每月的时事通讯
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An Update on the Changing Environment for Exports to China
Despite tensions, the U.S. exports a surprising amount to China ($150 billion in 2022) – mainly agricultural products, 材料, 和机械. This article clarifies export controls for businesses navigating this complex trade relationship.
Best Practices in Screening for Denied or 受限制的方
Screening for denied or restricted parties is one of the most important risk management tasks in export compliance—especially for items subject to the EAR. In this article, ECTI provides considerations and best practices for restricted party screening.
Disclosing Political Contributions, Fees and Commissions
Part 130 of the ITAR only affects a small number of entities, especially those who engage the services of sales representatives or agents in other countries, but it should always be considered in a careful export compliance program.
永久的和. Temporary 进口: Where the ITAR Meets the ATF
Are you aware of the difference between permanent and temporary imports? If you deal with ITAR and ATF regulations, it’s crucial to understand the distinction.
军火代理 and the ITAR
ECTI covers the evolution of U.S. arms brokering regulations, tracing their inception in 1996 to the present day. Learn how the addition of Part 129 to the ITAR transformed oversight, encompassing registration, 批准, and reporting for defense articles and technology brokers.
A Comparison Between U.S. 出口管制 and European 出口管制
ECTI discusses the complex trade relationship between the United States and the European Union (EU), shedding light on the commonalities, 差异, and challenges in their export control systems.
出口许可证 Requirements of Direct Commercial Sales v Foreign Military Sales
Political instability around the world is creating a boom for U.S. 武器出口, and it’s putting the spotlight on the important difference between Direct Commercial Sales (DCS) and Foreign Military Sales (FMS).
Guidelines for DSP-85 Applications – Updated
The universe of defense articles and defense services subject to the International Traffic in Arms Regulations (ITAR) consists predominantly of unclassified items. But some defense articles are also classified. If your organization deals with classified defense articles or defense services, you should familiarize yourself with a specific licensing form – the DSP-85.
Navigating the Export Implications of 云计算
As more and more companies move their data and computing to the cloud, it’s important to understand the export implications of using cloud services. The U.S. 政府 regulates the export of certain technologies, including software and data encryption, and these regulations can apply to cloud computing.
Technical Data 许可 – TAA or DSP-5
When it comes to exporting technical data, companies must comply with regulations set forth by the U.S. 政府. One important consideration is whether to obtain a Technical Assistance Agreement (TAA) or a DSP-5 license.