Annual and semi-annual reports for self-classified encryption items exported under paragraph (b)(1), (b)(2) and (b)(3)(iii) of License Exception ENC f...
Read MoreOn January 17, 2023, BIS finalize a rule extending controls on Advance Computing; Semiconductor Manufacturing Items; Supercomputer and Semiconductor E...
Read MoreFAQs – Implementation of Additional Export Controls: Certain Advanced Computing and Semiconductor Manufacturing Items; Supercomputer and Semicon...
Read MoreYear End Review of Compliance Requirements As 2022 draws to a close, now is a good time to review your company’s compliance program and address...
Read MoreThe Department of Commerce’s Bureau of Industry and Security (BIS) is implementing a series of targeted updates to its export controls as part of BIS’...
Read MoreThe Export Administration Regulations require that U.S. persons and U.S. companies refuse to participate in any foreign boycott not sanctioned by the ...
Read MoreA common situation that U.S. companies find themselves in is selling product to a U.S. customer, and then being asked by that customer to ship directl...
Read MoreWhen shipping and exporting an item, either licensable or non-licensable, there are certain steps you should take to make sure you are in compliance w...
Read MorePeriodic export compliance audits are an integral aspect of a company’s export compliance program. Audits demonstrate adherence both to a company’s in...
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.