Title: Export Controls 101
1Export Controls 101
- Training modified from the Michigan State
University document U.S. Export Controls and MSU
Research Technology Control Plan and Export
Controls Ignorance is not a Defense by Susan
Wyatt Sedwick.
Version September 28, 2005
2What is an export?
- Exports are
- the shipment or transfer of goods or items
(including electronic or digital equipment)
outside the U.S. or - the release or sharing of restricted technology
or data orally or in writing with foreign
nationals inside or outside the U.S.
3Deemed Exports
- The term export can mean not only technology
leaving the shores of the United States
(including transfer to a U.S. citizen abroad) but
also transmitting the technology to a foreign
national, an individual other than a U.S. citizen
or permanent resident, within the United States.
Such transmission is considered a deemed
export.
The term foreign national means a person
residing in the U.S. who is not a lawful
permanent resident. This term also refers to and
includes any foreign corporation, business
association, partnership, trust, society, or any
other group not incorporated or organized to do
business in the United States, and any
international organization, foreign government,
or diplomatic entity.
4What are export controls?
- Export controls are federal laws that regulate
the export of sensitive technologies, equipment,
software, biological agents, and related data and
services to anyone, including U.S. citizens, or
to foreign nationals or representatives of a
foreign entity on U.S. soil for reasons of
national security and protection of trade. - These laws require that licenses be obtained for
both export and dissemination to some non-U.S.
citizens of certain items (defense articles and
restricted technology with military applications).
5Why is it important to be aware of these laws?
- Violations of trade sanctions and export controls
can result in criminal penalties - individual and/or institutional fines (up to 1M
per violation) and - individual incarceration (up to 10 years per
violation).
6U.S. Agency Enforcement
- Department of Commerce enforces the Export
Administration Regulations (EAR) - Department of State enforces the International
Traffic in Arms Regulations (ITAR) - Department of Treasury, Office of Foreign Assets
Control (OFAC) restricts exports and imports
through economic sanctions against certain
countries
7Who at MSU handles export controls?
- Cordell Overby, Senior Assistant Vice President
for Regulatory Affairs - Contact Information
- Phone (517) 432-4500
- Email overby_at_msu.edu
- Address 204 Olds Hall, East Lansing, MI
8Applicability
- These laws apply to all research activities
whether or not there is a specific citation to
the regulations in the grant or contract award
document governing the project. - These laws also apply to export-controlled
information or technology shared with researchers
by others from government, industry, or other
universities.
9Applicability
- The majority of university research efforts are
not restricted by export regulations. However,
export control may apply when one or more of the
following concerns pertain to the research
project - It has actual or potential military applications
- The destination country, organization, or
individual is restricted by federal law - The declared or suspected end use or the end user
of the export compromises national security - Economic protection issues are associated with
the destination country
10What is subject to Export Administration
Regulations (EAR)?
- Transfer and export (including deemed export) of
so-called dual use technologies relating to
civilian applications listed on the Commerce
Control List (CCL). - Examples
- Global positioning systems
- Cameras
- Optics
11Commerce Control List (EAR)
- Ten Specific Categories
- Nuclear materials, facilities, equipment research
- Chemicals and toxins
- Materials processing, i.e., making plastics,
metals - Electronics development
- Computer development and programs
- Telecommunications
- Information security (encryption)
- Sensors and lasers
- Navigation and avionics
- Propulsion systems and space vehicles
12What is subject to International Traffic in Arms
Regulations (ITAR)?
- Transfer and export (including deemed export) of
technologies relating to military applications
(including satellite technologies) listed on the
U.S. Munitions List. - Examples
- Electronic equipment, systems, or software
designed for military, security, and intelligence
applications
- Technical data related to the manufacture or
production of defense articles - Classified information security systems,
cryptographic devices, decryption systems, and
analog and coding techniques.
13U.S. Munitions List 22 CFR 121
- Firearms
- Artillery projections
- Ammunition
- Launch vehicles, guided missiles, ballistic
missiles, rockets, torpedoes, bombs mines - Explosives, propellants incendiary agents
- Vessels of war special naval equipment
- Tanks military vehicles
- Aircraft assoc. equipment
- Military training equipment
- Protective personnel equipment
- Military electronics
- Fire control, range finder, optical guidance
control equipment - Auxiliary military equipment
- Toxicological agents equip. radiological
equip. - Spacecraft systems equipment
- Nuclear weapons design test equipment
- Submersible vessels, oceanographic associated
equipment - Misc. articles
14Export Administration Regulations (EAR)
International Traffic in Arms Regulations (ITAR)
- Export control laws specify countries and
individuals to which export licenses will be
denied and exports of defense items or services
are prohibited in their entirety. - Denied Persons List (EAR)
15Prohibited Exports and Sales to Certain Countries
- From 22 CFR 126.1
- It is the policy of the United States to deny
licenses, other approvals, exports and imports of
defense articles and defense services, destined
for or originating in certain countries. - This policy applies to Afghanistan, Armenia,
Azerbaijan, Belarus, Cuba, Iran, Iraq, Libya,
North Korea, Syria, Tajikistan, Ukraine, and
Vietnam. - This policy also applies to countries with
respect to which the United States maintains an
arms embargo (e.g. Burma, China, the Federal
Republic of Yugoslavia (Serbia and Montenegro),
Haiti, Liberia, Rwanda, Somalia, Sudan and Zaire)
or whenever an export would not otherwise be in
furtherance of world peace and the security and
foreign policy of the United States.
