U.S. Export Controls and Data Storage in Non-US Locations

In accordance with the International Traffic in Arms Regulations (22 CFR 120-130 – herein, “ITAR”) technical data may not be exported to any Non-US Person, including to any location outside of the United States, without specific authorization by the U.S. State Department. Managing the physical location of any servers used for email or data storage [...]

By |2022-05-01T21:10:21-04:00April 29th, 2022|Comments Off on U.S. Export Controls and Data Storage in Non-US Locations

Testing on Hardware: Controlled or Not Controlled – That is the Question

An export control question for services performed and tests conducted on various types of hardware: How do we know if the results are export controlled or not?  Great question and potentially complicated to work through. A simple rule of thumb (and fair rule) is to treat the results at the “highest” export level. Four Simple [...]

By |2022-04-29T20:16:37-04:00April 29th, 2022|Comments Off on Testing on Hardware: Controlled or Not Controlled – That is the Question

Six Tips for Effective ITAR Export Compliance Procedures

Too many times, export compliance procedures are a meaningless clump of definitions and a menagerie of content collected from seminars or templates found on the internet.  What you are left with is a set of written documents that do not reflect your unique business culture.    Other times, export compliance procedures are so detailed and restrictive that, [...]

By |2022-05-09T14:28:41-04:00April 29th, 2022|Comments Off on Six Tips for Effective ITAR Export Compliance Procedures
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