SUMMARY: In this rule, the Bureau of Industry and Security (BIS) proposes to amend the Export Administration Regulations (EAR) to clarify and expand r...
Read MoreIn this time of ever changing regulations, it is more important than ever to perform a yearly review your export compliance program and address any de...
Read MoreIf you discover an export violation, you are strongly encouraged to submit a voluntary self-disclosure to either BIS or DDTC. The disclosure should in...
Read MoreCommerce Department bulk licenses authorize the export or reexport of items based on a representative or comprehensive parts list for a specific end u...
Read MoreOn August 19th, BIS published a final rule with corrections and clarifications regarding the control of firearms subject to the EAR. https://www.govin...
Read MoreAs international travel resumes, it is important to review and implement the necessary controls for non-U.S. persons and make certain your company is ...
Read MoreThe Bureau of Industry and Security has added thirty-four entities to the Entity List. These thirty-four entities have been determined by the U.S. Gov...
Read MoreAs the world is opening up again, and air and trade shows will be rescheduled, it is important to remember if you will be exhibiting any military/defe...
Read MoreWhen setting up corporate DECCS (State Department Licensing and Registration website) accounts there are two common oversights we have seen that can c...
Read MoreThis Blog is made available by Wilmarth & Associates for educational purposes as well as to give you general information and a general understanding of export law and compliance, not to provide specific legal advice. This blog is not legal advice and should not be treated as such. You must not rely on this blog as an alternative to legal advice from your attorney or other professional legal services provider. The information provided on this website is presented “as is” without any representations or warranties, express or implied.