Title: Export Controls: An Introduction
1Export Controls An Introduction
- Gene Stein
- Director, Sponsored Research Development
2What Are ITAR and EAR?
- ITAR International Traffic in Arms Regulations
- EAR Export Administration Regulations
These regulations apply to all of SDSUs
activities, not just sponsored projects.
3Why Do They Exist?
- The U.S. government wants to make sure that
strategically important technology, services, and
information dont get into the hands of foreign
nationals and foreign countries. Some of the
regulations have been around for decades, but
there is more concern since Sept. 11, 2001.
4Three Government Agencies Involved
- Department of State Controls defense articles
and services technical data most space-related
articles (ITAR) - Department of Commerce (Bureau of Industry and
Security) Controls dual-use itemsgoods and
technology with both civilian and military uses
(EAR) - Department of the Treasury Controls trade
embargoes and the Customs Service
5What if SDSU Doesnt Do Sensitive Defense Work?
- Were not building tanks or missiles. Why worry?
- Some research that faculty members do can be
defense-related or have a dual use
(toxins/micro-organisms, lasers, computer design) - If were going to engage in this work we may need
to get a license, which can take months and
6Why Must We Comply?
- Possible fines and imprisonment for violators
- Possible civil and criminal penalties for
individuals, SDSU, and SDSURF - Loss of export privileges
- Loss of research grants and contracts
- Bad publicity
7How Is Export Defined?
- An actual shipment of items (equipment, data,
software, information) subject to ITAR or EAR out
of the U.S. - Performing technical assistance for, or on behalf
of, a foreign person or company, whether in the
U.S. or abroad - Re-exporting or shipping U.S.-origin goods or
technology from one foreign country to another
foreign country.
8Defining Export (contd)
- Releasing (including oral or visual disclosure)
technical data or technology to a foreign person,
whether in the U.S. (deemed export) or abroad.
Important If a foreign student sees or
discusses sensitive data in a faculty members
lab, it is considered a deemed export and is the
same as sending the data or technology to that
students home country.
9What Is A Deemed Export?
- In the absence of an exclusion, a license must be
obtained from the U.S. Dept of State or Commerce
to disclose controlled technical information to a
foreign person in the U.S. or abroad. - Methods of disclosure include Fax telephone
conversations e-mail communications computer
data disclosure face-to-face discussion
training sessions tours with visual inspection.
10Who Is A Foreign Person?
- A foreign person is everyone other than a
- U.S. citizen
- permanent resident alien
- legal immigrant with a green card or
- protected individual (refugee/someone with
asylum) - A business that is not incorporated in the U.S.
is a considered a foreign person.
11Foreign Person Problem/Solution
Problem How can a university check the
nationality of every student who goes into a lab?
Its not realistic, impairs education, and
restricts the free flow of information. Solution?
Say that the visas and scrutiny students got
before coming to the U.S. are sufficient.
12Categories of Items under ITAR
- ITAR covers military items (listed IXXI) such
as - Firearms, assault weapons, shotguns
- Guns and armament
- Ammunition/ordnance
- Guided missiles, bombs, torpedoes
- (It goes down to Item XXI.)
- Item XIV is Toxicological, Biological, Chemicals
- Aside from Item XIV, this wont affect SDSU.
13EAR (Military Civilian Use)
- 0. Nuclear materials, facilities, equipment
- 1. Chemicals, microorganisms, toxins
- 2. Materials processing
- 3. Electronics design, development, production
- 4. Computers
- 5. Telecomm. and information security
- 6. Sensors and lasers
- 7. Navigation and avionics
- 8. Marine
- 9. Propulsion systems, space vehicles
- We MAY need a license on these
14Implications of Export Laws
- There will be no effect on most university
research, at SDSU and elsewhere. But there will
be a potential impact on
- Ability of foreign researchers or students to
participate in research involving controlled
technology - SDSUs ability to provide some training (mainly
in controlled equip.) to foreign persons - Ability to send controlled equipment to foreign
countries
15Exemptions (Some Good News)
- A license is not required to disseminate
information if one of three exemptions applies - Fundamental Research Exemption (ITAR, EAR)
- Employment Exemption (ITAR only)
- Education Exemption (ITAR, EAR)
16Fundamental Research Exemption
- This is important
- No license is required to disclose to
foreign persons information that is in the public
domain, meaning it is published and is generally
accessible or available to the public through
books, news, libraries open to the public,
unrestricted subscriptions, conferences, etc.
17FRE (contd.)
- Even more importantly for Universities
- No license is required when the work is
fundamental research. - Fundamental Research is basic and applied
research in science and engineering at
universities where the resulting information is
ordinarily published and shared broadly in the
scientific community.
18FRE (contd.)
- Rough translation for implementation
- If a faculty member is allowed to publish his/her
research findings in the open literature, the
Fundamental Research Exemption applies and a
license is not needed. - If publishing restrictions are accepted, and/or
foreigners are not allowed to participate or see
the research, it is not fundamental research.
These restrictions destroy the exemption.
19National Security Decision Directive-189
- Reagan Administration issued in 1985
- It establishes the following policies
- To the maximum extent possible, the products of
fundamental research should remain unrestricted - Where national security requires control of
federally-funded fundamental research in science
and engineering at universities and labs, control
should be through security classification
20NSDD-189 (contd.)
- No restrictions may be placed upon the conduct
or reporting of federally-funded fundamental
research that has not received security
classification, except as provided in applicable
statutes. - In 2001, former National Security Advisor
Condoleeza Rice reaffirmed NSDD-189.
Problem Many federal contract officials dont
know about NSDD-189.
21More on FRE
The FRE is destroyed if SDSU accepts any contract
clause that
- Forbids participation by foreign persons
- Gives the sponsor the right to approve
publications resulting from the research or - Restricts participation in research and/or access
to, and disclosure of, research results.
