Export Controls and Sanctions Compliance


As a global technology company, Qlik is committed to complying with all applicable trade regulations in all countries in which we operate, including, but not limited to, the Export Administration Regulations (EAR) of the U.S. Department of Commerce Bureau of Industry and Security, and the trade and economic sanctions administered by the U.S. Department of Treasury’s Office of Foreign Assets Control (OFAC) and the U.S. Department of State.

Qlik’s products are classified for export under Annex I of the Regulation 2021/821 (“EU Dual-Use Regulation”) and the US EAR. The following is a list of U.S. Export Control Classification Numbers (ECCN) for current product releases of Qlik software. Please contact Qlik if you need information on any product or classifications not listed here.

Qlik’s Export Control Classification Numbers (PDF)

Regardless of classification, Qlik products and services are not available for export, reexport, transfer and/or use in the following embargoed countries or regions: Belarus, Russia, Crimea, the so-called Donetsk People’s Republic (DNR) / Luhansk People’s Republic (LNR), Republic of Cuba, Islamic Republic of Iran, Democratic People’s Republic of Korea, and the Syrian Arab Republic.

Qlik’s products and services are not available to entities and individuals with whom transactions are prohibited or for end-uses prohibited under applicable export control and sanction laws.

Any customer acquiring or using any Qlik product is responsible for obtaining all required licenses or other approvals necessary.



This information is made available for informational purposes only and is subject to change without notice. Since the export control and sanctions laws are frequently amended, the posted information may not include the most recent changes to these laws and how the changes may affect Qlik products. Accordingly, Qlik does not represent, warrant, or guarantee that the posted information is complete, accurate or up to date. The information does not constitute, nor is it intended to be, legal advice. You should seek appropriate professional guidance if you have any questions about how the posted information may affect your export transactions or use of Qlik products.