I have a query regarding PL9009 on the UK Strategic Export Control List. We have previously been advised that our parts are not subject to dual use export controls as the parts do not contain vinyl ether. I have been advised recently by a couple of customers that they are classifying some parts as PL9009 due to not being able to ship parts to Iran.
Is this a classification we should be using? If yes, which type of parts should we be classifying as this?