Capability, bound by compliance.
Division II serves the defence, border-security, and specialist law-enforcement community in the Republic of Kosovo and — subject to the compliance conditions set out on this page — internationally. The Division supplies, integrates, and supports mobility, communications, surveillance, and specialist-mission capability for institutions whose statutory mandate is the defence of sovereignty, the security of borders, and the protection of the state from hostile and criminal threats.
The Defence and Security Solutions Division equips the institutions that defend Kosovo, secure its borders, and protect its public order — combining internationally-proven technology with local integration, training, and lifecycle support, and operating in strict compliance with the export-control, sanctions, and end-use regimes applicable to each transaction.
Operating principles
The Division operates under five principles that are more restrictive, and more binding, than the equivalent Group principles. They govern every commercial decision and determine what this page can and cannot say.
- Legality at every layer. No transaction proceeds until it has been verified lawful under the sanctions and export-control regimes of the HEXATECH jurisdiction, the OEM jurisdiction, any transit jurisdiction, the end-user jurisdiction, and any jurisdiction relevant to the financing chain.
- End-use integrity. Every transaction is underpinned by a documented end-user and end-use assurance. No facilitation of re-export, diversion, or use outside the declared end-user state.
- Controlled information. Detailed capability, customer, and configuration information is controlled. This page states only what can be said to an unrestricted audience; detail is provided only through verified counterparty access.
- Neutrality and sovereignty. The Division does not accept engagements against the sovereignty of a customer-nation, the Republic of Kosovo, or any jurisdiction in which HEXATECH operates. It declines transactions associated with weapons of mass destruction or their means of delivery.
- Documentation and auditability. Every step of every transaction is documented to the standard of the most demanding counterparty — typically the export-control authority of the OEM jurisdiction, the end-user state's defence ministry, the financier, and the external auditor.
Capability framework.
Capability is organised into five areas at category level. Specific configurations, performance characteristics, and customer identities are Tier 2 content and are not published here; they are provided to verified counterparties through the gated subdomain.
Tactical and armoured mobility
Light tactical vehicles, wheeled armoured platforms, mission-adapted special-purpose vehicles, and logistic vehicles — built to recognised protection standards.
C4ISR & communications
Tactical radio networks, secure voice and data, deployable command posts, integrated situational awareness, and surveillance and reconnaissance systems.
Border and coastal security
Fixed and mobile border-surveillance systems, patrol and response vehicles, marine and riverine platforms, and port/airport security equipment.
Specialist equipment & PPE
Ballistic protection, tactical load-carrying, specialist optics subject to applicable export-control, and tactical medical equipment.
Integration & lifecycle
Vehicle and communications integration, operator and maintainer training, spares provisioning, and in-service support under customer framework arrangements.
Unmanned & specialist sensors
Unmanned aerial and ground systems for reconnaissance and specialist application — engaged selectively and always subject to heightened export-control and policy scrutiny.
Sanctions, export control, and end-use discipline.
Division II activity is conducted in compliance with the following regimes, as applicable to the specific counterparties, items, technology, financing, and jurisdictions of each transaction.
- United Nations Security Council Consolidated Sanctions List
- European Union Consolidated List of Financial Sanctions Targets
- EU Dual-Use Regulation (EU) 2021/821
- EU Common Position 2008/944/CFSP on control of exports of military technology and equipment
- US OFAC sanctions programmes; BIS Entity / Denied Persons / Unverified Lists
- US International Traffic in Arms Regulations (ITAR), where a US nexus exists
- US Export Administration Regulations (EAR), where a US nexus exists
- UK OFSI Consolidated List and UK export-control measures
- National export-control measures of partner-OEM jurisdictions (Poland, Germany, Austria, Türkiye, Italy, Czech Republic, Finland, others)
- Republic of Kosovo export-control framework
- Wassenaar Arrangement on conventional arms and dual-use goods and technologies (reference framework)
Transaction-lifecycle controls apply at five stages — lead qualification, specification and pre-offer, offer and negotiation, contracting, and delivery and post-delivery. End-User Certificates are required on every relevant transaction in the form required by the OEM's jurisdiction; no EUC, no transaction.
HEXATECH does not assist a counterparty in circumventing the end-use or end-user assurance requirements of any applicable regime. Where the counterparty cannot or will not provide an EUC or equivalent in the form required, HEXATECH does not proceed.
NATO interoperability and standards alignment.
HEXATECH aligns its technical posture with the interoperability framework its customers operate within. For the Kosovo Security Force, the Albanian Armed Forces, and other NATO-member or partner defence forces, that framework is principally NATO's standardisation and interoperability architecture.
Registrations and accreditations
- NCAGE — NATO Commercial and Government Entity code, maintained through the Kosovo Codification Bureau
- NSPA — NATO Support and Procurement Agency framework positioning
- NATO Codification System — NATO Stock Number assignment on supplied items where required
Quality posture — AQAP series
- AQAP 2110 — Quality Assurance Requirements for Design, Development, and Production
- AQAP 2210 — Supplementary Software Quality Assurance Requirements
- AQAP 2310 — Requirements for Aviation, Space and Defence Suppliers
- AQAP 2105 — Requirements for Deliverable Quality Plans
- AQAP 2070 — NATO Mutual Government Quality Assurance Process
Standards invoked on transactions
- STANAG 4569 — Protection levels for logistic and light armoured vehicles
- STANAG 2920 — Ballistic test method for personal armours and combat clothing
- STANAG 4370 (AECTP series) — Environmental testing for defence materiel
- Communications-interoperability STANAGs, as invoked by customer specification
Absolute boundaries.
The Division does not supply, broker, or integrate: (i) items constituting weapons of mass destruction or their means of delivery; (ii) items controlled under the Nuclear Non-Proliferation Treaty or the Chemical Weapons Convention where HEXATECH is not expressly authorised; (iii) items, technology, or technical assistance prohibited by applicable sanctions or export-control regimes or the Wassenaar Arrangement; (iv) items for end-uses associated with serious human-rights violations; (v) offensive cyber capabilities. These exclusions are reaffirmed at the commencement of every engagement and apply irrespective of customer identity, commercial scale, or political pressure.
Gated access for verified counterparties.
This page provides Tier 1 public content only. Specific product configurations, customer classes by country, detailed partner portfolio with tier classification, and capability-statement detail are available through the gated Partners Portal at partners.hexatech.biz — accessible only after counterparty verification by the HEXATECH Compliance Officer.
Access is appropriate for institutional buyers, prime contractors, consultancies with a documented relevant interest, and allied government counterparties. It is not a marketing registration.
Request verified counterparty access
Submit an access request providing your identity, affiliation, purpose, and contact point. Applications are reviewed by the Compliance Officer under the verification process in the HEXATECH corporate brief. Verification does not confer or imply commitment to transact.
Begin access request