MSRP $ 1,647.50 -
Substantial discounts for LE agencies and the officers who
work for them.
As low as $823.45 in volume If you don't need the
Fragmentation Protection,
we offer a less-costly 0101.06 Level IIIA Ballistic Package.
Our 100% Aramid BALCS / SPEAR Cut panels offer significant
savings for those individual officers and agencies who don't
have access to enough funding but still desire a super-duty
ballistic package. As low as $573.75 in volume
ATT-Tactical
™
Special Threat Panels offer the most comprehensive ballistic package available in the industry.
FEATURES: � ATT-Tactical™
Armor System is micro-laminated, woven Aramid fiber certified to NIJ Standard 0101.06 (IIIA) and the FBI/DEA/NSW Body Armor Requirement and is fully mil-spec fragmentation tested and certified, with Special Threat Capabilities. � Aerial density Appox.1.00 lbs. per square foot at level IIIA � Multi-hit capability � V.50 Fragmentation Protection � Armor Warranty - (5) years
•Ref: NIJ 0101.06 Requirements for Bullet-Resistant Body Armor Level III-A •Construction: BALCS/SPEAR cut/shape Dyneema® /Twaron® •Rated Protection Level: NIJ IIIA Special Threat •Weight / Thickness: 1.05 lbs per sq. ft / 0.23" •V50 9mm: 1876fps V50 44mag: 1656fps (Winchester Ranger SXT 127gr +P+ 1834fps) (Speer Gold Dot .357 Sig 125gr 1794fps) (FN 5.7x28 SS195 2232fps)
COMPLETE
BALLISTIC SOLUTIONS:
Our Level IIIA Special Threat Bulk Cut Soft Armor Panels and accessory
Ballistics packages are designed to fit armor carriers
designed to accommodate CIRAS/SPEERS/BALCS panels such as:
Crusader™
Eagle CIRAS
Paraclete RAV
Diamondback Tactical PREDATOR
Blackhawk STRIKE Cut Away Armor Carrier,
and others This soft armor ballistic material is the same
that is currently in use by the US Air Force Security
Forces, DEA, US Navy and several other federal law
enforcement agencies. All ballistics are seam-sealed
air-tight, water and weather proof with enhanced UV and
chemical protection.
Our Special Threat BALCS / SPEAR Bulk Cut Panels are made of the same ballistic materials as used by the USMC, FBI, DEA, US Navy, and are required to pass the DoD, NSW & FBI-DEA testing protocols, which are far more stringent than the standard NIJ testing requirements. In addition to be certified by the NIJ, passing all necessary NIJ standards for 0101.06 Level IIIA requirements, our panels are fully mil-spec Frag certified and must also pass six rounds of contact shots and stop rounds within 1.5" - 2" of the panel edges. These additional requirements are essential for close protection and CQB work. Testing procedures and certification conducted by H.P. White Laboratory, Inc and are available upon request.
C.I.R.A.S. Combat Integrated Releasable Armor System
CIRAS Accessory Special Threat Armor Insert Kit: includes Collar, Shoulders, Biceps, Groin (These are matching ballistic inserts) MSRP $1,247.50
As low as $623.75 in volume
Cummerbund Gap Special Threat Armor Matching Ballistic Inserts MSRP $ 647.50
As low as $324.75 in volume
100% Aramid BALCS / SPEAR Bulk Cut Armor Insert Kit - As low as $373.75 in volume 100% Aramid Cummerbund Gap Armor Inserts - As low as $161.25 in volume
If you wear just a plate carrier, we have Ballistic Protective Backing Pads in Level IIIA so that you can wear lighter weight I.C.W. III/IV Rifle Plates
THESE ARE BALLISTIC PROTECTION ITEMS! IN OUR SUPPORT OF OUR TROOPS AND NATIONAL SECURITY, ATT-TACTICAL REQUIRES A COPY OF YOUR MILITARY OR LAW ENFORCEMENT ID FOR VERIFICATION BEFORE SHIPMENT. FOR SOLDIERS DEPLOYED IN THE FIELD WITH NO ACCESS TO A SCANNER / PHOTO-COPIER YOUR APO DELIVERY ADDRESS IS ACCEPTABLE FOR VERIFICATION. WE WILL NOT SHIP (EXPORT) WITHOUT A DOD OR DOS PURCHASE ORDER. THERE ARE NO EXCEPTIONS TO THIS COMPANY POLICY. NO EXPORTATION. ARMED FORCES PERSONNEL MAY NOT DEPLOY WITH PERSONALLY OWNED BODY ARMOR.
If there is anything that qualifies as a true urban legend in the export areas, it’s the surprisingly widespread belief that shipments to overseas APO and FPO addresses aren’t exports. Of course, that’s no more true than the belief that the fate of a rider on an equestrian statute can be determined by the position of the horse’s hooves. (Not.)
