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Team Wendy EXFIL Ballistic Visor

Team Wendy EXFIL Ballistic Visor

Size
Color: Black
Regular price $365.00
Regular price Sale price $365.00
Sale Sold out
FREE 2-Day Air on Night Vision & Orders Over $2,000
Quantity

Protect your eyes from liquids and projectiles with the EXFIL® Ballistic Visor with ESS Lens Technology. The EXFIL Ballistic Visor is a low-profile, lightweight visor system that mounts quickly and tool-free to the front section of the EXFIL Rail 3.0 accessory mounting system. It quickly adjusts into three preset positions (down, up and stowed) and provides clearance for NVG mounts when in the stowed position. The EXFIL Ballistic Visor comes standard with a flexible upper flange to prevent debris and liquid from seeping into the wearer’s eyes from the brim of the helmet.

Comes with a custom cloth cover to protect the visor when not in use.

NOTE: Only Compatible with Team Wendy's EXFIL Rail 3.0 System. Not Compatible with any other helmet brands. 

  • Owners of the original EXFIL Ballistic with the EXFIL Rail 2.0 must upgrade to the EXFIL Ballistic Rail 3.0.
  • Owners of the EXFIL Carbon or EXFIL LTP with the EXFIL Rail 2.0 must upgrade to the EXFIL Carbon/LTP Rail 3.0.

Performance

  • Exceeds impact, fragmentation and optical requirements of Military Combat Eye Protection (MCEP) in accordance with MIL-PRF-32432(GL)
  • MCEP requirements include meeting ANSI Z87.1 2010

Coverage

  • 28.9 in2 (186.1 cm2)

Enviromental Conditions / MIL-STD-810G Methods

  • 501.5P1 High Temperature
  • 502.5P1 Low Temperature
  • 507.5 Humidity
  • 509.5 Salt Fog
  • 510.5PII Blowing Sand/Dust
  • 514.6 Loose Cargo Vibration
  • 500.5PI Low Pressure (Altitude)

Sizing

The size 1 (M/L) EXFIL Ballistic Visor is compatible with:
  • Size 1 EXFIL Ballistic SL 
  • Size 1 EXFIL Ballistic with EXFIL Rail 3.0
  • Size 1 EXFIL Carbon with EXFIL Rail 3.0
  • Size 1 and Size 2 EXFIL LTP with EXFIL Rail 3.0
The size 2 (XL) EXFIL Ballistic Visor is compatible with:
  • Size 2 EXFIL Ballistic SL 
  • Size 2 EXFIL Ballistic with EXFIL Rail 3.0
  • Size 2 EXFIL Carbon with EXFIL Rail 3.0

ITAR

QDEF COMPLIANCE // U.S. EXPORT CONTROL

Export &
ITAR Compliance

Certain products, components, technical data, and services offered by Quad Defense may be controlled under United States export-control laws and regulations.

These requirements may include the International Traffic in Arms Regulations (ITAR), the Export Administration Regulations (EAR), or other applicable U.S. laws and regulations.

Customers are responsible for understanding and complying with the export-control requirements applicable to the products or information they purchase, receive, transfer, resell, or otherwise provide to others.

IMPORTANT // EXPORT RESTRICTIONS

Do not export, re-export, transfer, release, or provide controlled products, technical data, or services to a foreign person, foreign destination, or unauthorized end user without first determining whether U.S. Government authorization is required.

This includes transfers that may occur inside the United States when controlled technical data or other controlled items are released to a foreign person.

01 // ITAR

What Is ITAR?

The International Traffic in Arms Regulations are administered by the U.S. Department of State's Directorate of Defense Trade Controls (DDTC).

ITAR governs defense articles, defense services, and related technical data identified on the United States Munitions List, as well as certain exports, temporary imports, reexports, retransfers, and other controlled transactions.

Not every product sold by Quad Defense is necessarily ITAR-controlled. Export classification depends on the specific product, component, technology, technical data, and transaction.

02 // CONTROLLED PRODUCTS

Night Vision & Related Equipment

Night vision products and related equipment may be subject to U.S. export-control restrictions depending on their classification, configuration, technical characteristics, origin, and intended destination or end user.

Some products may fall under ITAR jurisdiction while others may be controlled under the Export Administration Regulations or another regulatory framework.

The absence of an “ITAR” label on a product page should not be interpreted as confirmation that the product is unrestricted for international transfer.

03 // U.S. PERSONS + FOREIGN PERSONS

Who May Receive Controlled Items?