16More on Deemed Exports
- For an immigrant alien who possesses a green card
for permanent residence in the U.S. For the
purposes of export control regulations, such an
individual is a U.S. person and can be allowed
access to export controlled information without
an export license. - For an MSU employee who is an immigrant alien who
does not posses a green card for permanent
residence in the U.S. Only ITAR provides a
limited exemption to disclose technical data at
MSU to full-time foreign employees under specific
conditions. Contact Cordell Overby if this is the
case.
17Background
- In the early 1980s, the higher education research
community began discussing with federal officials
the conflict that export restrictions on academic
research activities created with the openness
that typically exists in universities.
Researchers were concerned that foreign faculty,
students, and scholars not be singled out for
restriction from their institutions educational
and research activities and that publication of
research results not be restricted. - The result of these discussions was the National
Security Decision Directive (NSDD 189) issued in
1985.
18National Security Decision Directive (NSDD 189)
- This directive clarified the definition of
fundamental research and stated that fundamental
research was not subject to the license
requirements of export control regulations. It
affirmed the long-standing policy of the U.S.
government and Department of Defense to not
restrict publication and public presentation of
unclassified, federally funded fundamental
research results.
19Fundamental Research
- Fundamental research is basic or applied research
in science or engineering at an accredited
institution of higher learning in the U.S. where
the resulting information is not restricted in
the form or content of its release to the public
and is ordinarily published and shared broadly in
the scientific community.
20Public Domain
- Information that is published and generally
accessible or available to the public through - Sales at newsstands or bookstores
- Subscriptions which are available without
restriction to any individual who desires to
obtain or purchase the published information - Second class mailing privileges granted by the
U.S. government - Libraries open to the public or from which the
public can obtain documents - Patents available at any patent office
- Unlimited distribution at conference, meeting,
seminar, trade show or exhibition - Publication in any form or media after approval
by the cognizant U.S. government department or
agency - Fundamental research
21Publication Fundamental Research
- Access to information must be free or available
for a fee that does not exceed the cost to
produce and distribute the material or hold the
conference (including a reasonable profit). - The fundamental research exemption does not
extend to the for-profit sector, which might try
to impose export controls on a university as a
subcontractor when the prime contractor is
required to accept the controls. - For EAR, published information is information
that has been, is about to be, or is ordinarily
published. - For ITAR, the requirement is that the information
has been published.
22Michigan State University
- As a public university, Michigan State University
is committed to the widest possible public
dissemination of scientific learning and research
results. This mission is reflected in the formal
policies of the university and in the operating
procedures of its laboratories. - Therefore, all information and data to be created
or used at MSU must fall under the definition of
fundamental research as set forth in NSDD 189.
23What actions destroy the fundamental research
qualification?
- University research will not be deemed to qualify
as fundamental research if - The university accepts any restrictions on the
publication of the information resulting from the
research, other than limited prepublication
reviews by research sponsors to prevent
inadvertent divulging of proprietary information
provided to the research by the sponsor or to
insure that publication will not compromise
patent rights of the sponsor or - The research is federally funded and specific
access and dissemination controls regarding the
resulting information have been accepted by the
university or the researcher.
24MSU Researchers
- If appropriate, researchers should be able to
explain how their project fits the definition of
fundamental research and therefore is not subject
to restriction.
25What does the Office of Foreign Assets Control
(OFAC) enforce?
- Economic sanctions against hostile targets,
including countries. - May prohibit travel, payment or providing
anything of value to the sanctioned country,
regardless of the fundamental research
qualification.
- The List of Sanctioned Countries includes (as of
8-05) - Balkans
- Burma (Myanmar)
- Cuba
- Iran
- Iraq
- Liberia
- Libya
- North Korea
- Sudan
- Syria
- Zimbabwe
26Questions Researchers Should Consider
- There are a number of questions that researchers
should consider regarding export controls.
27Questions Researchers Should Consider
- Does the contract or grant restrict publication
or presentation of research results? - If YES, further review is needed - contact the
Office of Regulatory Affairs.
The Office of Regulatory Affairs Phone (517)
432-4500 Fax (517) 353-2976 Office 204 Olds
Hall, East Lansing, MI 48824
28Questions Researchers Should Consider
- Does the contract or grant limit or prohibit
foreign nationals from performing work or
accessing research results? - If YES, further review is needed - contact the
Office of Regulatory Affairs.
The Office of Regulatory Affairs Phone (517)
432-4500 Fax (517) 353-2976 Office 204 Olds
Hall, East Lansing, MI 48824
29Questions Researchers Should Consider
- Does the contract or grant prohibit results or
deliverables from being disclosed or delivered to
any country or persons? - If YES, further review is needed - contact the
Office of Regulatory Affairs.
The Office of Regulatory Affairs Phone (517)
432-4500 Fax (517) 353-2976 Office 204 Olds
Hall, East Lansing, MI 48824
30Questions Researchers Should Consider
- Will any information used in the project be
obtained from a third party subject to
nondisclosure obligations? - If YES, further review is needed - contact the
Office of Regulatory Affairs.
The Office of Regulatory Affairs Phone (517)
432-4500 Fax (517) 353-2976 Office 204 Olds
Hall, East Lansing, MI 48824
31AND
- Is any equipment or encryption software required
to be delivered as part of the project? - If YES, is the equipment or software on an export
control list? - If YES, further review is needed contact the
Office of Regulatory Affairs.
The Office of Regulatory Affairs Phone (517)
432-4500 Fax (517) 353-2976 Office 204 Olds
Hall, East Lansing, MI 48824