| What is an Export?
What is "Technology" or "Technical Data"?
What are the Penalties for Violating the Export
Regulations?
What is Not Subject to the Deemed Export
Regulations?
What is "Published" Information?
What is Information Resulting from "Fundamental
Research"?
What is "Educational" Information?
What Kinds of Controls in a Government-Sponsored
Research Project would Compromise the Fundamental Research
Exemption?
Is a "Deemed Export" License Required in order for
Foreign Nationals to Use Controlled Equipment in Research
Projects, Classes, and Teaching Labs on Campus?
How Do I Ship a Controlled Item or Commodity Out
of the United States?
Where do I find the EAR and ITAR?
What is an "Export"?
In addition to actual shipment of a commodity out of
the country, the export regulations also control the transfer,
release or disclosure to foreign persons in the United States of
technical data about controlled commodities. The "deemed
export" regulation states that a transfer of "technology" (EAR
term) or "technical data" (ITAR term) to the foreign person is
"deemed" to be an export to the home country of the foreign
person. Accordingly, for all controlled commodities, a license
or license exception is required prior to the transfer of
"technology" or "technical data" about the controlled commodity
to foreign persons inside the U.S.
What is "Technology" or "Technical Data"?
These phrases refer to technical information beyond general and
basic marketing materials about a controlled commodity. They do
not refer to the controlled equipment/commodity itself, or to
the type of information contained in publicly available user
manuals. Rather, the terms "technology" and "technical data"
mean specific information necessary for the
development, production, or use of a commodity, and usually
takes the form of blueprints, drawings, photographs, plans,
diagrams, models, formulae, tables, engineering specifications,
and documentation. The "deemed export" rules apply to transfer
of such technical information to foreign nationals inside the
U.S.
What are the Penalties for Violating the Export
Regulations? Violations can result in both civil and
criminal penalties for the individual and for the institution.
In addition to a civil penalty not to exceed $10,000 for each
violation of the export regulation, there are criminal penalties
that may be imposed, including a fine of up to $1 million
against an entity, such as the University, and a
fine of up to $250,000, or imprisonment of not more than 10
years, or both against an individual. Voluntary
self-disclosures, if made appropriately, can mitigate the
seriousness of the penalty. Penalties apply to each individual
violation, which means that if a violation relates to more than
one controlled material or item or occurs on more than one
occasion, each item or incident may trigger a penalty. Contact
our Office immediately if you think you have
made a mistake and violated export controls; they can help
assess how best to remedy the situation.
What is Not Subject to the Deemed Export Regulations?
Technical data that is "in the public domain" under ITAR
(22CFRPart120(a)(5) and Part 120.11(a)) or "publicly available"
under EAR (15CFRPart734(b)(3), including "fundamental research",
is not subject to deemed export controls. Accordingly, complying is based largely
upon ensuring that research results generated at the University
meet the standards for being "publicly available" thereby avoiding the
necessity of securing a license prior to dissemination of
information to foreign nationals involved in the research,
including graduate students, post doctoral scholars, and
visiting scientists. For University-based research, there are
three different ways that the technical information may qualify
for an exemption from the deemed export regulations. It is
exempt if it:
- Is published or disseminated (as described at
15CFR734.7 and 22CFR120.11(a)(1) through (7))
- Arises during, or results from, fundamental
research (as described at 15CFR734.8 and 22CFR120.11(a)(8)),
or
- Is educational information (as described at
15CFR734.9 and 22CFR120.10(a)(5)) released by instruction in
catalog courses or associated teaching laboratories of
academic institutions.
What is "Published" Information?
Information is "published" (and therefore not subject to export
controls) when it becomes generally accessible to the interested
public in any form, including: (1) publication in periodicals,
books, print, electronic, or other media available for general
distribution (including websites that provide free uncontrolled
access) or to a community of persons interested in the subject
matter, such as those in a scientific or engineering discipline,
either free or at a price that does not exceed the cost of
reproduction and distribution; (2) readily available at
libraries open to the public or at university libraries; (3)
patents and published patent applications available at any
patent office; and (4) release at an open conference, meeting,
seminar, trade show, or other open gathering held in the U.S. (ITAR)
or anywhere (EAR). Note, a conference or gathering is "open" if
all technically qualified members of the public are eligible to
attend and attendees are permitted to take notes or otherwise
make a personal record of the proceedings and presentations. A
conference is considered open notwithstanding a registration fee
reasonably related to cost, and there may be a limit on actual
attendance as long as the selection is either 'first come' or
selection based on relevant scientific or technical competence.
