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Archive for tag: Export Compliance

Foreign Direct Product Rules: Clarifications and Corrections

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BIS has issued a final rule which re-organizes, makes minor corrections, and clarifies parts of the Foreign-Direct Product Rules (FDP). The FDP, inclu...

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License Exception GOV

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License Exception GOV (§740.11) authorizes exports, re-exports, and in- country transfer of eligible items to U.S. government persons and agencies, ag...

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Information Security Controls: Delay of Effective Date

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**As of January 12, 2022, the effective date for the interim final rule published October 21, 2021, at 86 FR 58205, is delayed to March 7, 2022. Tigh...

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Cambodia Added to BIS List of Military/Military End User Controls and Department of State List of Proscribed Countries

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The Bureau of Industry and Security (BIS) has  added Cambodia to: (1) The list of countries subject to the licensing policy in § 742.4(b)(7), (2) the ...

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Automated Export System (AES) Updated Response Message for Type “C33” No License Required Filings

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Beginning January 13, 2022, AES will display a new response message for exports erroneously filed under Type “C33” No License Required. If the country...

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Voluntary Disclosures to DDTC

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At the end of November 2021 DDTC published frequently asked questions (FAQs) related to voluntary disclosures. Of particular note in the FAQs was info...

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Foreign National Employees and Green Card Status (Permanent Resident Card)

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If you have a foreign national employee who has licensing with DDTC or BIS permitting access to controlled technical data, who has acquired U.S. perma...

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Proposed rule from the U.S. Department of Commerce relating to License Exception STA

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SUMMARY: In this rule, the Bureau of Industry and Security (BIS) proposes to amend the Export Administration Regulations (EAR) to clarify and expand r...

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Year End Review of Compliance Requirements

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In 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...

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Voluntary Self Disclosure

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If you discover an export violation, you are strongly encouraged to submit a voluntary self-disclosure to either BIS or DDTC. The disclosure should in...

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This 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.
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