![]() Munitions List under the Arms Export Control Act (AECA). The defense articles and services controlled by the Secretary of State and the Attorney General collectively comprise the U.S. ![]() The President has delegated the authority to control defense articles and services for purposes of permanent import to the Attorney General. Munitions List set forth in the International Traffic in Arms Regulations, its export and temporary import is regulated by the Department of State. If a defense article or service is controlled by the U.S. Finally, this part makes clear that compliance with the EAR does not relieve any obligations imposed under foreign laws. Specifically, it includes the following terms: “subject to the EAR,” “items subject to the EAR,” “export,” and “reexport.” These and other terms are also included in part 772 of the EAR, Definitions of Terms, and you should consult part 772 of the EAR for the meaning of terms used in the EAR. This part also describes certain key terms and principles used in the EAR. If you already know that your item or activity is subject to the EAR, you do not need to review this part and you can go on to review other parts of the EAR to determine your obligations. If neither your item nor your activity is subject to the EAR, then you do not have any obligations under the EAR and you do not need to review other parts of the EAR. This part is the first step in determining your obligations under the EAR. This part provides the rules you need to use to determine whether items and activities are subject to the EAR. This part describes the scope of the Export Administration Regulations (EAR) and explains certain key terms and principles used in the EAR. (a ) In this part, references to the Export Administration Regulations (EAR) are references to 15 CFR chapter VII, subchapter C. view on this date view change introduced compare to most recent.view on this date view change introduced.Model Certification for Purposes of Advanced Computing FDP Rule “Technology” or “software” that arises during, or results from, fundamental research.īIS activities conducted outside the United States.Įxport of encryption source code and object code software.Īctivities that are not exports, reexports, or transfers.Īctivities that are not deemed reexports. and foreign persons subject to the EAR.Īssistance available from BIS for determining licensing and other requirements. Scope of the Export Administration RegulationsĪctivities of U.S. ![]()
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