- 1. The item I would like to export is a consumer communications device listed on the Commerce Control List but its Export Control Classification Number is not among those specifically listed in License Exception ...
- (Sudan: Change of Licensing Policy for Exports of Civil Telecommunications-related Infrastructure Items to Sudan and Addition of Sudan as an Eligible Destination for Exports of Consumer Communications Devices under License Exception CCD )
- No. Your item must meet all the criteria of License Exception CCD to qualify for export or reexport under License Exception CCD. The item must be: 1) a consumer communications device as defined in License ...
- Created on 21 October 2016
- 2. May I apply for a license to export or reexport telecommunications equipment to Sudan that does not qualify for export or reexport to Sudan under License Exception CCD?
- (Sudan: Change of Licensing Policy for Exports of Civil Telecommunications-related Infrastructure Items to Sudan and Addition of Sudan as an Eligible Destination for Exports of Consumer Communications Devices under License Exception CCD )
- Yes. BIS may authorize your export or reexport under a license when the export or reexport does not qualify for License Exception CCD. BIS will consider, on a case-by-case basis, applications to export ...
- Created on 21 October 2016
- 3. When do I need to apply for an export license for technology under the deemed export regulations?
- (Deemed Export FAQs )
- Assuming that a license is required because the technology does not qualify for treatment under EAR99 and no license exception is available, U.S. entities must apply for an export license under the deemed ...
- Created on 21 October 2016
- 4. The item I’d like to export is listed under an ECCN in License Exception CCD, but I have determined that it is not a “consumer” communications device within the meaning of License Exception CCD. May I ...
- (Sudan: Change of Licensing Policy for Exports of Civil Telecommunications-related Infrastructure Items to Sudan and Addition of Sudan as an Eligible Destination for Exports of Consumer Communications Devices under License Exception CCD )
- No. Your item must meet all the criteria of License Exception CCD to qualify for export or reexport under License Exception CCD including meeting the definition of a "consumer" communications device that ...
- Created on 21 October 2016
- 5. Does de minimis still apply for reexports to Russia when the incorporated items proposed for re-export or export from abroad are subject to license requirements under §746.5 of the EAR?
- (Russia Oil and Gas Sanctions )
- The applicability of de minimis is not end-user/use based. It is destination based. Therefore, the items that are subject to license requirements under §746.5 of the EAR should not be included as controlled ...
- Created on 21 October 2016
- 6. Q.2: If I know at the time of export, reexport or, transfer (in-country) that an item is for a permanent export, reexport, or transfer (in-country), can paragraph (b)(2)(iii)(C) still be used?
- (License Exception GOV )
- A 2: No. Paragraph (b)(2)(iii)(C) may only be used when you know that the item will be temporarily exported, reexported, or transferred (in-country).
- Created on 02 December 2016
- 7. How do license exceptions relate to license requirements for Sudan in the Export Administration Regulations?
- (Sudan: Change of Licensing Policy for Exports of Civil Telecommunications-related Infrastructure Items to Sudan and Addition of Sudan as an Eligible Destination for Exports of Consumer Communications Devices under License Exception CCD )
- Most items described on the Commerce Control List require authorization in the form of a license from BIS for export or reexport to Sudan under Section 742.10 of the EAR, the provision that establishes ...
- Created on 21 October 2016
- 8. Due to the sanctions, do export/reexport transactions of items covered under License Exception CCD also require separate authorization from the Department of the Treasury’s Office of Foreign Assets Control ...
- (Sudan: Change of Licensing Policy for Exports of Civil Telecommunications-related Infrastructure Items to Sudan and Addition of Sudan as an Eligible Destination for Exports of Consumer Communications Devices under License Exception CCD )
- Because OFAC and BIS share jurisdiction over certain exports and reexports to Sudan, these changes have been made in coordination with OFAC, which simultaneously has issued parallel amendments to the Sudanese ...
- Created on 21 October 2016
- 9. What licensing requirements and/or license exceptions may apply to commercial shipments of items subject to the Export Administration Regulations (EAR) to U.S. Embassies located outside of the United
- (Embassy FAQs )
- For purposes of the EAR, a commercial shipment to a U.S. Embassy located outside the United States is an export or reexport to the country in which the U.S. Embassy is located (the host country). For example, ...
