Blue Ridge Federal · Sample deliverable
Illustrative scope, not a completed assessment. This fictional six-line BOM uses synthetic part numbers. No real maker is designated, no alternative is cleared and no jurisdiction classification is asserted.
Download the C-UAS sample BOM (CSV) · Return to C-UAS Compliance
| Component | Review scope | Evidence needed | Disposition / alternative |
|---|---|---|---|
| EXAMPLE-RADAR-RF Radar RF frontend | §1260H / Consolidated Screening List; export-control review | Exact maker, ownership and intended use; technical classification by an authorized specialist | Open. No cleared alternative established. |
| EXAMPLE-DSP Signal processing board | Manufacturer identity and screened entity matches | Exact model, supplier record, dated origin evidence and covered-entity relationship | Open. Engineering equivalence must be confirmed for a replacement. |
| EXAMPLE-EOIR Optical / infrared sensor | §889 equipment scope; potential ITAR / EAR classification | Maker, model, equipment capability and specialist jurisdiction / classification decision | Review required. A capability description alone is not an ITAR determination. |
| EXAMPLE-NETWORK Network radio | §889; Consolidated Screening List | Exact OEM and radio model; matched entity and applicable equipment scope | Open. Obtain identity evidence before screening. |
| EXAMPLE-PSU Power supply | Origin and supplier evidence | Part-specific origin record, supplier identity and retrieval date | Not established. Headquarters alone are insufficient. |
| EXAMPLE-ENCLOSURE Metal enclosure | Section 232 import applicability | HTS classification, material, origin, import date and applicable measures | Specialist customs review. Section 232 is not a blanket component prohibition. |
Reviewer: ____________________ Date: ____________________
Scope, evidence reviewed and unresolved issues: ________________________________________