Terms and Conditions

Terms of Sales:

Precision Aviation Group fully complies with all U.S. export control regulations, including the International Traffic in Arms Regulations (ITAR) and the Export Administration Regulations (EAR).

As a Term of Sale, Precision Aviation Group requires its customers to use reasonable efforts to cooperate with, and assist, Precision Aviation Group in the correct identification and classification of items provided by the customer or manufactured to customer’s requirements, designs and/or specifications, which may be subject to U.S. export control regulations.  If the customer cannot, or will not, make commonly reasonable efforts to assist Precision Aviation Group in the correct identification or classification of items relative to U.S. export control regulations, then the customer hereby indemnifies and holds harmless Precision Aviation Group from any resulting violation and/or penalties which may arise from the inaccurate classification of items and any resulting exports of such items which occurs.

The term “item” (as described herein) includes product or hardware, technical data, software, or technology which is subject to any U.S. export regulation. “Item” does not just refer to the physical product itself.

Precision Aviation Group will not export restricted items without documented proof of a license or agreement from the appropriate U.S. governmental authority, and will follow all terms, conditions and provisos on such license or agreement as a condition of exporting and engaging in business with its customers.

Precision Aviation Group shall not be liable in any way to customers or third parties for delays caused by licensing issues to the extent such licensing issues arise out of customer’s failure to cooperate with and assist Precision Aviation Group in its efforts to accurately classify items provided by the customer or manufactured to the customer’s requirements, designs and/or specifications.

The customer will also ensure that all company personnel who represent the customer in a visit to Precision Aviation Group will identify their citizenship/nationality.  In the event Precision Aviation Group informs customer that restricted items will be involved or accessible on a site visit to Precision Aviation Group’s facility or customer otherwise knows that restricted items will be involved or accessible on a site visit to Precision Aviation Group’s facility, customer will only send personnel on such a site visit who are authorized by the U.S. export regulations to receive and work with restricted items.

 

Terms of Purchase:

Precision Aviation Group fully complies with all U.S. export control regulations, including the International Traffic in Arms Regulations (ITAR) and the Export Administration Regulations (EAR).

As a Term of Purchase, Precision Aviation Group requires its suppliers to use reasonable efforts to cooperate with, and assist, Precision Aviation Group in the correct identification and classification of items provided by the customer or manufactured to customer’s requirements, designs and/or specifications, which may be subject to U.S. export control regulations.  If the supplier cannot, or will not, make commonly reasonable efforts to assist Precision Aviation Group in the correct identification or classification of items relative to U.S. export control regulations, then the supplier hereby indemnifies and holds harmless Precision Aviation Group from any resulting violation and/or penalties which may arise from the inaccurate classification of items and any resulting exports of such items which occurs.

The term “item” (as described herein) includes product or hardware, technical data, software, or technology which is subject to any U.S. export regulation. “Item” does not just refer to the physical product itself.

Precision Aviation Group will not export restricted items without documented proof of a license or agreement from the appropriate U.S. governmental authority, and will follow all terms, conditions and provisions on such license or agreement as a condition of exporting and engaging in business with its customers.

The supplier will also ensure that all company personnel who represent the supplier in a visit to Precision Aviation Group will identify their citizenship/nationality.  In the event Precision Aviation Group informs supplier that restricted items will be involved or accessible on a site visit to Precision Aviation Group’s facility or customer otherwise knows that restricted items will be involved or accessible on a site visit to Precision Aviation Group’s facility, customer will only send personnel on such a site visit who are authorized by the U.S. export regulations to receive and work with restricted items.

All items provided to Precision Aviation Group should be provided in the specific condition set forth in the official purchase order and supplier ensures through acceptance of any purchase order from the Precision Aviation Group that subject items must be overhauled, repaired, or inspected in accordance with approved data and supplied with a dual release certificate (FAA/EASA) unless accepted in writing prior to shipment. If purchased item is in New condition, supplier ensures that the material is indeed in new condition and has never been previously installed nor stored improperly as per manufacture recommendations.

Precision Aviation Group also requires that all transactions resulting in a core due be communicated to Precision Aviation Group on initial Order Confirmation. All cores that are returned by the Precision Aviation Group must be evaluated for overages within a 21 day period (calendar) from the date of acceptance. If the Precision Aviation Group is not notified of overages and provided supporting documentation within the 21 day period, the Precision Aviation Group will consider core accepted by Supplier and no additional charges will be paid after the 21 day period without written approval.

Precision Aviation Group also requires its suppliers to comply with a Counterfeit Parts Prevention Program when supplying electronic components/assemblies to PAG.

 

Federal Contract Compliance:

To the extent required by law, PAG Holding Corp, Inc., its subsidiaries and subcontractors shall abide by requirements of 41 CFR §§ 60-1.4(a), 60-300.5(a) and 60-741.5(a). These regulations prohibit discrimination against qualified individuals based on their status as protected veterans or individuals with disabilities and prohibit discrimination against all individuals based on their race, color, religion, sex, sexual orientation, gender identity or national origin. Moreover, these regulations require covered prime- and sub- contractors take affirmative action to employ and advance in employment individuals without regard to race, color, religion, sex, sexual orientation, gender identity, national origin, protected veteran status or disability. This contractor and subcontractor shall also abide by the requirements of 29 C.F.R Part 471, Appendix A to Subpart A

 

PAG – Exchange Agreement

PAG – Warranty & Return Policies