Export-control rules can restrict who may receive certain products, technical data, or defense services.

ITAR distinguishes between U.S. persons and foreign persons. The applicable regulatory definitions should be used when determining whether a particular transfer or release requires authorization.

Citizenship alone should not be used as the sole test for every export-control determination.

04 // EXPORTS + TRANSFERS

Authorization May Be Required

Depending on the item and circumstances, U.S. Government authorization may be required before a controlled product or technical data may be:

  • Exported from the United States
  • Re-exported from one foreign country to another
  • Retransferred to a different end user or end use
  • Released or provided to a foreign person
  • Sold or transferred to another party for a different destination or purpose
  • Used to furnish a controlled defense service

Applicable licenses, agreements, exemptions, exceptions, or other authorizations must be determined before the transaction occurs.

05 // RESALE

Resale Does Not Remove Export Restrictions

Purchasing a product from Quad Defense and later reselling or transferring it does not eliminate applicable U.S. export-control restrictions.

Customers who resell controlled products are responsible for ensuring that subsequent transfers comply with applicable export-control laws, end-user restrictions, destination restrictions, licensing requirements, and other regulatory obligations.

Where appropriate, downstream purchasers should also be informed that the product may be subject to U.S. export-control restrictions.

06 // TECHNICAL DATA

Technical Information May Also Be Controlled

Export controls may apply not only to physical hardware but also to certain technical information associated with controlled products.

Depending on its content and classification, controlled technical data may include certain detailed information relating to the design, development, production, manufacture, assembly, operation, repair, testing, maintenance, or modification of controlled defense articles.

Quad Defense may therefore limit the distribution of certain technical information or documentation when necessary to comply with applicable export-control obligations.

07 // CUSTOMER RESPONSIBILITY

Purchaser Acknowledgment

By purchasing or receiving export-controlled products, technical data, or services from Quad Defense, the purchaser acknowledges responsibility for complying with applicable U.S. export-control laws and regulations.

01 //

I understand that certain products or technical information provided by Quad Defense may be subject to U.S. export-control laws and regulations.

02 //

I will not export, re-export, transfer, release, or otherwise provide controlled products or technical data contrary to applicable U.S. law.

03 //

I understand that U.S. Government authorization may be required before certain items or technical data may be transferred to a foreign destination, foreign person, different end user, or different end use.

04 //

If I resell or transfer controlled products, I am responsible for determining and complying with applicable restrictions governing that subsequent transaction.

05 //

I understand that violations of U.S. export-control laws may result in significant civil, criminal, and administrative penalties.

08 // RESTRICTED TRANSACTIONS

Quad Defense May Refuse a Transaction

Quad Defense reserves the right to refuse, cancel, delay, or request additional information regarding any transaction when necessary to evaluate export-control compliance, end use, end user, destination, or other legal requirements.

This may include requesting information sufficient to verify purchaser identity, intended end use, ultimate destination, or other compliance information relevant to the transaction.

09 // NO EXPORT ADVICE

Classification & Legal Guidance

Information provided on this page is intended as a general compliance notice and does not constitute legal advice, an export classification, or authorization to export any specific product.

Customers requiring a formal classification or authorization should consult the applicable U.S. Government agency or qualified export-control counsel before proceeding with a transaction.

QDEF COMPLIANCE // QUESTIONS

Questions Before You Order?

If you have questions about whether Quad Defense can fulfill an order to a particular customer, destination, or organization, contact us before placing the order.

Email: sales@quaddefense.com

QUAD DEFENSE // ENTER DARKNESS

QDEF COMPLIANCE // U.S. EXPORT CONTROL

Export &
ITAR Compliance

Certain products, components, technical data, and services offered by Quad Defense may be controlled under United States export-control laws and regulations.

These requirements may include the International Traffic in Arms Regulations (ITAR), the Export Administration Regulations (EAR), or other applicable U.S. laws and regulations.

Customers are responsible for understanding and complying with the export-control requirements applicable to the products or information they purchase, receive, transfer, resell, or otherwise provide to others.

IMPORTANT // EXPORT RESTRICTIONS

Do not export, re-export, transfer, release, or provide controlled products, technical data, or services to a foreign person, foreign destination, or unauthorized end user without first determining whether U.S. Government authorization is required.

This includes transfers that may occur inside the United States when controlled technical data or other controlled items are released to a foreign person.

01 // ITAR

What Is ITAR?

