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U.S. Dual-Use Export Controls for the Aerospace Industry

Dual-Use Export Controls: An Framework. What are you exporting?Where are you exporting?Who will receive your item?For what will your item be used?. Three Main Regulatory Agencies. U.S. Department of CommerceControls

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U.S. Dual-Use Export Controls for the Aerospace Industry

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    1. Le Bourget June 17, 2009 U.S. Dual-Use Export Controls for the Aerospace Industry Gene Christiansen Kelly Gardner U.S. Department of Commerce Bureau of Industry and Security

    2. Dual-Use Export Controls: An Framework What are you exporting? Where are you exporting? Who will receive your item? For what will your item be used?

    3. Three Main Regulatory Agencies U.S. Department of Commerce Controls “dual-use” items U.S. Department of State Controls “defense articles” and “defense services” U.S. Department of the Treasury Embargoes and assets controls

    4. Defense Articles and Services and Dual-use Items “Dual-use” items are items that may have both commercial and military applications Not primarily for weapons or military related use “Defense articles” and “defense services” are items specifically designed, developed, configured, modified or adapted for a military application

    5. Department of Commerce vs. Department of State Regulations U.S. Department of Commerce Export Administration Regulations (EAR) “Dual-use” items controlled under the EAR are described on the Commerce Control List (CCL) U.S. Department of State International Traffic in Arms Regulations (ITAR) “Defense articles” and “defense services” controlled under the ITAR are described on the United States Munitions List (USML)

    6. The Control Lists The items on the CCL and the USML are largely determined by the multilateral export control regimes: Australia Group (AG) Chemical and biological weapons Missile Technology Control Regime (MTCR) Unmanned delivery systems capable of delivering weapons of mass destruction Nuclear Suppliers Group (NSG) Nuclear weapons Wassenaar Arrangement (WA) Conventional arms and dual-use goods and technologies

    7. Establishing Licensing Jurisdiction: Why is This Important? Establishing licensing jurisdiction is the first step in determining the licensing requirements associated with your item Jurisdictional uncertainty occurs frequently in the aerospace industry, primarily due to the military heritage of aircraft The Department of Commerce (EAR) and the Department of State (ITAR) have differing licensing requirements The exporter is responsible for obtaining licenses, when required, from the appropriate agency

    8. Commodity Jurisdiction Request Used to obtain an official government determination when there is uncertainty as to whether an item is subject to the licensing jurisdiction of the Department of Commerce or the Department of State Commodity Jurisdiction (CJ) Requests are submitted directly to the Department of State CJ Requests are evaluated by the Departments of Commerce, Defense and State The Department of State makes the final determination Information on submitting a CJ request may be found at: http://www.pmddtc.state.gov/commodity_jurisdiction/index.html

    9. Le Bourget June 17, 2009 What Are You Exporting? EAR Principles

    10. Some Important Terms The EAR controls “exports”, “transfers”, and “reexports” of dual-use “items” An “export” is an actual shipment or transmission of items outside the United States, or a release of technology or source code to a foreign national in the U.S. or abroad A “transfer” is a shipment, transmission, or release of items subject to the EAR from one party to another party within a single foreign country A “reexport” is an actual shipment or transmission of items subject to the EAR from one foreign country to another foreign country “Items” are commodities, software, and technology

    11. Items Subject to the EAR All items in the U.S., unless subject to the exclusive jurisdiction of another agency Foreign-origin items in the U.S. are subject to the EAR for export from the U.S. only All U.S.-origin items, wherever located, unless subject to the exclusive jurisdiction of another agency or publicly available U.S.-origin items remain subject to the EAR throughout the life of the item, until it is incorporated into a higher order assembly Certain foreign-made items incorporating greater than the de minimis amount of controlled U.S. content Certain foreign-made direct products of U.S.-origin technology Certain activities of U.S. persons

    12. Exports vs. Reexports The same rules apply to exports, transfers, and reexports, of U.S.-origin items Same licensing requirements (except for certain sanctioned/embargoed countries) Same License Exceptions, plus Additional Permissive Reexports (APR) Same license application For foreign-produced items, these rules extend to Items having more than the de minimis amount of controlled U.S. content Certain items that are the direct products of U.S.-origin technology BIS published guidance on reexports: http://www.bis.doc.gov/licensing/reexportguidance.htm

    13. Le Bourget June 17, 2009 What Are You Exporting? Classifying Your Item on the CCL

    14. Classifying Your Item on the CCL The U.S. has adopted the EU Control List Therefore, in most cases, multilaterally-controlled items are classified in the same way Entries differ only in format: 9E3 becomes 9E003 The U.S. also maintains some unilateral controls, which are incorporated into the CCL

    15. Classifying Your Item on the CCL The proper classification is essential to determining any licensing requirements associated with your item Classification options: Classify the item on your own: http://www.bis.doc.gov/licensing/do_i_needaneccn.html Check with the item’s manufacturer or exporter Submit a classification request to have BIS determine the classification for you: http://www.bis.doc.gov/licensing/bis_eccn.pdf

