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EXPORT CONTROL AWARENESS

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When certain countries are involved, no license is available ... Proposal Stage Red Flags. Does the Project involve. Shipping equipment to a foreign country? ... – PowerPoint PPT presentation

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Title: EXPORT CONTROL AWARENESS


1
EXPORT CONTROL AWARENESS
  • UNIVERSITY OF IOWA
  • Lisa Leff
  • Assistant Director
  • Division of Sponsored Programs
  • Spring 2005

2
What are Export Controls
  • US laws that regulate the distribution of
    strategically important products, services, and
    information to foreign nationals and foreign
    countries. These things may be important for
    foreign policy reasons, as well as national
    security

3
Export Controls at the University of Iowa
  • I would like to take this opportunity to
    encourage everyone to read the following
  • Message from the Vice President for Research
  • Export Controls Who Should Care and Why
  • Which provide an overview of the issue of Export
    Controls and can be found, along with other
    useful information, at
  • http//research.uiowa.edu/dsp/main/?getexport-co
    ntrols

4
Applicability Depends On
  • Nature of the goods, technology, or data (actual
    or potential issues for economic protections or
    military applications)
  • Destination (country, organization, individual)
  • Intended user or suspected end use or end user

5
US Export Controls and Responsible Agencies
  • State Department Controls inherently military
    technologies International Traffic in Arms
    Regulations (ITAR)
  • Commerce Department Controls Dual-Use
    technologies (primary civil use, but with
    military application) Export Administration
    Regulations (EAR)
  • Treasury Department, Office of Foreign Assets
    Control (OFAC) Prohibits transactions with
    countries subject to boycotts, trade sanctions
    and embargoes

6
Implications of Export Laws
  • No effect on 90 of university research
  • BUT potential impact on
  • Ability of foreign nationals (students, faculty,
    visiting scholars etc.) to participate in
    research involving a controlled technology
    (primarily ITAR)
  • Ability to provide services (including training
    in the use of controlled equipment) to foreign
    nationals and foreign countries (ITAR, EAR, and
    OFAC)
  • Ability to send controlled equipment to foreign
    nationals or countries (ITAR, EAR, and OFAC)

7
EAR
  • Goods and related technology listed on the
    Commerce Control List (CCL, 15 CFR 774, Supp. 1)
  • Lists 10 categories for which a license is
    required
  • Materials (chemicals, microorganisms, toxins),
    Materials Processing, Electronics, Computers,
    Telecommunications, Lasers and Sensors,
    Navigation and Avionics, Marine, Propulsion
    Systems, Space Vehicles and Related Equipment

8
EAR 99
  • This is an additional catch-all category
  • It covers goods/technology subject to the EAR
    as defined in 15 CFR 734.3(a) but not
    specifically identified on the CCL
  • These items may or may not require a license,
    depending on the destination (country and
    individual)

9
ITAR
  • Regulates Defense articles, defense services,
    related technical data on the US Munitions List
    (USML) at 22 CFR 121
  • Also regulates items and technology that are
    inherently military in nature designed to
    kill/defend against death in a military situation
  • The USML lists 21 categories which require a
    license
  • The List includes weapons, chemical and
    biological agents, vehicles, missiles, equipment
    and all satellites

10
SINCE 9/11
  • The higher education community has increased its
    efforts to remove university research from the
    scope of export control regulations
  • There is an increasing applicability of these
    regulations to university research
  • The government has recently audited several
    university research programs, checking for
    compliance

11
Issues for University Research
  • The definition of export is expansive and
    includes
  • Transfer/disclosure outside the US to any person
    (including a US citizen abroad)
  • Transfer/disclosure in any form (verbal, written,
    electronic, visual) within the US to anyone not a
    US citizen or permanent resident (green card
    holder) DEEMED EXPORT RULE
  • ITAR also includes defense services

