Compliance, confirmed at the SKU level.
Federal and SLED buyers can't risk a covered-entity device in a BOM. These are the frameworks that govern physical-security procurement — and exactly how we keep every project audit-ready.
NDAA Section 889
The prohibited-source rule that bans covered video/telecom gear.
ReadTrade Agreements Act (TAA)
The country-of-origin rule for GSA and many federal buys.
ReadFAR 52.204-25
The acquisition clause implementing Section 889.
ReadFIPS 201 / HSPD-12 / PIV
PIV/CAC-enabled PACS for federal facilities.
ReadICD 705 / SCIF
High-security IDS, access and acoustic for classified spaces.
ReadBanned brands & replacements
The covered-entity list and compliant equivalents.
ReadCovered entities — never sourced
- Hikvision — NDAA Section 889 covered entity — federal-banned
- Dahua Technology — NDAA Section 889 covered entity — federal-banned
- Huawei — NDAA Section 889 covered entity — federal-banned
- ZTE — NDAA Section 889 covered entity — federal-banned
- Hytera — NDAA Section 889 covered entity — federal-banned
- Uniview (UNV) — Chinese-origin; commonly restricted, not compliant
Found banned gear? We'll plan the swap.
Our assessment scans your installed base for NDAA-prohibited equipment, then delivers a prioritized, budgeted rip-and-replace roadmap onto compliant hardware — with minimal downtime and the documentation to close the finding.
Need documented compliance for an order?
Tell us what you need secured. We'll confirm compliance, design the system, and quote it — no payment up front.