What is Information Resulting from "Fundamental
Research"? The export control regulations exempt from
licensing requirements technical information (but not controlled
items) resulting from "fundamental research." Fundamental
research is defined as basic and applied research in
science and engineering conducted at an accredited U.S.
institution of higher education where the resulting information
is ordinarily published and shared broadly within the scientific
community. Such research can be distinguished from proprietary
research the results of which ordinarily are restricted for
proprietary reasons or specific national security reasons.
Research conducted by scientists, engineers, or students at a
university normally will be considered fundamental research.
The fundamental research exclusion permits U.S. universities to
allow foreign members of their communities (e.g., students,
faculty, and visitors) to participate in research projects
involving export-controlled technical information on campus in
the U.S. without a deemed export license. Further, technical
information resulting from fundamental research may be shared
with foreign colleagues abroad and shipped out of the United
States without securing a license.
Prepublication review by a sponsor of university research
solely to ensure that the publication does not compromise patent
rights or inadvertently divulge proprietary information that the
sponsor has furnished to the researchers does not change the
status of the research as fundamental research, so long as the
review causes no more than a temporary delay in publication of
the research results. However, if the sponsor will consider as
part of its prepublication review whether it wants to hold the
research results as trade secrets (even if the voluntary
cooperation of the researcher would be needed for the company to
do so), then the research would no longer qualify as
"fundamental". As used in the export regulations, it is the
actual and intended openness of research results that primarily
determines whether the research counts as "fundamental" and not
subject to the export regulations. University based research is
not considered "fundamental research" if the university or its
researchers accept (at the request, for example of an industrial
sponsor) restrictions on publication of scientific and technical
information resulting from the project.
What is "Educational" Information? Whether
in the U.S. or abroad, the educational exclusions in EAR and
ITAR cover instruction in science, math, and engineering taught
in courses listed in catalogues and associated teaching
laboratories of academic institutions, even if the information
concerns controlled commodities or items. Dissertation research
must meet the standards for "fundamental research" to qualify as
"publicly available."
What Kinds of Controls in a Government-Sponsored
Research Project would Compromise the Fundamental Research
Exemption? If the U.S. Government funds research and
specific controls are agreed on to protect information resulting
from the research, then information resulting from the project
will not be considered fundamental research. Examples of
"specific controls" include requirements for prepublication
review by the Government, with right to withhold permission for
publication; restrictions on prepublication dissemination of
information to non-U.S. citizens or other categories of persons;
or restrictions on participation of non-U.S. citizens or other
categories of persons in the research.
Is a "Deemed Export"
License Required in order for Foreign Nationals to Use
Controlled Equipment in Research Projects, Classes, and Teaching
Labs on Campus?
No, actual use of equipment by a
foreign national in the U.S. is not controlled by the export
regulations. Indeed, inside the United States, any person
(including foreign nationals) may purchase export-controlled
commodities, and the "deemed" export rule only applies to
technical information about the controlled commodity. As such,
while the use of equipment inside the U.S. is not controlled,
the transfer of technical information relating to the use (i.e.,
operation, installation, maintenance, repair, overhaul and
refurbishing) of equipment may be controlled in certain
circumstances.
For example, if the manufacturer of the equipment provided
the University some confidential, proprietary information about
the design or manufacture of the equipment, then the University
might need a "deemed" export license to provide such proprietary
information to a foreign national, especially if shipment of the
item to the home country of the foreign national would require
an export license. In sum, the export regulations allow foreign
students, researchers and visitors to use (and receive
information about how to use) controlled equipment while
conducting fundamental research on U.S. university campuses or
while studying at the institution, as long as the technical
information about the controlled equipment qualifies as "in the
public domain" or "publicly available."
How Do I Ship a Controlled Item or Commodity Out of
the United States? The transfer of commodities and
equipment is only controlled by the export regulations when the
item is shipped out of the country. Licenses to ship an item
outside the United States are required even when the item or
equipment is used in or results from fundamental research.
If a commodity is controlled under ITAR, then a license is
always required before it can be shipped to any country outside
the United States, except in limited circumstances such as
shipment to a military base overseas. Licenses are also
required to import such items. Except for
faculty involved in space-based research, in most cases the
University is not fabricating or shipping ITAR controlled items,
since these are generally items specifically designed for
military purposes.
For commodities controlled under EAR, whether a license is
required depends upon the country to which the item is being
shipped. Even in cases where license approval from the
Department of Commerce is not required to ship the item to the
country, there are administrative requirements and records that
must be maintained (see 15 CFR Part 762) regarding shipments of
EAR controlled items out of the United States. The Vice
Provost for Research can assist you in determining whether a
specific license is required, will secure a license when needed,
and can advise you on what records need to be maintained in
cases where the item can be shipped without a license.
Where do I find the EAR and ITAR? Our
Regulations page contains links to
these documents. |