defense articles; significant military equipment; major defense equipment; defense services; and technical data and software. The major items regulated under ITAR are identified in the United States ...
As such, most activities are not subject to export controls, or even if controlled, do not require licensing. Both the ITAR and the EAR have special provisions relating to information that is not ...
The ITAR, EAR, and OFAC regulations all stipulate recordkeeping requirements for controlled export activities. Under each of these sets of regulations, records must be retained for five years after ...
Information that is available to the public is excluded from export controls. However, there are differences between how the ITAR and EAR treat this exclusion. They share the idea that publicly ...
See §734.2(b)(2) of EAR. While International Traffic in Arms Regulations (ITAR) do not incorporate the term “deemed export” the concept is in the definition of an export and pertains to the release of ...
In the context of university research, if a project does not meet the fundamental research exclusion (FRE) it will likely be “subject to export controls” (either the EAR or ITAR), which creates ...