12
Deemed Export Rule
  • If export controls apply and license is required
  • - and no exemption is available
  • - Must obtain a license before
    export- controlled item/information can be shared
    abroad or with a foreign national participating
    in the research on a US campus
  • - When certain countries are involved, no
    license is available at all

13
More Issues
  • The expansion of ITAR jurisdiction to include
    research satellites and related technology (ITAR
    2002 amendment)
  • Increasing application of ITAR to the life
    sciences
  • MTAs and their issues with the application of
    the fundamental research exemption)

14
2002 ITAR Amendment
  • Provides an exemption to US universities for
    certain spacecraft systems fabricated solely for
    research purposes, IF
  • Exports are restricted to universities/research
    institutions in NATO or other US-allied
    countries, AND
  • All the information is in the public domain
    (defined in 22 CFR 120.11)

15
Effect of the 2002 Amendment
  • Does not expand the scope of existing fundamental
    research exemption under ITAR, since public
    domain information is already outside of ITAR
    scope
  • Appears to require a license for information in
    the public domain (outside ITAR scope) for
    exports to countries outside NATO or US allies
  • Effectively, no reliable authority for proceeding
    without a license in the area of satellite
    research

16
Dissemination of Information
  • The regulations prohibit the disclosure of
    controlled technical information by any method to
    a foreign national in the U.S. or abroad without
    a license from Commerce or State
  • Methods of disclosure include
  • Fax
  • Telephone discussions
  • E-mail communications
  • Computer data disclosure
  • Face-to-face conversations
  • Training sessions
  • Tours which involve visual inspections

17
Other Examples of Restrictions
  • Conferences where previously unpublished research
    will be presented (web-based, abroad or in the
    US)
  • Meetings where unpublished research will be
    discussed (web-based, abroad, or in the US)
  • Teaching foreign collaborators how to use items
    in research (defense service)
  • Transfers of research equipment abroad

18
No License Requirements for Dissemination of
Information IF
  • An exemption/exclusion applies
  • Public domain (ITAR)/ Publicly available (EAR)
  • Educational Exemption (ITAR, EAR)
  • Fundamental Research Exemption (ITAR, EAR)
  • Bona fide/full time Employment Exclusion (ITAR
    only)

19
Public Domain/Publicly Available
  • ITAR definition of public domain information
    which is published and generally accessible to
    the public through (among other things)
    fundamental research
  • EAR publicly available technology and software
    is outside the scope of the controls

20
Exclusion Inapplicable
  • To equipment or encrypted software
  • If there is a reason to believe the information
    will be used for Weapons of Mass Destruction
    (WMD)
  • Where the US government has imposed access and
    dissemination controls as a condition of funding
    (ITAR)

21
Educational Instruction Exemption
  • Generally, a license is not needed for
    classroom/lab teaching to foreign nationals in US
    Universities
  • When sharing information concerning general
    scientific, mathematical, or engineering
    principles commonly taught in universities or
    information in the public domain with foreign
    nationals (EAR)
  • ITAR specifically removes information concerning
    general scientific, mathematical, or engineering
    principles commonly taught in schools, colleges
    and universities or information in the public
    domain from its definition of technical data
  • Students in degree programs, using controlled
    equipment to conduct research need to be
    registered for a research credit class

22
Fundamental Research Exemption
  • EAR 15 CFR 734.8
  • Basic and applied research in science and
    engineering, where the resulting information is
    ordinarily published and shared broadly within
    the scientific community
  • Distinguished from proprietary research and
    industrial development, the results of which are
    ordinarily restricted for proprietary reasons or
    national security reasons

23
Fundamental Research Exemption
  • ITAR 22 CFR 120.11
  • Public domain information which is published
    and which is generally accessible to the public
  • Through fundamental research basic and applied
    research in science and engineering at accredited
    institutions of higher education in the US where
    the resulting information is ordinarily published
    and shared broadly within the scientific community

