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1OVERVIEW OF EXPORT CONTROL ISSUES
2UNITED STATES EXPORT LAWS AND REGULATIONS
Export of Defense Articles, Defense Services
and Technical Data
Export of Dual Use Commodities and Technical Data
Arms Export Control Act
Export Administration Act
1
Enabling Status
International Traffic in Arms Regulations (ITAR)
Export Administration Regulations (EAR)
2
Regulations
U.S. Department of State, Bureau of
Political-Military Affairs, Directorate of
Defense Trade Controls (DDTC)
U.S. Department of Commerce, Bureau of Industry
and Security (BIS)
Department and Office Administering
the Regulations and Issuing The Licenses
3
3UNITED STATES EXPORT CONTROL SYSTEM
The export control system's three principal
functions are to
1 Identify technologies and products that need
to be controlled
2 Review and evaluate export license applications
3 Enforce Export Controls
4Reasons for Control
- Some of the reasons that the U.S. government has
export controls in place are - Foreign Policy
- National Security
- Human Rights Issues
- Regional Stability
- Proliferation Issues
5INTERNATIONAL TRAFFIC IN ARMS REGULATIONS (ITAR)
- Administered by U.S. Department of State
- Applies to Export of Arms, Ammunition and
implements of war on the U.S. Munitions List
(USML) - Controls U.S. Exports of all USML products,
technical data and defense services - Controls foreign
- Re-Exports of all U.S. origin products and
technical data - Exports of U.S. origin parts and components
incorporated in foreign products - Exports of Non-U.S. products manufactured using
U.S. origin technology
6EXPORT ADMINISTRATION REGULATIONS (EAR)
- Administered by the U.S. Department of Commerce
- Applies to Commercial and Dual Use Commodities
- Controls U.S. Exports Using Three General Policy
Guidelines - Controls should be used on exports which would
make a significant contribution to the military
potential of any other country or combination of
countries which would prove detrimental to the
national security of the U.S. - Controls should be used where necessary to
further significantly the foreign policy of the
U.S. or to fulfill its declared international
obligations - Controls should be used where necessary to
protect the domestic economy from the excessive
drain of scarce materials and to reduce the
serious inflationary impact of foreign demand - Controls Foreign
- Re-Exports of all U.S. origin products and
technical data - Exports of U.S. origin parts and components
incorporated in foreign products
7- WHAT DETERMINES IF AN ITEM IS A
- DEFENSE ARTICLE?
- (ITAR 120.3)
- It is specially designed, developed, configured,
adapted, or modified for a military application,
and - It does not have predominant civil applications,
and - It does not have performance equivalent (defined
by form, fit, and function) to those of an
article or service used for civil applications - or
- It is specifically designed, developed,
configured, adapted, or modified for a military
application, and has significant military or
intelligence applicability such that control
under the ITAR is necessary.
8Commodity Jurisdiction
- If your product/technology does not clearly fall
within one of the USML categories, then you need
to apply for a Commodity Jurisdiction. - The Commodity Jurisdiction is where the DDTCs
Office of Defense Trade Controls Policy (DTCP).
will review your information to determine if the
item is under the USML, has a strictly commercial
application or dual use purpose.
9 INTERNATIONAL TRAFFIC IN ARMS
REGULATIONS (ITAR)
10 WHAT IS COVERED BY THE UNITED STATES MUNITIONS
LIST Defense Articles Defense
Services Technical Data
11 WHAT IS A DEFENSE SERVICE? (ITAR 120.9) The
furnishing of assistance (including training) to
foreign persons, whether in the United States or
abroad in the design, development, engineering,
manufacture, production, assembly, testing,
repair, maintenance, modification, operation,
demilitarization, destruction, processing or use
of defense articles or The furnishing to
foreign persons of any technical data controlled
under the ITAR, whether in the United States or
abroad or Military training of foreign units and
forces, regular and irregular, including formal
and informal instruction.
12- WHAT IS TECHNICAL DATA?