22FRE (contd.)
- A side deal between the PI and sponsor (not to
publish) can destroy the FRE and may also violate
university policies. - NOTE Sponsors are allowed to request temporary
delays in publication (30-90 days) to allow time
to review for patentable or confidential
information without destroying the FRE.
23FRE (contd)
- If the sponsor requires the PI to delete certain
information, or if the PI is required to get the
sponsors consent before publishing, the FRE is
destroyed. - NOTE Accepting a restriction on one project
does not destroy the FRE on others. Even a
restriction on one part of a project doesnt
destroy the FRE on the total project.
24Strategies
- Protect the FRE by negotiating the elimination of
all contract clauses or language that restrict
university control over publications, or limit
access to, or participation by, foreigners in
research. - Do not accept any research projects that restrict
the ability to publish or share information with
everyone.
25Strategies (contd.)
On federal projects or on subcontracts from
industry, do not accept these clauses
- DoD Clause 252.204-7000 (Disclosure of
Information) - FAR Clause 52.227-17 (Rights in Data, Special
Works) - Army Clause 52.005-4401 (Release of Information)
Also, AR 530-1 and AR 360-1 - DFARS Air Force Clause 5352.227-9000 (Export
Controlled Data Restrictions) - Army Corps of Engineers, 52.000-0-4017
26Strategies (contd.)
- With industry, it may be necessary to see the
companys prime contract to make sure about
flow-down clauses - With industry, we may only be able to accept a
portion of the workscope, so that the
export-controlled part is done by the company,
with SDSUs part being fully publishable
27Strategies (contd.)
- If SDSURF and SDSU decide to accept an award that
requires the PI to receive export-controlled
information, we must consider whether the
information is
- Central to the project (probably making the whole
project export-controlled) or - Tangential, in that the PI needs the information
but others on the project dont.
28Strategies (contd.)
- If we decide the information is tangential
- Execute a nondisclosure agreement
- Require that the information be clearly marked
export controlled - Work with the PI to make sure he/she safeguards
the information - Ask PI sign a statement accepting responsibility
for protecting the information - Why?
29Penalties
- Liability is personal as well as institutional
- Penalties are severe
- Fines up to 1 million
- Significant prison time
OPINION Except in rare and unusual cases, SDSU
should not accept awards where export-controlled
information is central to the project.
30II. Employment Exemption
- No license is required to share technical
information with a foreign person who - Is a full-time, bona fide SDSU employee
- Has a permanent US address while employed,
provided that he/she is - (a) not a national of certain countries
- (b) is advised in writing not to share controlled
information with other foreign persons
31Employment Exemption (contd.)
- The employment exemption does not apply to
students. They are not employees. - This means that certain foreign students cannot
have access to, or participate in, research
involving controlled information or technology. - How can a PI know what country every student is
from? PIs wont check visas of their students - This is another reason not to accept awards with
export-controlled material, information, or data
32III. Education Exemption
- Another exemption.
- If the controlled information concerns general
scientific, mathematical, or engineering
principles commonly taught at universities, or is
information in the public domain, no license is
required to share it with foreign persons - Foreign students using controlled equipment to
conduct research should be registered for a
credit-bearing research class.
33Equipment Exemption?
- ITAR and EAR prohibit training foreign persons in
the design, development, use, or testing of
controlled equipment without a license. BUT - Most universities rely on
- the FRE because equipment is part of doing
research or - the education exemption when instruction requires
use of equipment - and faculty wont check students visas.
34Laptop Exemption
- Excluding countries under sanction (Iran, Iraq,
Myanmar, Cuba, Libya, Liberia, Syria, North
Korea), faculty can take a laptop out of the U.S.
to use on a project that qualifies as fundamental
research. Theres a license exemption for
temporary export (TMP) if the laptop can be
considered a tool of the trade and the PI
retains control of it at all times. Microsofts
Web site tells which of their software is
controlled and needs a license.
35It Gets Confusing Example I
- SDSU faculty wants to take GPS systems to France
to train colleagues. - GPS is covered under EAR, category 7 (Navigation
and Avionics). Maybe also under ITAR. - Is a license needed? From which agency? PI and
SDSU need to figure it out. - A license may be needed. Some colleagues may not
be French. Are some on list of denied people?
36Example II
- Physics Dept. wants to hire a foreign national as
a tech assistant. Is an export license required? - Maybe yes. If a foreign national is hired in a
technical, non-clerical position, his/her hire is
considered a deemed export. Transferring
technology or data to the person is the same as
transferring the technology to the persons home
country. - If an export license is not required because of
the persons nationality, he/she should sign a
document agreeing to comply with US export
regulations. - Licenses can take up to a year to obtain.
37What Can Hurt Us?
- Research sponsored by corporations
- Is the corporation in violation?
- Is our research subcontract part of a larger
agreement that contains export controls? - Also.
- Increasing federal scrutiny of university
research and deemed exports - Troublesome FAR clauses restricting publication
- Material transfer agreements
- Interpreting national security vs. openness
38What Do We Have to Do?
- Educate SDSURF and key SDSU administrators
(including deans and chairs) about export control
issues and penalties - Create an export control awareness program for
faculty and other researchers - Designate someone in Graduate Division and/or
SDSURF to be point-person for information on
export control issues - Be sure questions on routing form concerning
export control are answered by PI
39What Do We Have to Do? (contd)
- Train SDSURF staff to look for export control
issues in the contract review process. Does an
exemption apply? Are there hidden publishing
restrictions, etc? - Select a person (VP for Research?) who has
authority to decide whether SDSU will accept
projects that require a license. - Option Decide that research projects without one
of the exemptions (esp. FRE) will not be accepted.