NCURA Conference - PowerPoint PPT Presentation

1 / 15
About This Presentation
Title:

NCURA Conference

Description:

Export Controls and Embargoes, What ... Montenegro, OFAC Embargo List) Otherwise, Don t Need License (Just Follow Export Documentation and Procedures) 4. If ... – PowerPoint PPT presentation

Number of Views:47
Avg rating:3.0/5.0
Slides: 16
Provided by: phug3
Learn more at: http://www.umb.edu
Category:

less

Transcript and Presenter's Notes

Title: NCURA Conference


1
Massachusetts Institute of Technology
NCURA Conference Export Controls and Embargoes,
What You Never Wanted to Know November,
2002 Jamie Lewis Keith, Senior Counsel
2
A. How Does An Academic Research Institution
  • Maintain Its Open Teaching and Research
    Environment
  • Participate in Joint Research, and
  • Comply with Export Controls and Embargoes
  • On Campus, With An International Faculty and
    Student Body (Deemed Exports Problem)
  • Elsewhere In US (Deemed Exports, Other
    Institutions Compliance Problem) and
  • Abroad (Whether working with US Nationals or
    Foreigners)?

1
3
B. Not An Easily Answered Question
  • Culture of Free Exchange of Information, Sharing
    of Equipment in Research/Teaching
  • Culture/History of Nationality Blindness, Global
    Contribution in the Advancement of Knowledge
  • Institutions Are Decentralized, Ill-Adapted to
    ControlsParticularly Counter-Culture Controls
  • Regulations Are Hopelessly Complicated,
    Frequently Change
  • Licensing Takes TimeUnnatural to Halt Research
  • Increasing Regulation Makes It More Difficult to
    Not Do Research if License Required
  • Challenges Include

2
4
C. Five Key Elements To Successful Compliance
Approach
  • 1. Keep It Simple!
  • 2. Keep It Open!
  • 3. Centralize Administration/Oversight in Office
    Faculty Cannot Ignore (OSP)
  • 4. Support Responsible Office with Legal Counsel
  • 5. Educate Community On
  • What Law RequiresConsequences for Violations
  • How to Keep It Simple and Open
  • Use ExamplesLessons Learned

3
5
D. How To Keep It Simple
4
6
E. When Export Controls (EAR, ITAR, Embargoes)
Do Not ApplyPublic Domain/Publicly Available
  • Public Domain (ITAR)/Publicly Available (EAR) (22
    CFR 120.11, 120.10, 15 CFR 734.3(b)(3),
    734.7, 734.9)
  • Broadest Exclusion Under EAR and ITAR
  • Allowing Deemed Export (in US) or Export
    (Abroad) Without Export Controls Applying At All
  • Preconditions
  • No Equipment or Encrypted Software Involved
  • No Reason to Believe Information/Non-Encrypted
    Software Will Be Used In/For Weapons of Mass
    Destruction
  • US Government Hasnt Imposed Export Controls
    as Funding Condition

5
7
E. When Export Controls (EAR, ITAR, Embargoes)
Do Not ApplyPublic Domain/Publicly Available
6
8
E. When Export Controls (EAR, ITAR, Embargoes)
Do Not ApplyPublic Domain/Publicly Available
  • If Only EAR (Not ITAR) Information or
    Non-Encrypted Software is Involved, Publicly
    Available Also Includes Information Already
    Published At/Through
  • Conferences, Meetings, Seminars, Trade Shows,
    Exhibitions In US or Abroad
  • Any Educational Information Released in a
    Course of Any Academic Institution, Wherever
    Located, and Listed In Its Course Catalogue or
    Associated Teaching Laboratories
  • Public Domain/Publicly Available
    Information/Non-Encrypted Software Isnt Subject
    to Controls Even If OFAC Embargoed Countries or
    Nationals, or EAR Denied Persons are Involved
  • But wise to check with Central OSP Office
  • Restrictions on Travel to Embargoed Countries
    May Still Apply Under OFAC Regulations (31 CFR
    Part 500).

