U.S. Export Control Laws
Overview for the University of Rochester Community.
This is intended only as Guidance, may contain errors and is not a substitute for directly reviewing applicable laws/regulations.
U.S. Export Links
- Relevant export control laws
- Restricted party screening
- OFAC sanctions
- Export Administration Regulations (EAR)
- What is subject to the EAR
- What is not subject to the EAR
- export control classification number (ECCN) determination
- Determining the applicable ECCN
- Exports
- traditional “export”
- ECCN examples
- “deemed export”
- ECCN examples
- Operating EAR controlled software in the U.S.
- Biological research in the U.S. using EAR controlled viruses, bacteria, toxins for fundamental research
- Operating EAR controlled equipment in the U.S.
- Important considerations to always keep in mind about deemed export concerns on campus at the University
- 9x515 and 600 series ECCNs
- Export license exceptions
- Examples
- Baggage (BAG)
- Temporary Imports, Exports, Reexports, and Transfers (In-Country) (TMP)
- Technology and Software Unrestricted (TSU)
- U.S. university bona fide and full time regular employees
- International Traffic in Arms Regulations (ITAR)
- Technology control plans (TCPs)
- International travel
- IT security
- EAR encryption carve out
- ITAR encryption carve out
- NIST 800-171 / Controlled Unclassified Information
- Automated Export System (AES) / Electronic Export Information (EEI)
- Distance learning / online courses
- Violations / Penalties
- Report Suspected Violations