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Export & Compliance

Export control, licensing and end-use considerations that apply to BHS technologies and technical data.

Last updated: 17 September 2026

Why this matters

Bharat Homeland Security (“BHS”) develops security technologies in India and works with organizations internationally. Technologies, software, components, services and technical data of this kind may be subject to export control and related regulation.

Applicable regulation

BHS technologies and technical data may be subject to Indian export-control law and policy — including, where applicable, India's SCOMET list of Special Chemicals, Organisms, Materials, Equipment and Technologies — and to other international regulations that apply to a given transaction, party or destination. Sanctions and trade-restriction measures may also apply.

Licensing, end-use and end-user checks

Where export control applies, supply is subject to obtaining the necessary authorisations and to satisfactory end-use and end-user checks. Depending on the case, that may involve:

  • Classification of the technology, software or technical data concerned.
  • Screening of the parties, the destination and the intended end use.
  • Obtaining licences or authorisations from the competent authorities before anything is supplied.
  • End-use and end-user undertakings, and restrictions on re-export, transfer or onward supply.
  • Record-keeping and reporting as required by the applicable regime.

Technical data can be controlled in the same way as equipment. That includes detailed documentation and technical briefings, which is one reason BHS shares technical material under a confidentiality agreement and on a need-to-know basis rather than publishing it.

No commitment to supply

Information published on this website does not mean that a technology is available for supply in any particular country, to any particular organization, or for any particular purpose. BHS may decline an enquiry or a transaction where the required authorisations are not available, where end-use or end-user checks are not satisfied, or where supply would be inconsistent with applicable law or with our own policy.

Obligations of counterparties

Organizations that receive BHS technology, software or technical data are responsible for complying with the export-control, sanctions and trade laws that apply to them, including any restrictions on use, transfer, re-export or disclosure agreed in contract.

General guidance only

This page is a general statement of approach, not legal advice, and it does not describe the treatment of any specific item or transaction. Export-control requirements are assessed case by case and change over time.

Governing law

This statement is governed by the laws of India.

Contact

Export and compliance questions: hriday.agm23@iimshillong.ac.in. For a technology enquiry, use the contact page.