Also Known As:
龍馬精機股份有限公司
Related Country:
- China
- Hong Kong
- Taiwan
Address:
No. 26-4, Sanxian Rd, Lianhe Village, Taichung City, Taichung Province 421017, Taiwan
Phone:
+886-4-25589381
Fax:
+886-4-25589383
E-Mail:
Supplier Web Site:
www.mecatron.com.tw
A Taiwan-based machine tool manufacturer; according to the U.S. Department of the Treasury, has supported Control Afzar Tabriz Co Ltd's procurement of computer numerical control (CNC) machines and equipment for Iran Aircraft Manufacturing Industries (HESA), an entity subordinate to Iran's Ministry of Defense and Armed Forces Logistics (MODAFL) that manufactures military aircraft and Ababil‑series unmanned aerial vehicles (UAVs); Ababil-series drones have been used by the Islamic Revolutionary Guard Corps (IRGC).
According to the U.S. Department of the Treasury, used by Control Afzar Tabriz Co Ltd to ship CNC machines and equipment to Iran and knowingly circumvent sanctions and export controls; Control Afzar Tabriz Co's procurement of technology in support of HESA has been carried out through entities in China, Hong Kong, and Taiwan.
Products include CNC machining centers, linear and vertical lathes, and centrifugal filters; provides design and documentation, installation, repair, and maintenance services; exports machine tools, pumps, and related parts.
Holds the Mecatron and Purspin trademarks.
Legal representative is Cai Peichun.
Business number (Taiwan) is 24249847.
Established on October 16, 2008.
Sanctions
Added on July 31, 2025, 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 (WMD) and their delivery systems; also subject to the Iranian Financial Sanctions Regulations, which restricts the use of the U.S. financial system for transactions involving Iranian entities.
Foreign parties facilitating transactions for the entity or otherwise assisting the entity may be subject to U.S. sanctions; foreign financial institutions facilitating transactions for the entity may be prohibited from opening or maintaining correspondent or payable-through accounts in the United States; subject to heightened U.S. export license requirements (with a presumption of denial) due to involvement in activities related to WMD proliferation.

