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Wednesday, July 22, 2020 | History

3 edition of U.S. exports subject to national security controls (GAO/NSIAD-84-137) found in the catalog.

U.S. exports subject to national security controls (GAO/NSIAD-84-137)

United States. General Accounting Office

U.S. exports subject to national security controls (GAO/NSIAD-84-137)

by United States. General Accounting Office

  • 7 Want to read
  • 5 Currently reading

Published by The Office in Washington, D.C .
Written in English

    Subjects:
  • Export controls -- United States.,
  • Commerce.,
  • United States -- Commerce.

  • Edition Notes

    StatementUnited States. General Accounting Office.
    SeriesGAO/NSIAD -- 84-137
    The Physical Object
    Pagination[3] leaves ;
    ID Numbers
    Open LibraryOL22422835M

    Introduction, Effectiveness of National Security Export Controls, The Efficiency of Export Control Administration, Competitive Effects of Controls, Technical Data Controls, Use of the Militarily Critical Technologies List, The Policy Process and the Balancing of U.S. Interests, Notes, 6 AN ASSESSMENT OF THE.   Arms Export Control Act (AECA), 22 U.S.C. § , the Export Control Reform Act (ECRA), 50 U.S.C. § et seq., and the International Emergency Economic Powers Act (IEEPA), 50 U.S.C. § —directly to NSD This Policy sets forth the criteriathat the Department, through NSD’s Counterintelligence and Export Control Section (CES) 4.

    Export-controlled information may be disseminated only to U.S. citizens or immigrant aliens. It is important to note that discussion with a foreign national in the United States, or a person "acting on behalf of a foreign person," constitutes an "export" if it reveals technical information regarding export-controlled technology. U.S Government Controls on the Export of Technical Information It is a common fallacy to believe that a foreign filing license granted by the US patent and Trademark Office permits the recipient to export the technical information contained in the patent application for a wide variety of purposes which are not in fact covered by that license.

    Get this from a library! Commercial competition and national security: comparing U.S. and German export control policies. [Claus Hofhansel]. Located in the U.S. Where the information is ordinarily published and shared broadly in the scientific community Is not subject to proprietary or U.S. government publication or access dissemination controls (e.g. a restriction on foreign national participation) (22 C.F.R. (8); 15 C.F.R. (a) and (b)).


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U.S. exports subject to national security controls (GAO/NSIAD-84-137) by United States. General Accounting Office Download PDF EPUB FB2

The United States imposes export controls to protect national security interests and promote foreign policy objectives. The U.S. also participates in various multilateral export control regimes to prevent the proliferation of weapons of mass destruction and prevent destabilizing accumulations of conventional weapons and related material.

Pursuant to a congressional request, GAO discussed information concerning U.S. exports subject to national security controls. GAO determined that the specific information requested was not available. However, GAO requested the Department of Commerce to develop information by country on the dollar value of license applications approved in for exports subject to national security controls.

Balancing the National Interest: U.S. National Security Export Controls and Global Economic Competition [National Academy of Sciences, National Academy of Engineering, Institute of Medicine, Committee on Science, Engineering, and Public Policy, Panel on the Impact of National Security Controls on International Technology Transfer] on Price: $   “If Hong Kong is treated as a ‘Group D’ country, these exports would be subject to national security controls and would require a license, which may not be granted,” said Christopher Wall Author: Finbarr Bermingham.

In addition to control lists, the U.S. export control system also relies on catch-all controls to ensure that problematic dual-use exports -- which are not otherwise subject to export controls -- are capable of being tracked, discussed with the recipient government, or even denied as an export transaction.

(a) License requirements. It is the policy of the United States to restrict the export and reexport of items that would make a significant contribution to the military potential of any other country or combination of countries that would prove detrimental to the national security of the United ingly, a license is required for exports and reexports to all destinations, except.

• U.S. Census Bureau – While not a formal export control agency, the Census Bureau’s Foreign Trade Division is responsible for maintaining and implementing the Foreign Trade Regulations (15 CFR Part 30) that govern the preparation and submission of Electronic Export Information (EEI) submitted prior to most exports from the United States.

