Department of State Directorate of Defense Trade Controls Mal Zerden.

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Presentation transcript:

Department of State Directorate of Defense Trade Controls Mal Zerden

Objectives Explain role of Dept. of State and DDTC in regulating exports Review legislation and regulations Understand what the USML covers Explain purpose of controls and country policies

Objectives Explain the Commodity Jurisdiction process Explain different types of licenses Define terminology Review some exemptions Understand Compliance and Penalties

Foreign Policy Objectives Support allies in mutual foreign policy and national security goals Promote interoperability with allies Keep defense technology out of the hands of adversaries

Agency Roles State Department Commerce Department Homeland Security (CBP/ICE) Justice Department (ATF) Department of Defense –DTSA, Armed Services, DSS

Directorate of Defense Trade Controls (DDTC) Our Mission: Advance U.S. national security and foreign policy through licensing of direct commercial sales in defense articles and the development and enforcement of defense trade export control laws, regulations and policies.

Laws & Regulations Arms Export Control Act (AECA) International Traffic in Arms Regulations (ITAR) –22 CFR Parts

Arms Export Control Act (AECA) Controls Exports/Imports of Defense Articles & Services Establishes Munitions List Mandates Registration of Manufacturers and Exporters Mandates Registration/Licensing of Brokers

Broad Authority of the Directorate to Approve, Deny, Suspend, Revoke and Halt Shipments from U.S. Ports Congressional Oversight – 36(c), 36(d) and 36(f) End Use and Retransfer Assurances Arms Export Control Act (AECA)

Require Monitoring/Reporting Fees, Contributions, and Commissions Confirm Bona Fides of End Use and Users Establishes Fines and Penalties Foundation of Regulatory Process Arms Export Control Act (AECA)

International Traffic in Arms Regulations (ITAR) 22 CFR Part Implements AECA Regulations for export of USML articles Contains the USML - designates defense articles/services subject to Department of State export jurisdiction Compliance and Enforcement - Violations & Penalties

Delegation of Authority President of the United States Secretary of State Undersecretary for Arms Control and International Security Assistant Secretary for Political Military Affairs Deputy Assistant Secretary for Defense Trade Controls Managing Director of Defense Trade Controls

13 NSPD-56 Defense Trade Reform Signed by the President on Jan 22, 2008 Directed the most far reaching reforms to the defense trade process in 16 years Mandates specific process and resource requirements to support an export control system that is predictable, efficient and transparent.

14 NSPD-56 Defense Trade Reform DDTC should be fully resourced to perform its mission DDTC should be 75% self-funded Electronic licensing system to accommodate additional types of export cases Improve interagency jurisdiction decisions Cases to be processed within 60 days

15 Per NSPD-56, no license can take more than 60 days unless: Congressional notification is required A waiver is required (Presidential or UNSCR) Assurances are required from the foreign government Verification of the end user is necessary DoD has not completed its review NSPD-56 Defense Trade Reform

16 License Review Statistics Over 82,000 cases received in 2008 Approximately 5% increase last year Approximately 50 officers in licensing office plus administrative staff

17 OEF/OIF: 80% faster Open Cases: 66% reduction in pending Overall Case Processing: 55% faster RWA Rate: 52% reduction (all occurred while the number of cases increased by 5%) Improvement Metrics

US Munitions List

U.S. Munitions List Designates articles, services, and related technical data as defense articles and defense services subject to Department of State export approval Items preceded by an asterisk are designated as “significant military equipment” (SME)

U.S. Munitions List IFirearms II Guns and Armament (over.50 cal) IIIAmmunition/Ordnance IVLaunch Vehicles, Guided Missiles, Rockets, Torpedoes, Bombs, Mines VExplosives and Energetic Materials, Propellants, Incendiary Agents

Commodity Jurisdiction (CJ) Purpose of CJ Policy criteria Process

Commodity Jurisdiction Purpose –To make a determination as to whether an article is considered to be a defense article covered by the USML

Designating/Determining Defense Articles Policy criteria –specifically designed or modified for military application –does not have predominant civil application –does not have performance equivalent to an article used for civil application

Designating/Determining Defense Articles Policy criteria –specifically designed, developed, configured, adapted, or modified for military application AND HAS –significant military or intelligence applicability such that ITAR control is necessary

Commodity Jurisdiction Process –Registration is not required prior to submission of a CJ –Request submitted by letter –Request reviewed by CJ officer –Case staffed to DOC and DOD –Replies received and analyzed by CJ officer

Commodity Jurisdiction If disagreement – CJ officer reconciles positions or if he can’t Escalation of decision making Decision made Determination reply letter to requestor

Registration Any person who engages in the U.S. in the business of either manufacturing or exporting defense articles or furnishing defense services is required to register with the Directorate of Defense Trade Controls Manufacturers who do not engage in exporting must nevertheless register

Definitions Export – Defense Article – Significant Military Equipment – Technical Data – Defense Service – 120.9

Purpose of Controls Foreign Policy National Security Human Rights Regional Stability Proliferation

Country Licensing Policies

Prohibited Destinations U.S. arms embargo U.N. arms embargo countries supporting international terrorism policy of denial

Deputy Assistant Secretary Directorate of Defense Trade Controls Managing Director Directorate of Defense Trade Controls Office of Defense Trade Controls Licensing (PM/DTCL) Office of Defense Trade Controls Compliance (PM/DTCC) Office of Defense Trade Controls Policy (PM/DTCP) DDTC ORGANIZATION

Military Vehicle & Naval Vessel Division Space & Missile Division Firearms Team Office of Defense Trade Controls Licensing Aircraft Division Electronic Systems Division Emerging Technologies

Application Process

Types of State Dept. Licenses DSP-5 DSP-61 DSP-73 DSP-85 Permanent Export Temporary Import Temporary Export Classified Exports/Imports

