Part 10/14:
Even more shocking was the willingness to facilitate a sale to a client who wished to track individuals under US sanctions—an activity explicitly illegal under international law. The vendor detailed plans to work around licensing constraints, including signing papers through Indian authorities and disguising the origin of the transactions, effectively offering a method to break sanctions and export surveillance tools unlawfully.
As the undercover negotiation progressed, the vendors even suggested reselling their system to Nigerian law enforcement, despite knowing such activities could violate international regulations. They discussed the possibility of funneling funds through various channels to evade detection, showing blatant disregard for legal and ethical boundaries.