Beginning January 13, 2022, AES will display a new response message for exports erroneously filed under Type “C33” No License Required. If the country...
Read MoreOn October 20th, BIS released an interim rule which enhanced controls on certain Cyber Security items that can be used for malicious cyber activities....
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 MoreOn March 18, 2021, the Directorate of Defense Trade Controls (DDTC) published a final rule (86 FR 14802) amending § 126.1 of the International Traffic...
Read MoreFollowing on restrictions announced last year for military end users and end use, BIS has published a final rule, effective March 16, 2021, imposing a...
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.