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Itar registration exemptions Form: What You Should Know

If you don't know whether the item you want to export contains a dual use item, and you are not sure if you need an exemption to do business with a particular foreign government and that government's military, you can apply for a special DoD Exemption to conduct business under the special authorization authority. This is known as a Foreign Government Requiring Exemption (GRU) for a dual use item. If you are working with a U.S. government agency or department of state, you can apply for an GRU of a dual use item that it has declared to its Foreign Policy Classification Board (PCB). The PCB is part of the State Management Division (SMC) of the Bureau for Management Support (BMS) within the Department of Energy (DOE). You can find out if your item qualifies for a GRU by contacting the BMS. They will provide you with an exemption letter that explains the requirements of this provision.” STAR § 166.25 (b)(3) — DoD recommends exporters make good faith determination whether a request for clearance on this form is made solely to meet a military requirement, or is made primarily to meet or enable a contingency operation, including national security requirements. See other guidance from DOE More guidance from NSF DoD Directive 3200.2 — “Exemptions for the Acquisition of Dual Use Items and Procedures for the Issuance of Dual Use Exemptions. All requests for a waiver of specific export control requirements related to the acquisition of dual use items shall be evaluated for the foreign policy justification stated. If the justification does not appear within the scope of the specific exemption requested, the exemption request should not be issued.” US Department of Commerce — Foreign Policy Classification Board “An arm of the Department of State that provides technical assistance to the US government by evaluating applications for export permits and licenses required for commercial, industrial or research activities. Its membership includes the Departments of State, Commerce, Defense (and the executive offices of the three departments), Justice, Treasury, EPA, OSD and the National Science Foundation.” Source U.S.

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Video instructions and help with filling out and completing Itar registration exemptions

Instructions and Help about Itar registration exemptions

Hey everybody, thanks for joining us for our fifth installment covering export control rules under EAR and ITAR. Now, let's recap where we are. We said that the rules restrict the export of controlled items without prior approval or a license. We mentioned before that we're going to frame our discussion of ITAR and EAR around four key areas: restrictions, exports, controlled items, and prior approval or licenses. We started first with ITAR, and we've already covered controlled items, exports, and restrictions under ITAR. In our last vlog, we said that contractors need a license before exporting a defense article. They also need to submit and receive pre-approval of a technical assistance agreement before they can provide defense service to a foreign person. Now, today we're going to briefly talk about three things that contractors should know about licenses and pre-approvals under ITAR. One thing that contractors should know is that they have to be registered with DDTC before they can obtain a license or pre-approval of a technical assistance agreement. Under ITAR, contractors must obtain and receive pre-approval from the Directorate of Defense Trade Controls, which is part of the Department of State. But before they can obtain pre-approval or a license, contractors must first be registered with DDTC. Now, contractors have to keep a couple of things in mind. First, they should be mindful of the potential delays that could result from this process. We talked in an earlier vlog that an export can occur in seemingly harmless circumstances. For example, sending an email with technical data that's related to a defense article to a foreign-born business partner or a company executive who is a foreign national. Well, if a contractor decides that this kind of export is unavoidable or even necessary, maybe a contractor needs critical feedback or input on...