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Taking UT Abroad: Implications of Export Controls on Traveling and Working Abroad Kay Ellis, MHR Associate Director, Export Controls Officer Office of.

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Presentation on theme: "Taking UT Abroad: Implications of Export Controls on Traveling and Working Abroad Kay Ellis, MHR Associate Director, Export Controls Officer Office of."— Presentation transcript:

1 Taking UT Abroad: Implications of Export Controls on Traveling and Working Abroad Kay Ellis, MHR Associate Director, Export Controls Officer Office of Sponsored Projects

2 How do the export regulations affect travel outside the U.S. for UT employees? Commerce and State have regulations that affect:  Physically taking items with you on a trip such as  Laptops  Encryption products on your laptop  Data/technology  Blueprints, drawings, schematics  Supplying certain technologies/data at a “closed” conference or meeting  Note-taking not allowed  Not open to all technically qualified members of the public

3 How do the export regulations affect travel outside the U.S. for UT employees? The Office of Foreign Assets Control (OFAC) has regulations that affect:  Money transactions and the exchange of goods and services in certain countries – providing “value”  Travel to sanctioned countries:  Balkans, Belarus, Burma, Cote d’Ivoire, Cuba, Democratic Republic of the Congo, Iran, Iraq, Former Liberian Regime of Charles Taylor, North Korea, Sudan, Syria, and Zimbabwe  Doing business with certain people or entities  Commerce, State, and OFAC have “lists”

4 What does this mean? The bad news….  A license could be required depending on what you are taking and the country you are traveling to  A license or technical assistance agreement would be required if you were providing a “defense service” to a foreign person A defense service means the furnishing of assistance (including training) to a foreign person relative to a defense article. It also includes furnishing any technical data relative to a defense article.  There are consequences if you violate the regulations!

5 What does this mean? The good news…  Travel to most countries does not usually constitute an export control problem!  Taking a laptop with only Microsoft Office Suite, Internet Explorer, etc. okay to most countries – no license required  Export issue if taking to Cuba, Syria, Iran, North Korea, or Sudan

6 The good news…. License exceptions/exemptions available  In most cases, if you are taking or need to work with export controlled info abroad, a license exception or exemption is available!  An exception/exemption is not needed if you are taking a “clean” laptop to countries other than Cuba, Syria, Iran, North Korea, or Sudan  There are some items you can take that are controlled but don’t require a license to most countries; i.e., you don’t need to use the exception  Items, software should be evaluated before travel

7 Department of Commerce Exception - (TMP) What does it cover?  Temporary “export” of items such as:  Laptops with controlled technology and/or data  Digital storage devices with controlled technology and/or data  Most Software  Designs, drawings that are export controlled  Other “tools of the trade”

8 Department of Commerce Exception - (TMP) What is not covered?  The exception does not apply to:  Satellite or space-related equipment, components, or software  Exports related to nuclear activities except for a limited number of countries  Technology associated with high-level encryption  Travel to Iran, Syria, Cuba, North Korea, or Sudan  Anything regulated by the Department of State’s International Traffic in Arms Regulations (ITAR)

9 The Commerce License Exception (TMP) Certification Form  Insert name of person traveling and current date  Insert a description of controlled item/technology  The person signing the form certifies:  The items taken are for UT business only  The items will be returned within 1 year of leaving U.S.  The items will be kept under the person’s “effective control” while abroad http://www.utexas.edu/research/osp/export_control/license_exceptions.html

10 The License Exception (TMP) Certification Form, con’t.  The person also certifies:  Security measures will be taken to secure technology or transmission of technology on laptop such as  Secure connections using email and the transmission and use of the technology  Use of passwords systems on electronic devices  Use of personal firewalls on electronic devices  Items will not be taken to Iran, Syria, Cuba, North Korea or Sudan without consulting Export Controls Officer in OSP  Signed Certification is returned to Export Controls Officer

11 Dept. of State’s International Traffic in Arms (ITAR) Exemption – What does it cover?  ITAR Exemption 125.4(b)(9): Data for Use Only by U.S. Person  ITAR controlled technical data, including classified information, sent by a UT Austin employee to a UT employee while working outside the U.S.  Info can be mailed – other reporting requirements  Can also be sent via oral, visual, or electronic means  Conditions in the ITAR Certification must be met

12 Dept. of State’s International Traffic in Arms (ITAR) Exemption – What is not covered?  ITAR technical data in your physical possession – you can’t take it with you without a license from State  Data can’t be used for foreign production purposes  Data can’t be used for technical assistance to a foreign person or company  Data can’t be sent to countries proscribed in 126.1 of the ITAR:  Belarus, Burma, China, Cuba, Eritrea, Iraq, Iran, Lebanon, Liberia, North Korea, Sierra Leon, Sudan, Syria, Venezuela  Case-by-case: Afghanistan, Democratic Republic of the Congo, Haiti, Libya, Vietnam, Somalia, and Sri Lanka

13 The Dept. of State Certification Form: ITAR Exemption 125.4(b)(9)  Recipient of the ITAR data enters information  Insert description of technical data  Insert name of recipient  Insert date and time of export  Insert method of transmission - mail, electronic, etc.  Recipient of ITAR data signs and sends to Export Controls Officer http://www.utexas.edu/research/osp/export_control/license_exceptions.html

14 The Dept. of State Certification Form: ITAR Exemption 125.4(b)(9) con’t.  By signing the Certification, the Recipient certifies  ITAR data will be used overseas by U.S. person only  Recipient is an employee of UT Austin  If information is classified, it will be sent overseas in accordance with the NISPOM  No export will be made to any country identified in ITAR 126.1  Certification will be printed on OSP letterhead  Export Controls Officer/Empowered Official signs  Fully signed copy will be sent to PI/Recipient

15 Security considerations when using the ITAR exemption  Security measures must be taken to secure technology or transmission of technology/data  Secure connections using email and the transmission and use of the technology  Use of passwords systems on electronic devices  Use of personal firewalls on electronic devices  Keep laptop/data under your “effective control”  Remove data from your laptop before you return to the U.S.

16 Recordkeeping Requirements  State and Commerce require documentation of exceptions and exemptions  Paperwork must be in place before you travel  Records must be kept for five years  PI/UT employee should keep a copy  Copy for Export Control Officer’s file  Copy for PI’s award file (if applicable)

17 Countries of Concern  OFAC: Balkans, Belarus, Burma, Cote d’Ivoire, Cuba, Democratic Republic of the Congo, Iran, Iraq, Former Liberian Regime of Charles Taylor, North Korea, Sudan, Syria, and Zimbabwe  STATE (ITAR 126.1): Belarus, Burma, China, Cuba, Eritrea, Iraq, Iran, Lebanon, Liberia, North Korea, Sierra Leon, Sudan, Syria, Venezuela  Case-by-case: Afghanistan, Democratic Republic of the Congo, Haiti, Libya, Vietnam, Somalia, and Sri Lanka

18 One more plug: Visiting Scientists  Don’t forget to use the Visiting Scientist Agreements!  Visiting Scientists should not have access to export controlled technology without a license  UT PI should already have a technology control plan in place to prevent access by unauthorized foreign nationals  Located on OSP Forms and Agreement link http://www.utexas.edu/research/osp/forms/intforms.html http://www.utexas.edu/research/osp/forms/intforms.html

19 Questions? Kay Ellis 512-475-7963 kay.ellis@austin.utexas.edu More information on export controls can be found at: http://www.utexas.edu/research/osp/ECR&R.htm


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