Title: U'S' Customs and Border Protection
1U.S. Customs and Border Protection
EXPORT ENFORCEMENT AND YOU
- Sam McLinn
- Assistant Port Director Tactical Operations
- Cleveland Area Port
2CBP Goals
- Prevent terrorists and terrorist weapons from
entering the United States - Facilitate legitimate trade and travel
- Includes goods destined for export
3CBP a Fusion
- CBP was created on March 1, 2003
- It incorporates the former
- US Customs Service (Field Operations)
- US Immigration and Naturalization Service
(Inspections) - US Border Patrol
- Elements from the former Customs Air and Marine
Offices - Elements from USDA
4CBP Authority
- CBP has the broadest law enforcement authority of
any agency - At this time, we enforce over 600 laws and
regulations for over 60 different agencies - CBP officers apprehend more Federal and state
fugitives than any other agency
5Post September 11,2001
- CBP is on heightened alert
- We are Americas front line in counterterrorism
- We have reallocated resource to high risk sites
including the border - We have altered our emphasis from drug and trade
enforcement and other traditional missions to
include anti- and counterterrorist efforts - CBP officers have unique training that makes them
very effective - Outbound is a priority
6Cleveland Area Port
- The Cleveland Area Port supports operations in
Ohio, Kentucky, Indiana, and Pennsylvania - Cleveland, Toledo, Erie, and Ashtabula are
seaports - We also have operations in Indianapolis,
Columbus, Louisville, Dayton, Evansville-Owensboro
, and Cincinnati
7History of Operation EXODUS
- 1981 - Customs became the lead agency in the
Presidents program to block the transfer of
critical U.S. technology to unfriendly countries. - Now - Operation Shield America is in progress
Keeping sensitive technologies out of the hands
of terrorists. - DISRUPT AND DISMANTLE
8Why?
- Historically, Ohio ranks in the top 5 of
exporting states - In Cincinnati alone, attempts were made to
illegally export over FOUR MILLION DOLLARS in
shipments in the last three years - The monetary value is secondary to the negative
impact on national security - CBP not only has the authority to investigate
EXODUS matters, but also the resources and
expertise
9Attack funded by Export ?
10Operation EXODUS Objectives
- To stop the flow of critical technology and to
enforce compliance by intercepting and/or seizing
such shipments. - To disrupt groups and individuals responsible for
these illegal exports.
11Roads to Compliance
- Informed
- Good
- Enforced
- Bad (for you)
12All 1.5M parts are licensable
13Post 9/11 An Exporters View
- ICE (Immigration and Customs Enforcement) is
taking referrals more seriously - Shield
America - CBP HQ is participating in more referrals and
exams - Now even the U.S. Government must comply with
export regulations (GAO report - FMS Cases) - COOPERATION BETWEEN ALL EXPORT PARTIES IS OF
UTMOST IMPORTANCE!
14Responsibilities
- Forwarders
- Shippers/Carriers
- Exporters
- Customs and Border Protection
15Responsibilities of Forwarders
- Provide accurate information
- Know your exporter, know when to report problems
- Accurate AES transmissions
- Correct submissions of paper SEDs
- Record keeping requirements - five years
16Responsibilities of Carriers
- Proper manifesting of goods
- Know your exporter, know when to report problems
- Hazardous/dangerous goods requirements
- Requirements for submission of SEDs - goes
against carriers bonds - Record keeping requirements - five years
17Responsibilities of Exporters
- Provide accurate information
- Respond quickly to CBP requests for technical
data, further information - Know CBP, Department of Commerce and Department
of State requirements - Record keeping requirements - five years
- Accurate AES transmissions
- No self-blinding!
18CBP Responsibilities
- Outreach
- Provide Resources
- Knowledge
- Speedy Response
- Professional Service
- Ensure Compliance
19Monitor vs Merrimac licensable (Never
converted to commercial applications)
20Code of Federal Regulations
- 15 CFR Parts 1-799 (DOC)
- 19 CFR (CBP) specifically 19 CFR 161.2 and
18.25-26 - 21 CFR Parts 1300-1399 (DEA)
- 22 CFR Parts 120-130 (DOS)
- 27 CFR Parts 447-555 (ATF)
- 31 CFR parts 200-end (OFAC)
2122 USC 401
- Addresses seizure, forfeiture and disposition of
the export of war materials and other articles in
violation of law
22Requests For Information
- If you are contacted by CBP when outbound
merchandise is detained, please provide all
documents and/or information as quickly as
possible - Once the team is in contact with the exporter, we
usually deal with them only - The faster CBP receives the information, the
faster a determination can be made
23Schedule B Numbers
- Be careful with item classifications, Schedule B
numbers and the appropriate exceptions - Many SEDs have information that has ABSOLUTELY
NOTHING to do with items on the entry (i.e.,
magazines, barrels, and a/c parts)
24Know Your Customer
- Export parties should regularly ask their
customers if they have anything to do with other
agency controlled merchandise - If they do, contacts should be established within
those companies in case SEDs are not submitted
properly - These files should be flagged so they are handled
properly
25120 mm mortar shell being fired
Too late to apply for a license
26Common Issues With Exports
- A common problem is when sales, engineering or
scientist department representatives export
licensable material or perform technical services
without checking with their export or legal
department - Sometimes they unknowingly carry material from
foreign customers that is licensable - Be aware that the disclosure of
sensitive/licensable technical data to a foreign
national is considered to be an export - A license or other agreement issued by the DOS
or DOC will most likely be required
27Trade Act of 2002
- Full Mandatory filing in AESEliminates the paper
SEDEliminates Data Entry Centers - For Federal Register notices, see
http//www.census.gov/foreign-trade/regulations/fe
dregnotices/index.html
28Questions???
- Port of Cleveland Engle Road Office
- CBP export assistance
- 440.891.2536
- Sam McLinn
- 440.891.3811
- samuel.mclinn_at_dhs.gov
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