Export Compliance

Customer Verification Application

Advanced GPU hardware sold by Krambu — including NVIDIA HGX B300 platforms and H100/H200/B200-class systems — is classified under ECCN 3A090 and 4A090 and subject to the U.S. Export Administration Regulations. Before we accept orders for these items, we collect the information below to verify the customer, end use, and deployment.

Consistent with BIS’s May 2025 counter-diversion guidance and the 29 “Know Your Customer” red flags in EAR Supp. No. 3 to Part 732.

How the process works

Most applicants complete this form in 15–20 minutes. Have the authorized signatory ready to certify the final section. You submit the form with entity details, beneficial ownership, deployment posture, end-use, and signed attestations. Our team reviews — screening the applicant and its ownership against U.S. restricted-party lists and assessing end use against EAR prohibitions; most decisions within three business days. We follow up if we need additional documentation, or confirm clearance and loop in sales to complete your order.


    1. Applicant Entity

    Identify the legal entity that will receive and control the items. If you are a subsidiary, list both the direct purchasing entity and its ultimate parent in Section 3.

    Entity Type



    Registered Business Address




    2. Authorized Representative

    The individual completing this application on behalf of the entity. Country of residence is required for deemed-export analysis under EAR §734.13.



    3. Ownership & Control

    We capture beneficial ownership to satisfy red-flag diligence under EAR Supp. No. 3 to Part 732 and the OFAC 50% Rule. Aggregated indirect ownership counts.
    Is the applicant publicly traded?




    Beneficial Owners (≥ 25%)

    List every individual who directly or indirectly owns 25% or more of the applicant entity. Aggregate indirect holdings. Leave blank if the applicant is listed on a major U.S. or allied-jurisdiction exchange.
    Full Name Nationality Ownership % Role / Title

    Control-Prong Individual

    Name one senior officer or manager with significant responsibility for managing or directing the applicant entity (CEO, President, Managing Partner, General Counsel, or equivalent). Per FinCEN CDD standard; required even if no beneficial owner meets the 25% threshold.


    Government Ownership

    Is the applicant owned (≥ 10%), controlled, or directed by any government, state-owned enterprise, or sovereign wealth fund?

    Restricted-Country Affiliates

    Does the applicant, its parent, any subsidiary, or any ≥ 25% beneficial owner have operations, offices, staff, or ownership ties in any of the countries listed below?

    Countries listed are the current EAR Country Group D:5 (arms-embargoed destinations) per 15 CFR Part 740, Supp. No. 1: China (incl. Hong Kong & Macau), Russia, Belarus, Iran, North Korea, Cuba, Syria, Venezuela, Myanmar (Burma), Cambodia, Central African Republic, Democratic Republic of the Congo, Eritrea, Haiti, Iraq, Lebanon, Libya, Nicaragua, Somalia, South Sudan, Sudan, Zimbabwe, Cyprus.

    Restricted-Party List Check

    Is the applicant, any parent, subsidiary, affiliate, director, officer, or ≥ 25% beneficial owner listed on, or majority-owned by a party listed on, any U.S. restricted-party list?

    Applicable lists: OFAC SDN, Non-SDN Chinese Military-Industrial Complex (NS-CMIC), BIS Entity List, BIS Military End User (MEU) List, BIS Military-Intelligence End User (MIEU) List, BIS Unverified List (UVL), BIS Denied Persons List, State/DDTC AECA Debarred List, DOD Section 1260H Chinese Military Companies List.

    4. Deployment & Access

    Where the items will be installed and who will have technical or administrative access. Informs deemed-export and diversion analysis.
    Applicant’s Role

    Foreign-Person Access

    Will any foreign persons (individuals who are not U.S. citizens or lawful permanent residents) have technical or administrative access to the system, its firmware, or any underlying technology controlled under ECCN 3E001?

    Under EAR §734.13, release of controlled technology to a foreign person — whether in the U.S. or abroad — is a “deemed export” to that person’s country of most recent citizenship or permanent residency and may require a license.

    Downstream Customer Screening (Resellers / Hosts Only)

    5. Intended End Use

    Describe the actual workload. Advanced-computing items (ECCN 3A090 / 4A090) are controlled for specific end uses under EAR §744; the attestations below map to those prohibitions.
    Primary Intended Workload (select all that apply)

    Industry Sector

    Expected Total Compute per Major Training Run

    Prohibited End-Use Attestations

    All attestations below are required. The applicant certifies that it will not use Krambu’s items or services — directly or indirectly — for any of the following:

    6. Sanctions & Export Attestations

    All attestations below are required. These track U.S. economic sanctions (OFAC) and U.S. export control (EAR) obligations that apply to the items supplied by Krambu.

    7. Products of Interest

    Indicate the SKUs you intend to acquire. Each advanced-GPU product falls under ECCN 3A090 and/or 4A090; your compliance reviewer will flag any license-required destination automatically.
    Products (select all that apply)


    8. Supporting Documents

    All uploads are optional at this stage. Our compliance team may request additional documents during review. Max 8 MB per file; PDF, JPG, PNG, DOC, or DOCX.

    9. Certification & Signature


    By submitting this application, I certify under penalty of perjury that all information and representations above are true, complete, and correct to the best of my knowledge, and that I am duly authorized to make these representations on behalf of the applicant entity. I understand that false statements may subject the applicant and me personally to civil and criminal penalties under U.S. law, including 18 U.S.C. §1001 and the Export Control Reform Act of 2018.

    Information submitted through this form is handled confidentially by Krambu’s compliance team. This application does not constitute a legally binding export license, and a completed application does not guarantee approval. For questions before submitting, contact [email protected].

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