Title: Briefing on Export Control Regulations
1Briefing on Export Control Regulations
- Wayne State University
- Office of the Vice President for Research
2What are Export Controls?
- Federal regulations that control the conditions
under which certain information, technologies,
and commodities can be transmitted overseas to
anyone, including U.S. citizens, or to a foreign
national on U.S. soil. - Export control laws apply to a broad range of
University activities and may have a substantial
impact WSUs academic and research programs
3What are Export Controls?A Brief History
- 9/1985 National Security Decision Directive 189
- established a national policy for controlling the
flow of information produced in federally funded
fundamental research at colleges, universities
and laboratories - 11/2001 After the attack on the World Trade
Center Secretary of State Condoleeza Rice
reaffirmed the enforcement of NSDD - 12/2006 Government Accountability Office
published study of export control programs at
selected universities - improved federal guidance is needed for
universities
4Regulatory Agencies
- Department of Commerce
- Export Administration Regulations (EAR)
- Department of State
- International Traffic in Arms Regulations (ITAR)
- Department of Treasury
- Office of Foreign Assets Control (OFAC)
5What Areas of Universities are Affected by Export
Control Regulations?
- Research
- Engineering, medicine, nursing, pharmacology,
sciences, et al. - Education and Training
- Computing and Information Technology
- Technology/Material Transfer
- Grants and contracts
- General Counsel
- International Study Programs
- Purchasing
- Shipping and Receiving
- Environmental Health and Safety
- International collaborations
Other areas of vulnerability?
6Key Definitions
- Foreign National
- Deemed Exports
- Use
- Dual Use
- Fundamental Research Exemption
7Foreign National
- Any person who is not a lawful permanent resident
of the U.S. (a U.S. citizen, permanent resident
green card or under asylum protection) - Any foreign corporation or other entity or group
that is not incorporated or organized to do
business in the U.S. - Any foreign government
8Deemed Export
- The transfer of goods or technology within the
United States to a Foreign National - Includes oral, visual or written disclosure (i.e.
laboratory tours, websites, emails, research
collaboration and oral exchanges of information) - Applies to disclosures to research assistants,
students, visiting foreign researcher, U.S.
citizens visiting a foreign country
9Use
- Equipment operation, installation, maintenance,
repair, overhaul, refurbishing - If all 6 activities are present then some foreign
nationals may be restricted with regard to use
of equipment
10Dual Use
- Any technology or information that has a both a
military and civilian use - Examples include computers, software code,
microorganisms and toxins, electronics (design,
development and production), sensors, lasers, and
telecommunications -
11Fundamental Research
- Basic and applied research in science and
engineering, the results of which ordinarily are
published and shared broadly within the
scientific community as distinguished from
proprietary research and from industrial
development, design, production and product
utilization, the results of which ordinarily are
restricted for proprietary or national security
reasons. (NSDD-189)
12Fundamental Research
- Information that is generally accessible to the
interested public - Periodicals, books, print, electronic and other
media forms - Libraries
- Open conferences
- Released by instruction in catalog courses
- Associated teaching laboratories of academic
institutions - Public information available on a patent
application
13Fundamental Research
- The Export Control Regulations do not apply to
Fundamental Research - Approximately 90 of all research falls under the
Fundamental Research exclusion. - HOWEVER
- Export Controls do apply if the University
accepts any contract that - Requires the exclusion of Foreign Nationals from
participation (i.e. a license may be required) - Restricts publication or disclosure of research
results more than 90 days (e.g. for sponsor
review)
14Employment Exclusion
- No license is required in order to share
controlled technical information with a foreign
person who -
- Is a full-time, bona fide university employee
- and
- Has a permanent address in the US while employed,
provided that person - Is not a national of federally designated
countries and - Is advised in writing not to share controlled
information with other foreign persons.
15Education Exclusion
- No license is required to share with foreign
persons information concerning general
scientific, mathematical or engineering
principles commonly taught in universities or
information in the public domain.
16Sanctions and Penalties
- Individual and institutional
- Criminal
- Up to 1 million for a university
- Up to 1 million for individuals per violation
- Up to 10 years imprisonment
- Civil
- Seizure and forfeiture of controlled item(s)
- Up to 500,000 fine per violation
- Revocation of exporting privileges
17Department of Commerce (EAR) Examples of
Restrictions
- Technology (specific information necessary for
development, production or use of a product) - Technical Data (i.e. blueprints, diagrams,
formulae, manuals and instructions etc.) -
- Use (operation, installation, maintenance,
repair, overhaul and refurbishing) - advanced materials, telecommunications,
microelectronics, encryption, optoelectronics,
encryption, biotechnology, computing,
optoelectronics
Lists are subject to change
18Department of Commerce (EAR) Examples of
Restrictions cont.
- Country
- Control of items based on technical parameters
and country of ultimate destination. - Denied Persons
- Persons denied export privileges, in whole or in
part. - Denied Entity
- Organizations identified as engaging in
activities related to the proliferation of
weapons of mass destruction. - Depending on the item, a license may be required
to export to an organization on the Entity List
even if one is not otherwise required.
19Examples of Restricted Countries
- Terrorism concerns
- Cuba, Iran, North Korea, Syria and Sudan
- Trade sanctions against transactions of value
- Cuba, Balkans, Iran, Iraq, Libya, North Korea,
Burma, Liberia, Sudan, Syria, Zimbabwe
Includes provision of services (i.e. surveys
and interviews training marketing and business
services)
20How Restrictions Affectthe University
- The EAR and/or ITAR may require the University to
obtain prior approval from State or Commerce for - Foreign nationals to participate in research
- Collaborating with foreign nationals/entities
- International travel
- Sharing research (verbally or in writing) with
Foreign Nationals - Before allowing material transfer to designated
persons or countries
21Summary
- Export Control Regulations have far-reaching
implications on everyday University activities - Many units (administrative, academic, research)
of the University are affected - Compliance with regulations requires a
university-wide oversight program - Non-compliance with regulations places the
University and its personnel at risk of fines
and/or imprisonment