Magic Leap 2 TAA Compliance Statement
Last Revised: June 7, 2023
Pursuant to the Trade Agreements Act, 19 U.S.C. § 2501 et seq. (“TAA”), the U.S. Government must acquire only end products which are wholly made or substantially transformed in the United States or a “designated country” (which includes countries with whom the United States has a free trade agreement). See Federal Acquisition Regulations, 48 C.F.R. 52.225-5.
The Magic Leap 2 device is substantially transformed in Mexico, a TAA compliant country with whom the United States has a free trade agreement, the United States-Mexico-Canada Agreement. The Magic Leap 2 is designed in the United States and assembled in the United States and Mexico through complex assembly operations that involve component parts sourced from the United States and internationally.
Additionally, U.S.-developed operating system software is installed on the hardware in Mexico to give it functionality and allow it to operate as a complete, integrated augmented reality system.
Because the Magic Leap 2 is substantially transformed as a result of the operations performed in Mexico, the country of origin of the Magic Leap 2 is Mexico for U.S. government procurement purposes and the Magic Leap 2 is TAA compliant.
This TAA compliance statement applies to the following Magic Leap 2 products:
M90AA004 | Magic Leap 2 Enterprise US/CAN* |
M70ZA000 | Enterprise Controller |
For any inquiries about Magic Leap 2 and TAA compliance, please contact us directly and we would be happy to assist you with any further questions you may have. Thank you.
Magic Leap, Inc.
7500 W Sunrise Blvd
Plantation, FL 33322
export@magicleap.com
*Includes Magic Leap 2 Base, Developer Pro and Enterprise Editions