Considering that United Microelectronics Corporation and its subsidiaries
(collectively, “UMC”) is doing business in a number of countries, in order to
comply with applicable export control laws and regulations (including Export
Administration Regulations of U.S.) and in accordance with UMC’s Export Controls
Compliance Policy, UMC demand our employees, officers, directors, contractors,
non-employee personnel, and agents (collectively, “Employees”) globally to fully
comply therewith.
The trade and flow of goods, software, software code, and technology/technical
data that are subject to applicable export control jurisdiction (collectively,
“Items”) are strictly controlled by the government of each country, including
but not limited to the export of Items from the original country to another
country, reexport of Items from one foreign country to another, even the
nationality and identity of the person or company who has access to the Items
and so forth, certain limitation are imposed thereto and particular rules
needed to be complied with.
The compliance with applicable export control laws and regulations is critical to
UMC’s global business. Incompliance with UMC’s Export Controls Compliance Policy
would lead to the violation of applicable rules and regulation and penalties for
individuals and/or the Company due to its mandatory nature thereof. Therefore,
UMC sincerely hope that you can genuinely provide your nationality, identity,
address and other required information in both Chinese and English,
so that UMC could fully comply with any and all applicable export control laws and regulations.