Also Known As:
Shenzhen Jotrin Electronics Co. Ltd.
- Hong Kong
- South Korea
- United States
3018 Shennan Mid-Road Unit 3901, Shenzhen 518031, China
Unit 3901, 39th Floor, Metropolitan Heights at Century Place, Number 3018, Shennan Middle Road, Futian District, Shenzhen 518031, China
Room 3702, Xinhao Edu, No. 7018, Caitian Road, Futian, Shenzhen 518038, China
A-2910, The Grand City, No. 386 East of Hanxi Avenue, Panyu District, Guangzhou 511400, China
Room G, 4th Floor, 1st Block, Golden Building, 152 Fuk Wah Street, Sham Shui Po, Kowloon, Hong Kong
Room 803, Chevalier House, 45-51 Chatham Road South, Tsim Sha Tsui, Kowloon, Hong Kong
Supplier Web Site:
A China- and Hong Kong-based electronics distributor; according to the U.S. Department of the Treasury, has supplied goods to Iran-based Pardazan System Namad Arman (PASNA).
According to the U.S. Department of the Treasury, has supplied PASNA with accelerometers, microelectromechanical systems, and other components through PASNA's managing director, Mehdi Khoshghadam, and an Iran-based PASNA front company, Amvaj Nilgoun Bushehr Co.; according to the U.S. Department of Commerce, supplied or attempted to supply PASNA with items subject to the Export Administration Regulations (EAR).
Products include capacitors, diodes, high-frequency tubes, integrated circuits, semiconductors, sensors, and transistors; products have applications in GPS systems, security electronics, and unmanned aerial vehicles (UAVs); claims to work with manufacturers in Japan, South Korea, the United States, Europe, and Southeast Asia.
Established in Hong Kong in 2011; established in mainland China in 2012.
Added on April 19, 2023, to the Specially Designated Nationals (SDN) list maintained by the U.S. Department of the Treasury's Office of Foreign Assets Control (OFAC), freezing its assets under U.S. jurisdiction and prohibiting transactions with U.S. parties, pursuant to Executive Order 13382, which targets proliferators of weapons of mass destruction and their delivery systems; also subject to the Iranian Financial Sanctions Regulations; foreign parties facilitating transactions for the entity or otherwise assisting the entity are subject to U.S. sanctions.
Added on March 2, 2023, to the U.S. Department of Commerce's Entity List of end users subject to heightened export license requirements (with a presumption of denial) due to involvement in proliferation activities or other activities of national security concern.