The International Traffic in Arms Regulations are administered by the U.S. Department of State's Directorate of Defense Trade Controls (DDTC).

ITAR governs defense articles, defense services, and related technical data identified on the United States Munitions List, as well as certain exports, temporary imports, reexports, retransfers, and other controlled transactions.

Not every product sold by Quad Defense is necessarily ITAR-controlled. Export classification depends on the specific product, component, technology, technical data, and transaction.

02 // CONTROLLED PRODUCTS

Night Vision & Related Equipment

Night vision products and related equipment may be subject to U.S. export-control restrictions depending on their classification, configuration, technical characteristics, origin, and intended destination or end user.

Some products may fall under ITAR jurisdiction while others may be controlled under the Export Administration Regulations or another regulatory framework.

The absence of an “ITAR” label on a product page should not be interpreted as confirmation that the product is unrestricted for international transfer.

03 // U.S. PERSONS + FOREIGN PERSONS

Who May Receive Controlled Items?

Export-control rules can restrict who may receive certain products, technical data, or defense services.

ITAR distinguishes between U.S. persons and foreign persons. The applicable regulatory definitions should be used when determining whether a particular transfer or release requires authorization.

Citizenship alone should not be used as the sole test for every export-control determination.

04 // EXPORTS + TRANSFERS

Authorization May Be Required

Depending on the item and circumstances, U.S. Government authorization may be required before a controlled product or technical data may be:

  • Exported from the United States
  • Re-exported from one foreign country to another
  • Retransferred to a different end user or end use
  • Released or provided to a foreign person
  • Sold or transferred to another party for a different destination or purpose
  • Used to furnish a controlled defense service

Applicable licenses, agreements, exemptions, exceptions, or other authorizations must be determined before the transaction occurs.

05 // RESALE

Resale Does Not Remove Export Restrictions

Purchasing a product from Quad Defense and later reselling or transferring it does not eliminate applicable U.S. export-control restrictions.

Customers who resell controlled products are responsible for ensuring that subsequent transfers comply with applicable export-control laws, end-user restrictions, destination restrictions, licensing requirements, and other regulatory obligations.

Where appropriate, downstream purchasers should also be informed that the product may be subject to U.S. export-control restrictions.

06 // TECHNICAL DATA

Technical Information May Also Be Controlled

Export controls may apply not only to physical hardware but also to certain technical information associated with controlled products.

Depending on its content and classification, controlled technical data may include certain detailed information relating to the design, development, production, manufacture, assembly, operation, repair, testing, maintenance, or modification of controlled defense articles.

Quad Defense may therefore limit the distribution of certain technical information or documentation when necessary to comply with applicable export-control obligations.

07 // CUSTOMER RESPONSIBILITY

Purchaser Acknowledgment

By purchasing or receiving export-controlled products, technical data, or services from Quad Defense, the purchaser acknowledges responsibility for complying with applicable U.S. export-control laws and regulations.

01 //

I understand that certain products or technical information provided by Quad Defense may be subject to U.S. export-control laws and regulations.

02 //

I will not export, re-export, transfer, release, or otherwise provide controlled products or technical data contrary to applicable U.S. law.

03 //

I understand that U.S. Government authorization may be required before certain items or technical data may be transferred to a foreign destination, foreign person, different end user, or different end use.

04 //

If I resell or transfer controlled products, I am responsible for determining and complying with applicable restrictions governing that subsequent transaction.

05 //

I understand that violations of U.S. export-control laws may result in significant civil, criminal, and administrative penalties.

08 // RESTRICTED TRANSACTIONS

Quad Defense May Refuse a Transaction

Quad Defense reserves the right to refuse, cancel, delay, or request additional information regarding any transaction when necessary to evaluate export-control compliance, end use, end user, destination, or other legal requirements.

This may include requesting information sufficient to verify purchaser identity, intended end use, ultimate destination, or other compliance information relevant to the transaction.

09 // NO EXPORT ADVICE

Classification & Legal Guidance

Information provided on this page is intended as a general compliance notice and does not constitute legal advice, an export classification, or authorization to export any specific product.

Customers requiring a formal classification or authorization should consult the applicable U.S. Government agency or qualified export-control counsel before proceeding with a transaction.

QDEF COMPLIANCE // QUESTIONS

Questions Before You Order?

If you have questions about whether Quad Defense can fulfill an order to a particular customer, destination, or organization, contact us before placing the order.

Email: sales@quaddefense.com

QUAD DEFENSE // ENTER DARKNESS
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