- Created on 20 October 2016
- 10. What is a "deemed re-export"
- (Embassy FAQs )
- The term “deemed re-export” is often used to indicate the transfer of controlled U.S. technology to a third-country national overseas. As an example, a U.S. exporter transfers its controlled proprietary ...
- Created on 20 October 2016
- 11. What licensing requirements and/or license exceptions may apply to commercial shipments of items subject to the Export Administration Regulations (EAR) to U.S. Embassies located outside of the United
- (Embassy FAQs)
- For purposes of the EAR, a commercial shipment to a U.S. Embassy located outside the United States is an export or reexport to the country in which the U.S. Embassy is located (the host country). For example, ...
- Created on 05 December 2016
- 12. May I use License Exception Temporary Imports, Exports, Reexports, and Transfers (in-country) (TMP) to temporarily export certain consumer communication devices and related software to Sudan?
- (Sudan: Amendment to allow temporary export and reexport of items described in license exception Consumer Communication Devices (CCD) as “tools of the trade” under license exception Temporary Import, Exports, Reexports, and Transfers (in-country) (TMP) )
- Yes. You may use License Exception TMP (section 740.9 of the Export Administration Regulations (EAR)) to temporarily export (as well as reexport to Sudan, or transfer (in-country)) employer-owned consumer ...
- Created on 21 October 2016
- 13. How do I know if a foreign national would be subject to the deemed export regulations?
- (Deemed Export FAQs )
- Any foreign national is subject to the deemed export regulations except a foreign national who (1) is granted permanent residence, as demonstrated by the issuance of a permanent resident visa (i.e., Green ...
- Created on 21 October 2016
- 14. I received a license authorizing me to export equipment. There aren’t any conditions on the license that prohibit me from shipping technology. Can I send the technology necessary to maintain the equip
- (Regulations FAQs )
- No, not if the technology is subject to the EAR, requires a license for export to the planned destination, and is not eligible for shipment under a license exception. Licenses issued by BIS authorize the ...
- Created on 01 December 2016
- 15. I have read elsewhere on your web page the requirements for information that the Bureau of Industry and Security (BIS) wants in order to process a deemed export license application. I see that you require ...
- (Deemed Export FAQs )
- The information we normally request derives from a curriculum vitae/resume or from company background checks. The information that BIS may request as part of the license application process is requested ...
- Created on 21 October 2016
- 16. Q.2. The STA prior consignee statement requires a non-government consignee of a “600 series” item received under STA (either as an export, reexport, or transfer) to agree to an end-use check. Does this ...
- (License Exception Strategic Trade Authorization (STA) )
- Q.2. The STA prior consignee statement requires a non-government consignee of a “600 series” item received under STA (either as an export, reexport, or transfer) to agree to an end-use check. Does this ...
- Created on 02 December 2016
- 17. Can a Third Party foreign company submit an Export License Application?
- (SNAP-R FAQs )
- Foreign parties are not authorized to submit export license applications as this Work Item type is only permissible by a domestic US party. A foreign party subsidiary cannot submit an Export License Application ...
- Created on 05 December 2016
- 18. Is the export or reexport of patented information fully disclosed on the public record subject to the EAR?
- (Section I (for FAQs on technology and software): MISCELLANEOUS)
- Information to the extent it is disclosed on the patent record open to the public is not subject to the EAR even though you may use such information only after paying a fee in excess of the costs of reproduction ...
- Created on 21 October 2016
- 19. I received a license authorizing me to export equipment. There aren’t any conditions on the license that prohibit me from shipping technology. Can I send the technology necessary to maintain the equip
- (Standard License Condition FAQs)
- No, not if the technology is subject to the EAR, requires a license for export to the planned destination, and is not eligible for shipment under a license exception. Licenses issued by BIS authorize the ...
- Created on 21 October 2016
- 20. What kind of documentation or information is required in support of a license application for an item subject to missile technology export controls or when the item to be exported will be used in a missile ...
- (Missile Technology FAQs )
- The information provided with your application should include technical specifications or brochures on the items you wish to export. Information that substantiates the legitimate activities of the end-user ...
- Created on 21 October 2016