7
9
E. When Export Controls (EAR, ITAR, Embargoes)
Do Not ApplyUS University Fundamental Research
  • US University Fundamental Research (ITAR and EAR)
    (22 CFR 120.11(8) and 15 CFR 734.8(a) and (b))
  • Easy to Misunderstand Breadth of This Exclusion
    from Export Controls-- Limited Exclusion
  • Cannot Create Fundamental Research Information or
    Non-Encrypted Software Anywhere Other Than At an
    Accredited Institution of Higher Learning Located
    in the US
  • Foreigners Can Participate in Creation of
    Fundamental Research Only at an Accredited
    University Located in the US
  • US University Faculty/Students Cannot Do
    Research Abroad Under the Fundamental Research
    Exclusion
  • Once Fundamental Research is Created in the
    US, It Can Then Be Exported Abroad Without
    Controls Applying
  • Very Limited Exception for Fundamental
    Research Involving Research Satellites and
    Related Information Exports to Certain Entities
    in NATO, Major Non-NATO Ally, European Space
    Agency, EU Countries Involving Only Nationals of
    Such Countries (22 CFR 121.1(XV(a) or (e)),
    123.16(b)(10) (Equipment), 125.4(d)(Information/In
    struction))

8
10
E. When Export Controls (EAR, ITAR, Embargoes)
Do Not ApplyUS University Fundamental Research
  • Definition Information/Non-Encrypted Software
    Resulting From Basic and Applied Research in
    Science and Engineering Conducted At An
    Accredited University Located In the US, Which is
    Ordinarily Published and Shared Broadly In
    Scientific Community, and Which is Not
    Proprietary, and to Which Publication
    Restrictions Do Not Apply
  • Proprietary Information Provided by Sponsors
    to University Researchers Is Not Fundamental
    Research and May Be Subject to Export Controls
  • Preconditions
  • EAR/ITAR-Listed Equipment and Encrypted
    Software Not Involved
  • No Reason to Know of Use In/For Weapons of
    Mass Destruction
  • Information/Non-Encrypted Software Is Being
    Released to Foreigners In US Only (deemed export)
    at an Accredited University
  • There Are No Publication Restrictions On
    Research Results, Except (under EAR and Probably
    Under ITAR but not decided) for a Short
    Pre-Publication Review to Remove Proprietary
    Information Provided by Sponsor to the Researcher
    -- Or to File for Patent Protection
  • Cannot Accept Publication Restrictions No
    Side Deals
  • Research Results are Not Proprietary or
    Classified
  • Unclear Whether ITAR Requires Actual
    Publication of Results or Just Ordinarily
    Published - Prevailing Wisdom is that Ordinarily
    Published is Enough

9
11
E. When Export Controls (EAR, ITAR, Embargoes)
Do Not ApplyUS University Fundamental Research
  • Information/Non-Encrypted Software Resulting From
    Fundamental Research Undertaken At An Accredited
    University In the US, Is Not Subject to Export
    Controls --Even If OFAC-Embargoed Countries or
    Nationals or EAR-Denied Persons Are Involved
  • Can Create It Without Controls Applying On
    Campus
  • Once Created, Can Export It Anywhere

10
12
F. When Export Controls Do or May ApplyHelpful
Thresholds License Required?
  • 1. If Public Domain/Publicly Available or
    Fundamental Research Exclusions Do Not Apply --
    And Exposure to Foreigners In the US (even on
    campus) or Transfer or Travel Abroad Is Involved,
    Then, Export Controls
  • May Apply and EAR License May Be Required Before
    Any Deemed Export or Export If Equipment,
    Software Is on the EAR Commerce Control List
    (CCL) or Information Concerns Listed Items
  • ITAR Will Apply and a License Will Be Required
  • If Equipment, Software is on the ITAR US
    Munitions List (USML) or Information/Software
    Concerns Listed Items or
  • Even if Not On Lists, If Reason to Know That
    Equipment, Information, Software Will Be Used
    In/For Weapons of Mass Destruction or
  • Even if Not on Lists, if Equipment,
    Software, Information Is Designed or Modified For
    Military Use

