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Call UF Research Integrity, Security and Compliance at 352-392-9174 or email us at exportcontrol@research.ufl.edu.
An ‘export’ occurs whenever controlled technology, technical data, software, materials, equipment, technical assistance or defense services are disclosed in any medium or manner outside of the United States, or to a foreign person no matter where located. If an export of technical data, technology, or software to a foreign person occurs within the U.S. (even on Campus), that action is termed a “deemed” export. The US government has deemed that the ‘release’ of the controlled technical data, technology, or software to the foreign person is the equivalent of providing it to the foreign person’s country of citizenship, permanent residency or in some cases the foreign person’s country of birth. Under official guidelines issues by the Department of State Technology, software, or technical data is ‘released’ for export through:
Although the term ‘Deemed Export’ is only defined in the EAR the concept also applies to the ITAR and Part 810 regulatory schemes.
Under the EAR the release of EAR controlled ‘Technology’ or source code software to a foreign person in the United States is a deemed export. Further Technology is specific information necessary for the ‘Development’, ‘Production’, or ‘Use’ of a commodity subject to the EAR. For the most part a foreign person can have access to and operate equipment identified on the Commerce Control List (CCL).
The ITAR, however, has a much broader definition of the ‘Deemed Export’ concept. Under the ITAR access to or provision of ‘Technical Data’ or ‘Defense Services’ as well as access to ‘Defense Articles’ are licensable activities. As such, under most circumstances, a license must be obtained prior to a foreign person obtains access to any information, item, material, or software located on the United States Munitions List (USML).
Sanctions are prohibitions on financial transactions with; provision of material resources to; or activities in and with countries, entities or individuals designated by OFAC.
The University of Florida is a public institute of higher education whose mission consists of education, research and service. As a large, comprehensive, land-grant, research institution and a US institute of higher education, most research, teaching, or service at the University of Florida will appropriately fall under the fundamental research exclusion, the publicly available/public domain exclusion, the education exclusion or a combination of the three.
In order for research to fall under the fundamental research exclusion the following conditions must be met:
A Commodity Jurisdiction (“CJ”) is a determination on whether a project, item, software, information, service, etc. is subject to the International Traffic in Arms Regulations (ITAR) or another set of US Government regulations such as Export Administration Regulations (EAR). It is the responsibility of the person(s) developing the technology, conducting the research, exporting the item, and/or providing technical data/defense services to a non US person to make this determination after reviewing the United States Munitions List (USML) and the relevant sections of the International Traffic in Arms Regulations (ITAR). If after reviewing the USML and relevant sections of the ITAR one is unable to make this self-determination, an official CJ Request should be submitted to the US Department of State (State). Upon receipt State will process the request and make an official determination that will be issued to the requesting party. During the CJ process the item subject to the CJ, whether it is research, an item, information or a service will need to be treated as ITAR controlled with all the appropriate security measures in place. It is always advisable to either make a self-determination or obtain a CJ from State prior to commencing the effort in question so that one does not inadvertently export/release the information, item or provide a defense service in violation of the regulations.
Call UF Research Integrity, Security and Compliance at 352-392-9174 or email us at exportcontrol@research.ufl.edu.