24
Common Elements of FRE ITAR/EAR
  • Exclude from export controls the disclosure of
    information resulting from fundamental research
    to foreign nationals
  • Exclusion is lost when university accepts
    restrictions on the publication of results
    restrictions on foreign national participation in
    research
  • Exclusion is not applicable to a sponsors
    existing proprietary information
  • Applies only to the transfer/disclosure of
    information (not to physical objects or defense
    services)
  • Applies only to disclosures in the US at
    accredited institutions of higher learning

25
The Fundamental Research Exemption is Destroyed
(EAR ITAR) When
  • The University accepts ANY contract clause that
  • Forbids the participation of foreign nationals
  • Gives the sponsor the right to disallow
    publications resulting from the research or
  • Otherwise functions to restrict participation in
    research and/or access to and disclosure of
    research results

26
FRE EAR and ITAR Compared
  • ITAR applies to information which is
    published and generally accessible/available to
    the public
  • EAR applies to information which is publicly
    available

27
FRE EAR and ITAR Compared
  • EAR Exclusion is not lost where university
    accepts temporary publication delay for
    prepublication review for proprietary/patent
    purposes
  • ITAR does not contain this language, so there
    is ambiguity about whether the safe haven is
    available

28
FRE EAR and ITAR Compared
  • EAR exclusion is not lost in a federally-funded
    project where university accepts specific
    national security controls, so long as controls
    are not violated in exporting the information
  • ITAR exclusion is lost in federally funded
    projects where such restrictions are accepted

29
Fundamental Research Exemption Violation
  • Side deals between a PI and Sponsor effectively
    destroy the Fundamental Research Exemption and
    also violate University policy. See University
    Operations Manual, II-27.2, Principles Governing
    Restricted-Access Research

30
University Strategy
  • Protect the fundamental research exemption by
    eliminating contractual clauses that destroy our
    ability to claim the exemption in the first place.

31
Employment Exemption
  • A license is not required when sharing controlled
    technical data with a foreign national who
  • Is not a national of an embargoed country
  • Is a full-time bona fide U of Iowa employee
  • Has a permanent address in the U.S. while
    employed at the U of Iowa and
  • Is advised IN WRITING not to share covered
    technical data with any other foreign nationals
    without government approval.

32
ITAR Employee Exemption Problems
  • Visa restrictions may require holder to maintain
    a foreign residence
  • Researcher may not have full-time employee status
    (ie students and some post-docs)

33
Providing Services to Foreign Nationals
  • ITAR and EAR prohibit assisting and training
    foreign nationals anywhere with designing,
    developing, using, testing, etc. controlled
    equipment without a license from Commerce or
    State
  • Example Fermenters that have a capacity of at
    least 20 liters

34
Export Controlled Equipment NO Exclusions
  • While there are no clear exclusions or safe
    harbors from the requirement to obtain a license
    for foreign nationals to use controlled
    equipment,
  • The University believes the Education Exemption
    applies if the foreign national student uses the
    equipment as part of a program of instruction

35
Providing Services Under OFAC
  • OFAC prohibits providing services to countries
    subject to U.S. sanction programs, boycotts,
    etc., without a license
  • Providing Services includes
  • Conducting surveys and interviews in boycotted
    countries
  • Providing marketing, business, editing services
    to persons in boycotted countries

36
Providing Services Continued
  • Creating new information materials at the request
    of persons in a boycotted country
  • Engaging the services of persons in a boycotted
    country to develop new information materials
  • Working directly or indirectly with persons in a
    boycotted country to import into or export from
    the US publication services, INCLUDING editing
    services
  • Web-based conferences and presentations

37
Countries under Boycotts
  • Recent Examples The Balkans, Cuba, Iran, Iraq,
    Libya, Liberia, Sudan, Syria, North Korea
  • For a full, up to date listing, visit the OFAC
    website
  • http//www.treas.gov/offices/eotffc/ofac/sanction
    s/index.html

