Export Control Compliance (979) 458-6124 Kristen Worman Assistant General Counsel 1 11/12.

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Presentation transcript:

Export Control Compliance (979) Kristen Worman Assistant General Counsel 1 11/12

System Policy – System Policy – Export Controls –Adopted 2009, Re-certified Policy Statement –System members must comply with ALL United States export control laws and regulations, including: Department of Commerce – Export Administration Regulations (EAR); Department of State – International Traffic in Arms Regulations (ITAR); and Department of Treasury, Office of Foreign Assets Control (OFAC) – Embargoes and Sanctions. 2 11/12

What are “Export Controls?” Export Controls are U.S. government regulations that govern the export of strategic technologies, equipment, hardware, software or providing technical assistance to Foreign Persons. Export control laws apply to all activities – not just research projects. 3 11/12

Why do we have Export Controls? o Advance foreign policy goals; o Restrict export of goods and technology that might contribute to the military expertise of adversaries; o Prevent the proliferation of Weapons of Mass Destruction (WMD); o Fulfill international obligations (e.g., treaties); and o Prevent terrorism. 4 11/12

Why should Universities be concerned? 9/11 changed everything: There is a growing intersection of cutting edge research with national security and foreign policy. Many foreign students seek educations from U.S. universities. 5 Universities have become a focal point for export control compliance. 11/12

Developing a Compliance Program 6 11/12

Export Control Compliance To have an effective compliance program, an organization must establish and maintain an organizational culture that “encourages ethical conduct and a commitment to compliance with the law.” U.S. Federal Sentencing Guidelines §8B2.1(a)(2) 7 11/12

Federal Sentencing Guidelines –Establish a culture of compliance –Identify and assess the risks –Develop written policies and procedures to address the risk –Provide training and education –Keep lines of communication open –Monitor compliance –Respond to instances of noncompliance 8 11/12

What does this mean? System Policy requires system members to: –Understand the regulatory framework –Identify the risks –Appoint an “Empowered Official” –Adopt a rule for export control compliance –Develop procedures to address the risk 9 11/12

Understanding the Regulatory Framework 10 11/12

Keys to Understanding Export Controls Who? What? When? Where? Why? How? 11 11/12

WHO regulates export controls? Three federal agencies govern U.S. export controls: 12 Department of State Department of Commerce Department of Treasury 11/12

U.S. Department of State Directorate of Defense Trade Controls (DDTC) o Arms Export Control Act of 1976, 22 U.S.C. §2778 o International Traffic in Arms Regulations (ITAR), 22 C.F.R., Part 120 o US Munitions List, 22 C.F.R., Part /12

About the ITAR Covers military items, e.g., munitions, “defense articles” or “defense services.” Regulates goods and technology designed to kill people or defend against death in a military setting. “Defense articles” include technical data, which encompasses software, furnishing assistance such as design, engineering and use of defense articles. “Defense services” include the transfer of information, even if in the public domain. Also includes space-related technology and research; increasing applicability to other research areas such as nanotechnology, new materials, sensors and life sciences /12

USML Categories (The ITAR) IV Launch Vehicles, Guided Missiles, Ballistic Missiles, Rockets, Torpedoes, Bombs, and Mines VExplosives and Energetic Materials, Propellants, Incendiary Agents, and Their Constituents VIVessels of War and Special Naval Equipment VIIIAircraft and Associated Equipment IXMilitary Training Equipment and Training XProtective Personnel Equipment and Shelters XIMilitary Electronics XIIFire Control, Range Finder, Optical and Guidance and Control Equipment XIVToxicological Agents, Including Chemical Agents, Biological Agents, and Associated Equipment XVSpacecraft Systems and Associated Equipment XXSubmersible Vessels, Oceanographic and Assoc. Equipment XXIMiscellaneous Articles (Software, components, etc.) 15 11/12

U.S. Department of Commerce Bureau of Industry and Security (BIS) o Export Administration Act of 1979, 50 U.S.C. §§ o Export Administration Regulations (E.A.R.), 15 C.F.R., Parts o Commerce Control List (CCL), Supplement No. 1 to Part 774 of the E.A.R /12

About the E.A.R. Covers dual-use items, or items designed for a commercial purpose that might also have a military application, e.g., computers, pathogens, civilian aircraft. Covers goods, test equipment, materials, technology, including technical data and assistance, and software. 10 categories of different technologies on the Commerce Control List (CCL). Also covers “re-export” of U.S. origin items outside the U.S /12

Commerce Control List (CCL) Categories 1.Nuclear Materials, Facilities & Equipment, and Misc. 2.Materials, Chemicals, Microorganisms & Toxins 3.Materials Processing (i.e., making plastics, metals) 4.Electronics Development 5.Computer (development and programs) 6.Telecommunications and Information Security 7.Sensors and Lasers 8.Navigation and Avionics 9.Marine 10.Propulsion systems, Space Vehicles and Related Equipment 18 11/12

U.S. Department of Treasury Office of Foreign Asset Control (OFAC) o Trade Sanctions and Embargoes – prohibitions on trade with certain countries, e.g., Iran, Syria, Sudan, Cuba, North Korea. o Restrictions on travel, financial transactions or transfers to certain end-users /12

NEW Embargoes and Sanctions Iran Threat Reduction and Syrian Human Rights Act of 2012 (ITRA) Signed into law on August 10, 2012 Prohibits foreign subsidiaries of U.S. companies from engaging in transactions that a U.S. company cannot engage in. Implements visa restrictions for Iranian citizens seeking higher education in the “energy, nuclear science, nuclear engineering or related fields.” 20 11/12