Other State Dept. Approvals DSP-119 Amendment to License GC General Correspondence Offshore Procurement Agreements –Technical Assistance –Manufacturing License –Distribution

DSP-5 Permanent Export Unclassified permanent export of defense articles unclassified export of technical data - 125

Documentation Requirements Purchase order Letter of intent Other appropriate documentation (e.g. signed contract)

Required Information specific article quantity value ultimate end-user end-use

Aircraft Programs A400M Eurofighter Typhoon Panavia Tornado JAS Gripen NH-90 Helicopter EH-101/AW-101 Helicopter C27J Spartan Eurocopter Tiger Helicopter

DSP-83 is required for –permanent export of significant military equipment (* in USML) –export of all classified hardware & data Must be executed by foreign consignee, foreign end-user, and applicant DSP-83 Non-transfer & Use Certificate

DDTC may also require foreign government official to sign DSP-83 when export is to non-governmental foreign end-user Stipulates that SME will not be reexported, resold outside of country, or to any other person DDTC may require DSP-83 for any other defense article or service (b)

General Correspondence Advisory opinion Reexport request Reconsideration of proviso ITAR interpretation question

Agreements Technical Assistance Manufacturing License Distribution

Technical Assistance Agreement US person furnishes assistance to foreign person in design, assembly, repair, maintenance, operation, etc. of a defense article -- export of technical data

Manufacturing License Agreement US person grants a foreign person manufacturing rights or know-how concerning defense articles -- export of technical data

Distribution Agreement Warehouse/Distribution abroad of defense articles exported from US -- distribution to approved sales territory

DTRADE DDTC’s Automated Export Licensing System - DSP 5, 61, 73 - amendments - soon to include TA/MA/DA/GC - cases reviewed by DDTC’s computer system

DTRADE - rejected if submission isn’t properly completed - automatically assigned by USML Category - assigned to Division Chief - Division Chief reviews and assigns to LO’s

DTC Review Industry DTC Final Action DOD DTSA Armed Services State Regional Bureau Human Rights PM Offices Other NASA Energy Application Submission Congressional Notification MTEC Assurance

Congressional Notification 30 calendar days notice (countries other than NATO members, AS, JA, NZ) Manufacture abroad of SME Major Defense Equipment $14 million or more Defense articles/services $50 million or more Firearms $1 million or more

Congressional Notification 15 calendar days notice (NATO, AS, JA, NZ) Manufacture abroad of SME Major Defense Equipment $25 million or more Defense articles/services $100 million or more Firearms $1 million or more

Reexport/Retransfers

Reexport/Retransfer Definition – –“the transfer of defense articles or defense services to an end use, end user or destination not previously authorized”

Reexport/Retransfer All reexports/retransfers require prior approval from DDTC pursuant to the ITAR - new end-use - new end-user - new destination

Reexport/Retransfer submit written request to DDTC (submit through U.S. exporter if possible) provide previous authorization evidence (e.g. license #) describe defense article, quantity, value

Reexport/Retransfer describe new end-user describe new end-use provide any other details of transaction

Provide Appropriate Documentation –Purchase Order or Signed Contract –DSP-83 –Descriptive Literature –Part Statement

Reexport/Retransfer DDTC will provide written reply

Reexport Exemption ITAR 123.9(e) allows re-export/retransfer without prior written approval: – US origin components – Incorporated into a foreign defense article – For government of NATO country, Australia or Japan

Reexport Exemption Conditions: –US origin components were previously authorized for export –US origin components are not: SME MTCR items Of a value triggering congressional notification

Reexport Exemption Reporting Requirement: –Written notification to DDTC within 30 days’ of reexport –Specify articles re-exported and recipient government

Temporary Import License Exemption - ITAR US origin, unclassified hardware –Repair, overhaul, replacement, calibration, testing or reconditioning –Incorporation in to hardware already approved for export –Demonstration/marketing in US –Rejected for permanent import –Approved under Foreign Military Sales program

Temporary Import License Exemption - ITAR U.S. company must declare import prior to import Foreign company must notify U.S. company before sending the defense article to the U.S.

Reminder Reexports/retransfers require prior approval Approval will be a letter from DDTC (unless the exemption applies)

Compliance & Enforcement

Office of Defense Trade Controls Compliance Registration Watchlist End-use checks Audits of U.S. companies

Office of Defense Trade Controls Compliance Support Licensing Office with intelligence Liaison with Customs (ICE) & FBI Work with US attorneys on court cases involving violations of AECA

Responsibilities Licensees are responsible for acts of their employees, agents, and all authorized persons to whom possession of licenses and/or licensed articles have been entrusted regarding use, operation, possession, transportation, and handling

Violations Unlawful to import/export or to attempt to import/export any defense articles / technical data or furnish any defense service without a license or other approval from the US Dept. of State Unlawful to violate any of the terms and conditions of the ITAR

Violations Unlawful to make a false statement or misrepresent on export/import documentation Purchase order Foreign import certificate Bill of lading Nontransfer and use certificate

Penalties Any person who willfully violates a provision of the ITAR may be subject to fine, imprisonment, or both Person and company may be prohibited from participating directly or indirectly in the export of defense articles, technical data, or services

Penalties Criminal penalty –each violation a fine of up to $1,000,000, or imprisonment up to 10 years, or both Civil penalty –each violation a fine of not more than $500,000

Voluntary Disclosure Strongly encouraged if company discovers a violation Could be considered a mitigating factor in determining penalties Must be made prior to USG awareness and inquiry into the activity

Contact Information DDTC Web Site: - pmddtc.state.gov Response Team - telephone

Summary Understand export control regulations Provide U.S. party and/or USG with all pertinent information Comply with export control laws/policies/ procedures