38
License Required to Ship Controlled Equipment out
of the US - ITAR
  • A license is required to ship ITAR controlled
    equipment to ANY foreign country
  • There are very few exclusions or exceptions
  • It can take months to obtain a license from State
  • Please notify DSP as early as possible

39
Shipping Equipment Continued - EAR
  • A license may be required to ship equipment out
    of the US under the EAR depending on whether the
    equipment is controlled, where it is being sent,
    and whether an exception applies.
  • NOTE A license may be required to ship software
    out of the US!
  • The process to classify equipment under the EAR
    is tedious, detailed and very time consuming.
    Contact DSP early!

40
Shipping Equipment Continued
  • There is a presumption under OFAC laws that any
    and all equipment shipments and service
    provisions to countries subject to US
    sanctions/boycotts or persons in those countries
    is ILLEGAL
  • Examples of currently embargoed countries
    Balkans, Burma, Cuba, Iran, Iraq, Libya, Liberia,
    Sudan, Syria, Zimbabwe

41
Laptop Exception
  • Faculty who want to take their laptops out of the
    country to use in a university project that
    qualifies as fundamental research may be able to
    do so under the license exception for temporary
    export (TMP) IF the laptop meets the requirement
    for tools of trade and is under the control of
    the UIowa faculty member (15 CFR Part 740.9)
  • This exception does NOT apply to embargoed
    countries

42
Administrative Penalties for EAR and ITAR
Noncompliance
  • Termination of export privileges under EAR and
    ITAR
  • Suspension and/or debarment from government
    contracting (EAR and ITAR)
  • Voluntary disclosures of violations serve as a
    mitigating factor in determining penalties

43
Penalties for EAR Violations
  • Criminal for Willful Violations
  • Up to 1 Million for the University or company
  • Up to 250K per violation for individuals and/or
    up to 10 years in prison
  • Civil
  • Up to 12k per violation for individuals and the
    University or company

44
Penalties for ITAR Violations
  • Criminal Willful Violations
  • Up to 1 Million for the University or Company
  • Up to 1 Million per violation for individuals
    and/or up to 10 years in prison
  • Civil Violations
  • Up to 500k per violation for individuals and the
    University or company

45
Penalties for OFAC Violations
  • Criminal Willful Violations
  • Fine of no more than 1 M for companies
  • Fine of no more than 100k for individuals
    (including corporate officers) and/or 10 years in
    prison
  • Civil Penalties
  • Fine of up to 55k for each violation by any
    person

46
Proposal Stage Red Flags
  • Does the Project involve
  • Shipping equipment to a foreign country?
  • Collaborating with foreign colleagues in foreign
    countries?
  • Training foreign nationals to use equipment?
  • Working with a country subject to a US boycott?
  • Is the RFP marked Export Controlled?
  • Is the Sponsor demanding pre-approval rights over
    publications or the participation of foreign
    national students?

47
IF YES
  • The U of Iowa must make a determination as to
    possible license requirements Contact Lisa
    Leff/DSP
  • Note 1 If a license is needed, the application
    takes a great deal of time and effort from both
    the faculty member and DSP and can be in process
    for months
  • Note 2 These regulations apply to ALL
    activities, not just sponsored projects

48
REMEMBER
  • KEEP IT EXEMPT!
  • -NO restricted publication clauses
  • -NO side deals
  • -NO restrictions on foreign national
    participation
  • CONSIDER THE IMPACT IF YOUR RESEARCH INVOLVES
  • AN EMBARGOED COUNTRY
  • CONTACT DSP AS SOON AS AN EQUIPMENT ISSUE ARISES
  • Questions?
  • Lisa Leff at 5-2120
  • Additional U of Iowa Export Control Information
    can be found at
  • http//research.uiowa.edu/dsp/main/?getexport-con
    trols
  • These slides were developed with the assistance
    of Grainne Martin, General Counsels office and
    previously prepared material from MIT and NCURA
    presentations
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