- (ITAR 120.10)
- Information which is required for the design,
development, production, manufacture, assembly,
operation, repair, testing, maintenance or
modification of defense articles. - This includes information the form of blueprints,
drawing, photographs, plans, instructions and
documentation. - Software including, but not limited to, the
system functional design, logic flow, algorithms,
application programs, operating systems and
support software for design, implementation,
test, operations, diagnosis and repair.
13- WHAT IS NOT TECHNICAL DATA?
- (ITAR 120.10)
- Information concerning general scientific,
mathematical or engineering principles commonly
taught in schools, colleges, and universities or
information in the public domain. - Basic marketing information on function or
purpose or general system descriptions of defense
articles. - As a general rule, if you would give the
information to your closest competitor, it
probably is not considered technical data.
14- WHAT IS INFORMATION
- IN THE PUBLIC DOMAIN?
- (ITAR 120.11)
- Information which is published and which is
generally accessible or available to the public - Through sales a newsstands and bookstores
- Through subscriptions which are available without
restriction to any individual who desires to
obtain or purchase the published information - Through second class mailing privileges granted
by the U.S. Government - At libraries open to the public or from which the
public can obtain documents
15- WHAT IS INFORMATION
- IN THE PUBLIC DOMAIN? (cont)
- (ITAR 120.11)
- Information which is published and which is
generally accessible or available to the public - Through patents available at any patent office
- Through unlimited distribution at a conference,
meeting, seminar, trade show or exhibition,
generally accessible to the public, in the United
States - Through public release after approval by the
cognizant government department - Several others
16Clearing Documents for Public Release
- If you have a document (paper, presentation, data
sheet, etc) that you would like to put into the
public domain you have two choices - If the information is owned by a U.S. government
program, you need to contact the program office
(likely public affairs) and request permission
for release - If the information is not owned by any or by a
specific government program, then your request is
sent to the Office of Security Review (OSR)
17EXPORT AUTHORIZATIONS Permanent Export License
for hardware and certain technical
data Temporary Export License for trade shows
or demonstration of U.S. hardware
or return
to a foreign vendor for repair Temporary Import
License U.S. demonstrations/exhibits of
foreign- origin items Exemptions for
Export/Import of Hardware Technical Assistance
Agreement (TAA) for the performance of a defense
service or the disclosure of technical
data Manufacturing License Agreement (MLA) for
the manufacture of defense articles abroad which
involves the export of technical data or defense
articles or the performance of a defense
service Exemptions for Export of Technical Data
18 FOCUS ON TECHNICAL DATA
19- HOW IS TECHNICAL DATA EXPORTED?
- Contrary to the ordinary meaning of the word
export, an export of technical data under
United States export laws is not limited to the
physical conveyance of technical data to a person
or location outside the national boundaries of
the United States. - Instead, export in the context of technical data
means any release (verbal, visual, etc) of
technical data from the United States with the
knowledge or intent that the data will be shipped
or transmitted from the United States to a
foreign country. - Technical data is exported upon release to a
foreign person whether in the United States or
abroad.
20- HOW IS TECHNICAL DATA EXPORTED?
- Technical Data is considered to have been
exported if - It has been shipped or transmitted out of the
United States. This includes a letter, telex,
facsimile, e-mail, and telephone - It has been disclosed to foreign nationals in the
United States - It was included in oral discussions with a
foreign person in the U.S. or abroad. This
includes trade shows and seminars where foreign
persons are present or - If personal knowledge or experience, gained in
the United States, has been applied abroad.
21- TECHNICAL DATA EXEMPTIONS
- (include, but not limited to, the following)
- Copies of technical data previously authorized
for export to same recipient - Basic operations, maintenance, and training
information relating to equipment authorized for
export to the same recipient - Technical data being returned to original source
of import - Technical data to be used overseas solely by U.S.
persons - Technical data in furtherance of a technical
assistance agreement or a manufacturing license
agreement approved by the Directorate of Defense
Trade Controls
22 TECHNICAL DATA EXEMPTIONS Qualifying for an
exemption does not mean that we can just release
the technical data without any further
thought. To claim an exemption, the proper
certification must be made on the technical data
or letter containing the technical data, e.g. 22
CFR 125.4(b)(5) applicable would be the
certification for operation and maintenance
manuals.
