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Sektor 10 DefenceComplianceHub™ NEW — June 2026

Defence companies using US components operate daily in a legally critical conflict zone. immo.quick detects and documents this conflict in milliseconds — automatically, forensically, court-admissible.
⚖️

immo.quick does not participate in military operations, armament decisions or procurement strategies. Our infrastructure exclusively proves the legality of procurement processes — cryptographically, deterministically, court-admissibly. We are compliance infrastructure. Not a defence actor.

Defence & Security.
€151.5B needs infrastructure.

The EU is mobilising €150bn via SAFE and €1.5bn via EDIP for joint defence procurement. No finished compliance product in the world covers SAFE + EDIP + Dual-Use + ITAR conflict detection as an integrated system. Until now.

DEFENCE_CHECK.json
{
  "sector": "Defence & Security"
  "entity": "Rheinmetall AG"
  "programme": "SAFE Art. 7"
  "eu_content_pct": 78.4% ✓ (<35% third)
  "design_authority": DE — verified
  "multi_state": DE + FR + IT ✓
  "itar_conflict": DETECTED
  "itar_resolution": HARD_BLOCK → CCO
  "denial_proof": "DP-2026-DEF-..."
  "ubo_depth": 10 layers — CLEAR
  "dual_use_class": "ML4-c · EAR99"
  "fdi_awg_screen": PASS
}
8
Regulatory frameworks simultaneously
10
Automated compliance checks
€151.5B
EU defence volume SAFE + EDIP
0
Competitors with integrated solution

All frameworks. Monitored simultaneously.

The DefenceComplianceHub is the only system combining SAFE (2025) and EDIP (2025) with classical AML/Sanctions infrastructure and ITAR conflict detection in one integrated product.

NEU — März 2025
SAFE
Security Action for Europe — EU loans up to €150bn for joint defence procurement. Art. 7: 35% EU-content rule. Art. 8: Design Authority in EU.
€150.000.000.000
NEU — April 2025
EDIP
European Defence Industry Programme — EU grants 2025–2027. 6 pillars: grants, joint procurement, SME integration (15% quota), dual-use convergence, technology transfer.
€1.500.000.000
⚠ ITAR-KONFLIKT
US ITAR
International Traffic in Arms Regulations — extraterritorial, affects every EU company with US defence components. Conflict with EU Blocking Statute 2271/96 is criminally relevant.
Auto-detection in <100ms
EU-Recht
Dual-Use VO 2021/821
EU Dual-Use Regulation — classification, export control and licensing requirements for goods with civilian and military use.
Automatic classification
DSGVO
GDPR Defence Data
Data protection for defence data — including special categories under Art. 9, Art. 22 automated decision-making, and data transfer to third countries.
Zero-trust data sovereignty
Cybersicherheit
NIS2 Defence CI
NIS2 Directive for defence-critical infrastructure — reporting obligations, supply chain security, TLPT for critical systems.
72h reporting obligation automated
Investitionskontrolle
FDI / AWG-Screening
Foreign Trade Act §55 ff. — screening of foreign direct investment in defence. Reporting thresholds, BMWK review, EU coordination mechanism under Regulation 2019/452.
Automatic threshold monitoring
AML
AMLA / GwG Defence
Anti-money laundering for defence procurement — UBO verification up to 10 levels, PEP screening, Enhanced Due Diligence for state contracts >€10M.
10-level UBO automated

ITAR vs. EU Blocking Statute. Daily. Criminal.

Almost all European defence companies use US components and are therefore subject to ITAR. At the same time, EU Blocking Statute 2271/96 prohibits compliance with certain US sanctions. This is not a theoretical problem — it is a daily operational conflict with no manually manageable solution.

🇺🇸
US ITAR
22 CFR 120–130
Extraterritorial
Penalties: up to 20 years / $1M per violation
VS
🇪🇺
EU Blocking Statute 2271/96
Prohibits ITAR compliance
in EU sanction conflicts
Penalties: national, criminal
IMMO.QUICK RESOLUTION — AUTOMATIC IN <100MS
Conflict detected → Hard-Block activated → Escalation to CCO → Escalation to Legal → Escalation to Board → Regulator notification → Forensic Denial-Proof-Artifact generated (DPA-2026-ITAR-...). No SaaS competitor has implemented this chain.