Identify the Risks 21 11/12

WHO is a “Foreign Person?” For export control purposes a “Foreign Person” includes: –Persons in the U.S. in non-immigrant status (e.g., H- 1B, H-3, L-1, J-1, F-1 Practical Training, L-1) –Persons unlawfully in the U.S. It does NOT include: –U.S. Citizens –Permanent Residents (i.e., green card holders) –Persons granted asylum or refugee status 22 11/12

WHAT is an Export? Any item, technology or software that is sent from the United States to a foreign destination: , phone, mail, travel, package, conference presentation, face-to-face, visual inspection, hand carried items – laptop, memory devices 23 11/12

Exports in a University Setting These items may include: Unpublished research findings Funds that are transferred to restricted countries, entities or persons Biological specimens Chemicals Electronics Computers Telephones Sensors 24 11/12

WHAT is a “deemed export?” A “deemed export” is the release of controlled information, technology or software to a foreign person in the United States. Export control regulations deem this transfer of information, technology or software to be an export to the home country of the foreign person /12

Examples of “Deemed Exports” Deemed Exports might include: –Visual inspection by foreign persons of U.S.-origin equipment and facilities; –Oral exchanges of information; or –Access to a computer that possesses export controlled information/technology /12

WHEN should I be concerned about export controls? NOW – U.S. export control regulations affect many activities on university campuses, including: –Student Enrollment –Employee Hiring –Research –Purchasing –Travel –Shipping 27 11/12

Red Flags Does your activity involve: Shipping equipment to a foreign country? Collaborating with foreign colleagues in foreign countries? Training foreign persons to use equipment? Working with a country subject to a U.S. embargo? An RFP marked "Export Controlled"? A sponsor who is requiring pre-approval rights over publications or the participation of foreign nationals? Sensitive technology that may have military applications? 28 11/12

Good News! Exemptions & Exclusions –Public Domain/Publicly Available –Fundamental Research –Educational Information –Tools of the Trade 29 11/12

Exemptions & Exclusions Public Domain/Publicly Available – already published, e.g., library books, magazines, etc. Fundamental Research – results of basic or applied research conducted in the U.S., which are shared widely without restriction Educational Information – materials and information found in course curriculae Tools of the Trade – materials or equipment that enable you to perform your job when travelling abroad 30 11/12

31 11/12 WHY do I Need to Comply with Export Control Regulations?

WHY do I Need to Comply (cont’d)? IT’S THE LAW! Severe criminal and civil noncompliance penalties and sanctions for individuals as well as institutions and corporations. –Up to $1MM for institutions/corporations and up to $250,000 for individuals –Up to 10 years in prison –Termination of export privileges –Suspension and/or debarment from federal government contracting –Loss of federal funds 32 11/12

Recent Enforcement Actions Dr. J. Reece Roth, University of Tennessee – charged with 15 counts of violating the Arms Export Control Act; sentenced to 4 years in prison Dr. Thomas Butler, Texas Tech – indicted on 69 counts; sentenced to 2 years in prison for making fraudulent claims and unauthorized exports (plague bacteria) 33 11/12

Personnel & Procedures 34 11/12

HOW do I get started? THREE steps towards compliance: 1.Appoint an Empowered Official 2.Adopt a rule 3.Develop procedures to address the risks 35 11/12

Who do you call? 36 11/12

Appointing an Empowered Official The Empowered Official is responsible for export control compliance and oversight for your agency or campus. –They must be knowledgeable of the regulations (or, at a minimum, trainable); –They must be aware of your agency/campus activities; and –They must have authority to stop any activity that may result in a violation of law /12

Adopting a Rule What should be included? –The position title of your Empowered Official (e.g., Vice President for Research, Compliance Officer, CFO, etc.) –Descriptions of how your agency/campus will handle potential export control risks and contact office (e.g. Restricted Party Screening; travel or shipping requests; research grants/contracts etc.) Less is More! 38 11/12

Developing Procedures to Address Risks Review Processes –Travel Who is going? Where? AND what are they taking? –Shipping In-House v. Third Party (UPS, Fed-Ex, etc.) Screening Procedures –Visual Compliance Technology Control Plans –Equipment –Research Projects 39 11/12

WHERE do I look for guidance? You do NOT need to re-invent the wheel. You just need to find the wheel that fits. Remember: One size does NOT fit all! 40 11/12

Export Control Resources System Resources: System Offices –System Ethics and Compliance Officer –Office of General Counsel Texas A&M University Texas A&M University – Corpus Christi TEES OSRS /12

Export Control Resources (cont’d) Federal Agency Websites: U.S. Department of Commerce, Bureau of Industry and Security (BIS) –Export Management and Compliance Program (EMCP) –BIS Compliance Guidelines: How to Develop an Effective Export Management and Compliance Program and Manual (166 pages) –BIS Seminars and Training U.S. Department of State, Directorate of Defense Trade Controls (DDTC) U.S. Department of Treasury, Office of Foreign Asset Control (OFAC) Foreign-Assets-Control.aspx 42 11/12

Export Control Resources (cont’d) Higher Education Compliance Alliance Other University Websites: –Stanford University –University of Texas – Austin –University of Tennessee – Knoxville –University of South Florida –Wayne State University /12

Contact Information System Ethics & Compliance Officer Janet Smalley (979) Office of General Counsel Kristen Worman (979) Texas A&M University Brad Krugel (979) Texas A&M University – Corpus Christi Erin Sherman (361) TEES Sean Rubino (979) /12

Questions? 45 11/12