11
13
F. When Export Controls Do or May ApplyHelpful
Thresholds License Required?
  • 2. If Equipment, Software Will Be Used In or
    Regards Outer Space and Doesnt Fall Under 22 CFR
    123.16(b)(10) or the Related Information/Training
    /Services Arent in the Public Domain and Dont
    Fall Under 22 CFR or 125.4(d) And Exposure to
    Foreign Nationals in US (deemed export) or
    Transfer or Travel Abroad is Involved
  • License Will be Required if on USML
  • If Exclusions Do Not Apply, And Exposure to
    Foreign Nationals in the US (deemed export) or
    Transfer or Travel Abroad Is Involved And
    Information, Software, Equipment Is Not on USML,
    But Is on CCL as EAR 99 Only
  • May Need License If
  • Destination-Foreigners Nationality Is
    China, India, Israel, Pakistan, Russia
    (countries with restricted entities on EAR
    Entities List--15 CFR 744, Supp.4)
  • End User Is on Denied Person List
  • (http//www.bxa.doc.gov/DPL/Default.s
    htm)

12
14
F. When Export Controls Do or May ApplyHelpful
Thresholds License Required?
  • Destination/Foreigners Nationality is an OFAC
    Embargoed Country (Afghanistan, Unita (Angola),
    Cuba1, Iran1, Iraq1, Libya1, N. Korea1, Former
    Republic of Yugoslavia, the Balkans (Macedonia,
    S. Serbia, Montenegro, W. Balkans), Burma,
    Liberia, Sudan1, Sierra Leone)
  • Destination/Foreigners Nationality is Another
    US Embargoed Country (Rwanda, Serbia, Kosovo,
    Montenegro, OFAC Embargo List)
  • Otherwise, Dont Need License (Just Follow
    Export Documentation and Procedures)

4. If Exclusions Do Not Apply, And Equipment,
Software, Information Is On USML, License Is
Required Before Any Exposure to Foreigners In US,
Even On Campus (deemed export) or Transfer or
Travel Abroad
  • Will Not Get License
  • If Destination/Foreigners Nationality is
    Afghanistan, Armenia, Azerbaijan, Belarus, Cuba1,
    Iran1, Iraq1, Libya1, N.Korea1, Syria1, Vietnam,
    Burma, China, former Republic of Yugoslavia
    (Serbia and Montenegro), Haiti, Liberia,
    Rwanda, Somalia, Sudan1, Zaire (Democratic
    Republic of Congo) or any UN Security Council
    Arms Embargoed Country (Unita (Angola))
  • 1 State Department Terrorist Countries (T-7)
  • - US Arms Embargo Countries
  • May Get A License Otherwise

13
15
G. Major Truths
  • 1. It Is Easier For Universities to Make
    Information/Non-Encrypted Software Public Than
    to Keep It From Exposure to Foreign Colleagues
    and Students On Campus, Elsewhere In US, and
    Abroad
  • Use the Public Domain/Publicly Available
    Exclusions Whenever Possible
  • Use Fundamental Research Appropriately On
    Campus in US
  • 2. Beware of Equipment and Encrypted Software
  • Do Not Ship/Release Abroad to Foreigners Or US
    Nationals Before Checking USML and CCL, and
    Central Office/OSP
  • Consider Deemed Export Question on Campus
  • -- Possible Fundamental Research Exclusion
    Under EAR Unclear Under ITAR
  • -- Publicly Available Educational
    Information Through Course or Teaching Lab
    Exclusion Under EAR, but Not ITAR

14
Write a Comment
User Comments (0)
About PowerShow.com