    16. Classifying Your Item on the CCL Entries on the CCL are alpha-numeric codes called Export Control Classification Numbers (ECCNs) Each ECCN on the CCL provides: A description of the technical parameters of a particular item or type of item The control(s) associated with the item Any License Exceptions for which the item is eligible

    17. Classifying Your Item on the CCL If your item does not fit within the technical parameters of any ECCN on the CCL, it is designated as “EAR99” EAR99 items generally consist of low-technology consumer goods and do not require a license in most situations You must still consider the destination, the end-user, and the end-use in order to rule out a license requirementYou must still consider the destination, the end-user, and the end-use in order to rule out a license requirement

    18. Le Bourget June 17, 2009 Where Are You Exporting? Determining License Requirements Based on Item and Destination

    19. Commerce License Requirements Based on Reason(s) for Control All items on the CCL are controlled for specific reasons (e.g., NS, MT, CB, NP) Each ECCN indicates the reason(s) the item is controlled With the control reason(s) and the country of the consignee, the Commerce Country Chart fixes the licensing requirement If there is no license requirement based on the Commerce Country Chart, you must still consider the destination, the end-user, and the end-use in order to rule out a license requirement This is true for items classified on the CCL (i.e., items having an ECCN), and for items designated as EAR99

    20. Reasons for Control Regime/Convention-based CB = Chemical & Biological Weapons CW = Chemical Weapons Convention EI = Encryption Item FC = Firearms Convention NP = Nuclear Nonproliferation NS = National Security MT = Missile Technology UN = United Nations Unilateral AT = Anti-Terrorism CC = Crime Control RS = Regional Stability

    21. Commerce Country Chart Supplement No. 1 to EAR Part 738 http://www.access.gpo.gov/bis/ear/pdf/738spir.pdf

    22. License Exceptions EAR Part 740 Authorization to export or reexport, under stated conditions, items subject to the EAR that would otherwise require a license Two types of License Exceptions: List driven Transaction driven http://www.access.gpo.gov/bis/ear/pdf/740.pdf

    23. License Exceptions with Aerospace Applications List Driven GBS - Shipments to Country Group B countries TSR - Technology and software under restriction Transaction Driven TMP - Temporary imports, exports and re-exports RPL - Servicing and replacement of parts and equipment AVS - Aircraft and vessels APR - Additional permissive re-exports

    24. Country Considerations The EAR maintains strict licensing requirements for the following sanctioned/embargoed countries: Cuba Iran North Korea Sudan Syria http://www.bis.doc.gov/policiesandregulations/regionalconsiderations.htm

    25. U.S. Department of the Treasury Office of Foreign Assets Control The U.S. Department of the Treasury’s Office of Foreign Asset Controls (OFAC) administers and enforces economic and trade sanctions against targeted: Foreign governments Individuals (e.g., terrorists, narcotics traffickers) Entities (e.g., charities linked to terrorist groups, drug front companies) Practices (e.g., WMD proliferation, trade in non-certified rough diamonds) In certain instances, BIS and OFAC controls overlap

    26. Licensing Authorities for Reexports to Certain Countries Reexports of CCL items to Iran: OFAC Reexports of EAR99 items to Iran: by a non-U.S. persons BIS by a U.S. Person OFAC Reexports of all items to Sudan: OFAC Reexports of CCL items to Sudan: BIS & OFAC Reexports of all items to Cuba: BIS Reexports of all items to Syria: BIS Reexports of all items to North Korea: BIS

    27. Le Bourget June 17, 2009 Who Will Receive Your Item? End-User Based License Requirements

    28. Who Will Receive Your Item? End-User Controls Certain individuals and organizations are prohibited from receiving U.S. exports, and others may only receive goods if they have been licensed This includes items that would not normally require a license based on the ECCN and Commerce Country Chart or based on an EAR99 designation

    29. Who Will Receive Your Item? End-User Controls The U.S. Government publishes various end-user lists, which identify certain individuals and organizations that Are prohibited from receiving U.S. exports; May only receive goods if they have been licensed; or Constitute a “Red Flag” that should be resolved prior to carrying out a transaction

    30. End-User Lists Denied Persons List http://www.bis.doc.gov/dpl/thedeniallist.asp Entity List http://www.access.gpo.gov/bis/ear/pdf/744spir.pdf Unverified List http://www.bis.doc.gov/enforcement/unverifiedlist/unverified_parties.html Specially Designated Nationals List http://www.treas.gov/offices/enforcement/ofac/sdn/t11sdn.pdf Nonproliferation Sanctions http://www.state.gov/t/isn/c15231.htm Debarred List http://www.pmddtc.state.gov/compliance/debar.html

    31. Le Bourget June 17, 2009 For What Will Your Item be Used? End-Use Based License Requirements

    32. For What Will Your Item be Used? End-Use Controls In addition to the “list based” and “end-user” controls, BIS implements a series of end-use controls Some end-uses are prohibited, while others may require a license

