For manufacturers
Set up the U.S. regulatory side before a filing becomes urgent.
Designed for foreign manufacturers, exporters, testing laboratories, certification partners and compliance firms that need a stable U.S. counterpart without building a full U.S. office.
Where we fit
You may already have a test lab, certification body, customs broker or importer. We provide the U.S.-side operating layer that keeps designations, filings and regulatory communications connected.
How the workflow works
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01
Confirm the exact regulatory pathway and the role the U.S. contact must perform.
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02
Collect the manufacturer, product, filing and existing representative information.
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03
Prepare or coordinate the designation, filing or data handoff and keep the record current.
What we need from you
Legal manufacturer name and address, product or activity description, relevant agency identifiers, existing filing status, and the contact person authorized to coordinate the matter.
Support for the U.S. agent for service of process used in FCC equipment authorization workflows under 47 CFR § 2.911(d)(7), including designation continuity and coordination with the applicant or TCB.
Learn more →Agent designation and manufacturer setup support for foreign manufacturers, assemblers and importers of motor vehicles or motor vehicle equipment under 49 CFR Part 551, Subpart D.
Learn more →U.S. agent and international HAZMAT registration coordination for non-U.S. registrants when the PHMSA rules require a permanent U.S. resident for service of process.
Learn more →Certificate data, product-registry and importer/broker handoff support for CPSC eFiling workflows affecting most regulated imported consumer products from July 8, 2026.
Learn more →U.S. REGULATORY HUB
Need the U.S. side of the workflow to be owned?
Send the agency, product, manufacturer country and current filing status. We will identify the U.S. support path that fits.