Every check. Deterministic. Court-admissible.

01
35% EU-Content Rule
Max. 35% cost share from third countries — automatically calculated from supply chain data. Procurement audit package generated for EU Court of Auditors.
SAFE Art. 7
02
Design Authority Verification
System design must be EU-based — verified via GLEIF + commercial register data. Final verification layer: registered office plus operative control.
SAFE Art. 8
03
Dual-Use Classification
Automatic classification per EU Dual-Use Annex I (ML List) and EAR categories. Export licence requirement determined and documented in real time.
VO 2021/821
04
FDI / AWG Screening
Screening under AWG §55 and EU Regulation 2019/452 — detection of reportable investments from third countries in defence companies. Threshold monitoring automated.
AWG / EU 2019/452
05
Multi-State Participation
At least 2 EU member states must participate in the procurement project — automatic verification via contracting parties and responsible national procurement authorities.
SAFE Art. 6
06
Supply Chain Origin Mapping
Complete supply chain traceability — country of origin of every component, Tier 1 to Tier N. Critical third-country dependencies flagged and documented.
SAFE + EDIP
07
UBO Verification up to 10 Levels
Ultimate Beneficial Owner verification for all contracting parties — 10 ownership levels, PEP screening, sanctions list matching, critical state shareholdings detected.
AMLA / GwG
08
ITAR vs. EU Blocking Statute
Automatic detection of the most dangerous jurisdiction conflict in the defence industry. Hard-Block, escalation chain CCO→Legal→Board→Regulator, Denial-Proof-Artifact.
ITAR / 2271/96
09
DEPE Audit Trail
Deterministic Execution Proof Engine — every compliance check generates HMAC-SHA256 causality proof. Tamper-proof audit trail for BAAINBw, DGA, EDA, EU Court of Auditors.
DEPE + Merkle-Chain
10
SME Quota & Production Target
Automatic monitoring of 15% SME participation quota and 50% EU production target by 2030. Progress reports generated for EU grant applications.
EDIP

From procurement request to SAFE audit package.

D1
ENTITY CHECK
Entity & UBO Verification
GLEIF LEI verification, UBO up to 10 levels, commercial register data, PEP screening
PASS
D2
FDI SCREEN
FDI / AWG Investment Screening
AWG §55 thresholds, EU coordination mechanism, BMWK review obligations
PASS
D3
DUAL-USE
Dual-Use & Export Licence Gate
EU Dual-Use Annex I classification, EAR categories, licence requirement determination
REVIEW
D4
ITAR GATE
ITAR Conflict Detection Gate
Determine US component share, check ITAR obligations, compare EU Blocking Statute 2271/96, Hard-Block if conflict
HARD-BLOCK
D5
SAFE CHECK
SAFE Art. 7+8 Compliance Gate
35% EU-content calculation, design authority verification, multi-state proof, procurement audit package
PASS
D6
EDIP CHECK
EDIP Grant Eligibility Gate
6 pillars checked, 15% SME quota validated, 50% EU production target documented, grant application package generated
PASS
D7
SUPPLY CHAIN
Supply Chain Origin Gate
Tier-1 to Tier-N origin proof, critical third-country dependencies flagged, replacement plan requested
PASS
D8
DEPE SEAL
DEPE Audit Package Generation
Complete audit package: HMAC-SHA256 causality proof, 4-layer Merkle chain, bi-temporal sealed for BAAINBw / DGA / EDA
SEALED

Who needs the DefenceComplianceHub.