The International Traffic in Arms Regulations (“ITAR”) aren’t uniformly clear in all aspects, but the definition of export is pretty clear in this respect. Section 120.17(a) defines export as “sending or taking a defense article out of the United States in any manner.” It doesn’t say “in any manner except by mail to an APO or FPO address.” And if you ask DDTC this question, they will tell you that an APO address outside the U.S. requires an export authorization by license or exemption like any other shipment that leaves the United States.
This urban legend is sufficiently widespread that even one government agency has propagated this bogus notion. And not just any agency but an agency itself intimately involved in dealing with exports — the U.S. Census Bureau — has said that APO and FPO shipments aren’t exports.
As recently as December 22, 2010, Census said on its own blog, in a post that has now been flushed down the memory hole, that the “State Department does not license shipments to APO or FPO addresses.” But we’ve heard from another exporter that it gets worse. According to that exporter, the mandatory Automated Export System does not allow you to enter an ITAR license number when shipping an item to an APO address.
Part 523 of the USPS’s International Mail Manual says this: Goods mailed to APO/FPO/DPO addresses are not subject to the Foreign Trade Regulations. Accordingly, customers are not required to file electronic export information via the U.S. Census Bureau’s Automated Export System or AESDirect Web site for such mailings, and they do not need to present a Proof of Filing Citation, AES Downtime Citation, or Exemption and Exclusion Legend.
The same exporter says that DDTC is saying in such a case that the exporter must provide its own notification of the export to DDTC when it can’t be done through AES. Although this is a nice courtesy to DDTC, there is nothing in the ITAR that requires the exporter to provide this notice to ITAR in these cases. But there’s a larger point here: if the government can’t figure out its own export regulations, why should it expect anyone else to figure them out?
The point is, armor cannot be shipped to an APO/FPO without ITAR being complied with. This is an expensive process and we will only undertake such for very large orders going directly to a US Government authorized entity.
For all other orders, we will only ship to a CONUS address where a Direct Signature is obtainable.
June 8, 2012 AES Broadcast #2012037 New Directorate of Defense Trade Controls (DDTC) International Traffic In Arms Regulations (ITAR) Exemption Codes Effective immediately, the following DDTC ITAR Exemption Codes have been added to the Automated Export System (AES): 123.17(H) Temporary exports of body armor, which may include a helmet, or chemical agent protective gear, which may include one additional filter canister, for personal use to Iraq 123.17(I) Temporary exports of body armor, which may include a helmet, or chemical agent protective gear, which may include one additional filter canister, for personal use to Afghanistan For further information or questions, please contact the U.S. Census Bureau's AES Branch. Telephone: (800) 549-0595, select option 1 for AES Email: askaes@census.gov Online: www.census.gov/trade Blog: blogs.census.gov/globalreach
Applied Tactical Technologies, Inc. PO Box 268, Babylon NY 11702-0268 USA (800)223-1204 ATT-TACTICAL™ DOES NOT SELL TO OR DEAL WITH THE CIVILIAN MARKET, INDIVIDUALS, OR FFL DEALERS. ATT-TACTICAL™ ONLY DEALS WITH, ISSUES QUOTES TO, AND SELLS TO FEDERAL, STATE, AND LOCAL LAW ENFORCEMENT AGENCIES, IAFFILIATED
GOVERNMENT AGENCIES, US MILITARY, AFFILIATED TRAINING FACILITIES (Particular item restrictions apply)
Legal Disclaimer The information at att-tactical.com does not in any way constitute legal or professional advice and att-tactical.com cannot be held liable for actions arising from its use. we accept no liability for any loss or damages, consequential or otherwise, incurred in the reliance of the materials contained within. ATT-Tactical does not guarantee that the information provided herein is free from errors as the BATFE is often fluid in their definitions, descriptives, interpretations, readings, understandings and/or enforcement of federal and/or state laws.
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ITAR Clause You may access information on this site which may contain technical data as defined in the International Traffic in Arms Regulations ITAR at 22 CFR 120.10. The technical data provided comes under the purview of U.S. export regulations including the Arms Export Control Act (title 22, U.S.C., sec. 2751, et seq.) or the Export Administration Act of 1979, as amended,(title 50, U.S.C., app. 2401, et seq.).
Office of Foreign Assets Control (OFAC) Export Administration Regulations (EAR) By accessing this site, you acknowledge that such restricted technical data may not be exported, disclosed, or transferred to any foreign person, as defined in the ITAR at 22 CFR 120.16, without first complying with all the requirements of the ITAR (22 CFR 120-130) including requirements for obtaining any required export authority.
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Witness
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