23Making An Export
- Filing of the License
- Documentation
- Hand Carrying Items Self Endorsement/Letters
- Verbal
- Mailing
- Electronic (email)
- Filing with Customs (Automatic Export System
AES) - Use of Freight Forwarder
- File on your own (Contact BIS Training and
Certification)
24Compliance Program
- The key to any good export/import compliance
program is - training and
- documentation.
25Training/Compliance Reviews
- Training Management, Purchasing, Engineers,
Contracts, Shipping/Receiving, Accounting - Training Materials and Records
- Self Assessments/Audits
26Documentation
- Commodity Jurisdiction requests
- Commodity Classification Requests
- Bad guy check
- Applications and supporting data
- Licenses and Agreements
- Commission reports
- Annual reports of Sales or Transfers (MLA)
27Documentation
- Technology Control Plan
- Non US Visitors
- Non US Employees/Contractors
- Foreign Briefings and Hand-carrying Letters
- Instructions to shippers/freight forwarders
- AES filings
- Duty Free Entry Instructions
- Exemptions/Exceptions
28Documentation
- Correspondence to DoS/DoC
- Execution/ Non-execution of Agreements
- Return of Licenses
- Initial exports under Agreements
- Request to Review Provisos
- Marking Documents
- Destination Control Statements
- Exemptions, Licenses, Agreements
- Marking even to other US Entities
29 VIOLATIONS AND PENALTIES (ITAR 127)
30- VIOLATIONS
- To export or attempt to export defense articles,
defense services, or technical data without the
written approval from the Directorate of Defense
Trade Controls - To import or attempt to import any defense
article whenever a license is required without
such license - To conspire to export, import, re-export or cause
to be exported, imported, or re-exported any
defense article, defense service, or technical
data without the required written approval from
the Office of Defense Trade Controls - To violate any of the terms or conditions of
licenses or approvals granted by the Office of
Defense Trade Controls
31- PENALTIES
- CIVIL
- May not exceed 500,000 for each violation
- May be denied export privileges for some period
of time - Can be imposed on the company and individuals
32- PENALTIES
- CRIMINAL
- For each violation, a fine of not more than
1,000,000 or imprisonment of not more than 10
years or both may be applied to any person who - willfully violates any provision of the Arms
Export Control Act or the International Traffic
in Arms Regulations, or - willfully makes an untrue or misleading statement
of a material fact in a registration or request
for export authorization, or - willfully omits to state a material fact in a
registration or request for export authorization.
33INDICATIONS OF POTENTIALLY ILLEGAL EXPORTS
- The customer's/purchaser's agent is reluctant to
provide the end-use or end-user information - The performance/design requirements are
incompatible with the destination country's
resources or environment, or with the consignee's
line of business. - The stated end-use is incompatible with the
customary or known industrial application for the
equipment being purchased. - The stated end-use is incompatible with the
consignee's line of business. - Little or no customer business background
information is available. - The customer is willing to pay cash for a large
item or order. - There is an apparent lack of customer familiarity
with the commodity's performance/design
characteristics or uses. - The customer/purchasing agent refuses
installation or service contracts that are
normally accepted in similar transactions. - There are ill-defined delivery dates or the use
of delivery locations that are inconsistent with
the type of commodity or with established
practices. - Freight forwarders are used as ultimate
consignees. - Intermediate consignees are used whose
location/business is incompatible with the
purported end-user's name of business or
location. - The packaging or packing requirements are
inconsistent with the shipping mode and/or
destination. - Evasive responses are given to questions
regarding any of the above, as well as whether
equipment is for domestic use, export, or
re-export.
34Resources
- Department of State/Commerce
- DoS Website www.pmddtc.state.gov/
- DoC Website www.commerce.gov/
- Bureau of Industry and Security (BIS)
- www.bis.doc.gov
- Society for International Affairs (SIA)
- http//www.siaed.org/
- Local Colleges and Universities