    33. End-Use Controls EAR Part 744 Restrictions on certain nuclear end-uses Restrictions on certain rocket systems and unmanned air vehicles end-uses Restrictions on certain chemical and biological weapons end-uses Restrictions on certain maritime nuclear propulsion end-uses Restrictions on certain exports to and for the use of certain foreign vessels or aircraft Restrictions on certain exports and reexports of general purpose microprocessors for “military end-uses” and to “military end-users” Restrictions on certain “military end-uses” in the People's Republic of China (PRC) http://www.access.gpo.gov/bis/ear/pdf/744.pdf

    34. Restrictions on Certain Military End-Uses in the PRC A license is required to export, reexport, or transfer items controlled under 31 ECCNS when the items are intended for a “military end-use” in the PRC “Military end-use” means: Incorporation into a military item described on the USML, the Wassenaar Munitions List, or items listed under ECCNs ending in “A018" on the CCL of the EAR For the “use”, "development", or “production” of military items described on the USML or the Wassenaar Munitions List, or items listed under ECCNs ending in “A018" on the CCL “Deployment” of items classified under ECCN 9A991 (certain aircraft) http://www.access.gpo.gov/bis/ear/pdf/744.pdf

    35. Le Bourget June 17, 2009 The BIS Licensing Process

    36. Applying for a License Electronic application via the BIS website: Simplified Network Application Process Redesign (SNAP-R) SNAP-R gives you the ability to: Submit export and re-export applications, and commodity classification requests, via the Internet in a secure environment Receive same day acknowledgment of your submission Obtain online validations (e.g., electronic facsimile of export license) http://www.bis.doc.gov/snap/index.htm

    37. The License Application On the license application Define the item(s) in terms of the technical parameter(s) of the ECCN(s) Identify the specific end-use(s) Provide any know information about the ultimate consignee/end-user(s) Provide information on any internal controls in place to mitigate the risk of diversion or unauthorized end-use All information provided in support of a license application is restricted to U.S. Government reviewers only

    38. Interagency Review Ensures that the U.S. Government decision on a license application draws on the breadth and scope of the government’s expertise Reviewing agencies have common national security and foreign policy interests, but unique perspectives Reviewing Agencies: Department of Commerce Technical issues Economic issues Department of Defense National defense issues – Brings the technical expertise of the Services focused on an individual export/reexport Department of Energy Nuclear issues Department of State Foreign policy issues

    39. License Review Period Department of Commerce must review the application and refer it to the reviewing agencies within 9 days of receipt Reviewing agencies have 30 days to respond with recommendations If the reviewing agencies concur on the disposition of the license application, it will be: Approved Approved with conditions Denied

    40. License Denials Notice of intent to deny letter sent to the applicant Applicant has 20 days to respond to the denial notice with additional information or arguments If the applicant responds, the application will be reconsidered with the new information received from the applicant If no response is received from the applicant within 20 days, the license denial is issued

    41. Your Responsibilities as a License Holder Understand and comply with any license conditions You will be given a chance to review and agree to all proposed license conditions before the license is approved/issued Some license conditions should be shared with/agreed to by the consignee/end-user(s) Be mindful of the license validity period Usually two years, or for the quantity of the items approved, whichever comes first Decrement the license as exports are made, and maintain the records for five years from the last shipment

    42. Le Bourget June 17, 2009 U.S. Dual-Use Export Controls for the Aerospace Industry Wrap-Up

    43. Dual-Use Export Controls: A Summary What are you exporting? Establish licensing jurisdiction for your item Determine the proper classification for your item Where are you exporting? The Commerce Country Chart fixes licensing requirements Who will receive your item? Prohibited/restricted end-user lists What will your item be used for? End-use controls Applying for a license SNAP-R

    44. BIS Export Control Initiatives BIS has developed a regularized process for review of the items controlled on the CCL http://www.bis.doc.gov/policiesandregulations/cclreviewprocess.html BIS has developed and published the basis of CCL controls and applicable EAR references http://www.bis.doc.gov/policiesandregulations/basis_of_ccl_controls.htm To ensure that export controls are constantly reassessed so that the most sensitive items are controlled… To provide a greater understanding of the multilaterally-based and unilaterally-based Reasons for Control…To ensure that export controls are constantly reassessed so that the most sensitive items are controlled… To provide a greater understanding of the multilaterally-based and unilaterally-based Reasons for Control…

    45. BIS Export Control Initiatives BIS has developed a webpage where sources of publicly available information on Commodity Classifications can be found http://www.bis.doc.gov/commodityclassificationpage.htm BIS has developed an “Online Training Room” that includes both instructional videos narrated by BIS staff and transcripts http://www.bis.doc.gov/seminarsandtraining/seminar-training.htm To enhance procedural transparency in the licensing process and to help exporters comply with U.S. export and reexport control laws…To enhance procedural transparency in the licensing process and to help exporters comply with U.S. export and reexport control laws…

    46. How to Obtain More Information BIS Website: www.bis.doc.gov State DDTC Website: www.pmddtc.state.gov Treasury OFAC Website: www.treasury.gov/offices/enforcement/ofac

    47. How to Obtain More Information Gene Christiansen Email: gchristi@bis.doc.gov Phone: +1 202 482 2984 Fax: +1 202 482 3345 Kelly Gardner Email: kgardner@bis.doc.gov Phone: +1 202 482 0102 Fax: +1 202 482 3345

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