The export control regulations are not new. Federal regulations restricting the export of goods and technology out of the country have been around since the ’s. However, in recent years, attention to export control compliance has increased because of heightened concerns about homeland security, the proliferation of weapons of mass.

(a) Except for items excluded in paragraph (b) of this section, the following items are subject to the EAR: (1) All items in the United States, including in a U.S. Foreign Trade Zone or moving intransit through the United States from one foreign country to another; (2) All U.S. origin items wherever located; (3) Foreign-made commodities that incorporate controlled U.S.-origin.

The export of technical data to support the filing and processing of patent applications in foreign countries is subject to regulations issued by the U.S.

Patent and Trademark Office under 35 U.S.C. (reference y). The export of technical data which exceeds that used to support a domestic filing of a patent application, or to support a. Export Controls and National Security.

there are sound reasons to exercise caution in revising U.S. arms export and international security policies. should be subject. 85 FR Request for Comments on Future Extensions of Temporary General License (TGL), effective Ma The Bureau of Industry and Security (BIS) is requesting comments on future extensions of a temporary general license under the Export.

Pursuant to a congressional request, GAO discussed information concerning U.S. exports subject to national security determined that the specific information requested was not available. However, GAO requested the Department of Commerce to develop information by country on the dollar value of license applications approved in for exports subject to national security controls.

These final rules significantly reduce the regulatory burden on the U.S. commercial firearms and ammunition industry, promote American exports, and clarify the regulatory requirements for independent gunsmiths, while at the same time prioritizing national security controls and continuing our ability to restrict exports where human rights.

The U.S. Export Control System and the Export Control Reform Initiative Congressional Research Service Summary Difficulty with striking an appropriate balance between national security and export competitiveness has made the subject of export controls controversial for decades.

Through the. U.S. Commerce Department Expands Export Restrictions on Russia. WASHINGTON – The U.S. Department of Commerce's Bureau of Industry and Security (BIS) today is further restricting trade with Russia in response to Russia's continued actions supporting separatists in Ukraine.

BIS will institute a policy denying export, reexport or foreign transfer of certain items for use in. The video provides an overview of the Export Administration Regulations (EAR) as administered by the U.S. Department of Commerce’s Bureau of Industry and Security, as well as the role of the U.S.

State Department’s Directorate of Defense Trade Controls, and the U.S. Department of the Treasury’s Office of Foreign Assets Control in export. to national security reasons; MAJOR foundation of much U.S.

export control policy due to failure to reauthorize the Export Administration Act (EAA) giving the President the authority to control exports for reasons of national security, foreign policy, and/or short supply. (C) should coordinate controls on items exported, reexported, or in-country transferred in connection with a foreign military sale under chapter 2 of the Arms Export Control Act (22 U.S.C.

et seq.) or a commercial sale under section 38 of the Arms Export Control Act [22 U.S.C. ] to reduce as much unnecessary administrative burden as.

Commerce’s Bureau of Industry and Security (BIS), control exports and -exports of a re broad range of nonmilitary (-i.e., “dual-use”) goods and technology for both national security and foreign policy reasons. the exporter will put the end user on notice that the items are subject to U.S. law, and any re-export of the item by the.

Technology Control Plan (“TCP”): A TCP is an internal written document that outlines the procedures that must be followed on a project-specific basis to ensure the appropriate protection of technology and/or information that is potentially subject to export control regulations, or is otherwise protected from dissemination for national.Export of cryptographic technology and devices from the United States was severely restricted by U.S.

law until The law gradually became eased until aroundbut some restrictions still remain today. Since World War II, many governments, including the U.S.

and its NATO allies, have regulated the export of cryptography for national security reasons, and, as late as .The U.S. government regulates the transfer of technology or technical data to foreign nationals in the U.S. (i.e., a deemed export).

You may need a license prior to sharing export-controlled technology or technical data. See the UC Export Control Policy for more detailed information and links to the regulations.

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