U.S. export controls. It’s organized by ECCN, and each entry specifies the control reasons (national security, regional stability, etc.) and the destinations to which exports are restricted.
Example: A high-performance computer might be classified under ECCN 5A002, which requires a license for export to certain countries due to its potential use in military applications.
License Exceptions: Streamlining Exports
the BIS recognizes that requiring a license for every export would be impractical. Thus, it provides various license exceptions that allow exports to occur without a license, even if the item is controlled. Common license exceptions include:
* CIV (civilian End-Users): Allows exports to civilian end-users in eligible countries.
* ENC (Encryption Commodities, Software, and technology): Provides exceptions for certain encryption items.
* LVS (Limited Value Shipment): Applies to shipments below a certain value threshold.
* RPL (Servicing and Replacement of Parts): Permits the export of parts for the repair and maintenance of existing equipment.
Though, using a license exception requires meeting specific conditions and documenting the transaction appropriately.
Red Flags & Compliance Best Practices
Identifying potential compliance issues is crucial. Be alert for these red flags:
* Unusual Destinations: Exports to countries subject to embargoes or sanctions (e.g., Cuba, Iran, North Korea, syria).
* Suspicious End-Users: Transactions involving entities with ties to military organizations, proliferation activities, or terrorism.
* Vague End-Use Statements: Lack of clarity regarding how the item will be used.
* Attempts to Circumvent Controls: Efforts to re-export items through third countries or modify items to avoid control.
Compliance Best Practices:
- Classification: Accurately