🏭
Rheinmetall AG
Defence Group · DE
SAFE loan applicant, ITAR-exposed through US component suppliers, AWG screening obligation for FDI. Strongest business case in Germany.
🚀
KNDS
DE/FR Joint Venture · Defence
Franco-German group — multi-state participation by definition, SAFE-eligible, cross-jurisdiction compliance DE+FR simultaneously.
✈️
Airbus Defence & Space
Aerospace · Defence
Maximum ITAR exposure through US avionics and satellite technology. EU Blocking Statute affects Airbus daily. DefenceComplianceHub is critical infrastructure here.
🛥️
Leonardo S.p.A.
Defence Group · IT
Italian defence giant — EDIP grants, dual-use exposure, cross-border supply chain EU+UK+Non-EU. SAFE multi-state via IT+DE+FR consortia.
Saab AB
Defence Group · SE
Swedish manufacturer (Gripen, Carl-Gustaf) — newly in EU defence cooperation since NATO accession 2024. SAFE-eligible, EDIP grant pipeline established.
🏛️
BAAINBw
Federal Procurement Authority · DE
German procurement authority — SAFE loan disbursement compliance, audit packages for EU Court of Auditors, AWG screening of incoming bidders.
🗼
DGA (Frankreich)
Direction Générale de l'Armement · FR
French procurement authority — SAFE/EDIP loan disbursement, ITAR compliance proof for US tech suppliers, ANSSI-compliant data sovereignty.
🌍
EDA / EU-Kommission
European Defence Agency · EU
European Defence Agency and Commission — SAFE programme administration, EDIP grant disbursement compliance, overarching audit infrastructure.

ReArm Europe. No infrastructure. Until now.

READINESS 2030 — EU DEFENCE OFFENSIVE
Europe mobilises €151.5 billion — without compliance infrastructure.
The geopolitical shift has fundamentally changed Europe. Germany, France, Poland — all massively increasing defence budgets. The EU has created direct defence financing instruments for the first time with SAFE and EDIP. The problem: neither EU institutions, nor national procurement authorities, nor defence companies have standardised compliance infrastructure for these new instruments. We solve exactly that.
€150B
SAFE
€1.5B
EDIP
2025
In force
DIGITAL SOVEREIGNTY — NO US CLOUD
Structurally admitted. US competitors structurally excluded.
BAAINBw, BSI, ANSSI (France) and many other defence authorities simply cannot use US cloud products for sensitive compliance workflows. immo.quick runs on Hetzner/IONOS/OVH — DE/EU hosting, Cloud Act resistant. Zero-key custody via Shamir secret sharing across 5 non-US jurisdictions. This is not marketing — it is structural admissibility.
0
US Hyperscalers
5
Non-US Juris.
EU
Hosting

Why we cannot be caught.

Layer 1 — Technisch
DEPE mathematics cannot be caught.
HMAC-SHA256 causality proof, 4-layer Merkle chain, bi-temporal ledger, post-quantum (Dilithium-5 / Kyber-1024). This is not a feature stack — it is a conceptual system.
DEPE — Deterministic Execution Proof
4-Layer Merkle-Chain
Bi-Temporal Ledger
PQC Dilithium-5 / Kyber-1024
Layer 2 — Regulatorisch
53 jurisdictions, 4 years to build.
SAFE entered into force March 2025. EDIP April 2025. No finished product worldwide combining both plus dual-use plus ITAR conflict. Competitors starting today need 18–24 months for MVP.
SAFE + EDIP — First-Mover
53 Jurisdiktionen konfiguriert
64 Rechtsnormen kodiert
103 Sub-Gate-Checks
Layer 3 — Geopolitisch
Cloud Act resistant. ITAR-capable. EU-sovereign.
No AWS. No Azure. No GCP. Hetzner / IONOS / OVH. Zero key custody. Shamir secret sharing. BAAINBw and ANSSI cannot use AWS — immo.quick can.
Nur DE/EU-Hosting
Zero Key Custody
CLOUD-Act-immun
BSI / ANSSI strukturell zulässig
⚖️
POSITION STATEMENT — ROLE OF IMMO.QUICK
immo.quick does not participate in military operations.

Our infrastructure has a single function: to make the procurement process legally provable. We verify whether a procurement contract meets the legal requirements of SAFE, EDIP, the Dual-Use Regulation, AWG and AML — nothing more, nothing less. Which systems are procured, which strategic decisions are made, which military operations take place: these are questions in which immo.quick is not involved and has no wish to be.

immo.quick is compliance infrastructure — comparable to a notary who certifies a contract without evaluating its substantive purpose. The legality of the process is our mandate. Strategic responsibility lies with the acting institutions.

NO OTHER PLATFORM ADDRESSES ALL THREE LAYERS

€151.5 billion EU defence volume.
No competitor has the compliance infrastructure for it.
immo.quick has it.

Rami Cherri · immo.quick · DefenceComplianceHub™ · Sektor 10 · Juni 2026
DefenceComplianceHub anfragen →