Applicable frameworks
Our operations take account of the U.S. Export Administration Regulations as they apply to U.S.-origin hardware, together with applicable OFAC, EU and UN sanctions.
Operating statement
Clear geographic, customer and end-use boundaries form part of how Verranum qualifies and operates every capacity engagement.
Operating framework
Verranum is a non-U.S. infrastructure provider and is not directly subject to U.S. IaaS regulations. We nevertheless operate in accordance with applicable export-control and sanctions frameworks.
Our operations take account of the U.S. Export Administration Regulations as they apply to U.S.-origin hardware, together with applicable OFAC, EU and UN sanctions.
All GPU capacity is physically located outside China, Macau, and comprehensively sanctioned or embargoed countries and territories, including Russia, Belarus, Iran, North Korea, Syria and Cuba.
Every customer passes KYC screening against international restricted-party and sanctions lists, including the SDN List, Entity List and other applicable lists, with beneficial-owner verification.
Verranum capacity is available for lawful commercial and research AI workloads, including large-scale model training. We do not provide capacity for military, weapons-development or surveillance end uses, or to military end users.
Every contract includes end-use certification, audit rights and immediate termination rights for breach. We re-verify customers periodically throughout the commercial relationship.
For compliance questions or to discuss a proposed workload, contact security@verranum.com.