Without such a written undertaking by the foreign principal, the U.S. agent who becomes the "exporter" for export control purposes. This rule provides that when the foreign principal party expressly assumes responsibility in writing for determining license requirements and obtaining necessary authorization, that foreign party must have a U.S. In a "routed export transaction," the foreign principal party in interest agrees to terms of sale that may include assuming responsibility for export licensing. In its July 10, 2000, Federal Register notice, BIS and Census explain that: forwarding agent to facilitate the export of items from the United States on their behalf. In a routed export transaction, the foreign-principal-party-in-interest (the “FPPI”) authorizes a U.S. 42565), BIS defines a "routed export transaction", as well as "principal parties in interest". In its final rule ( July 10, 2000, 65 F.R. In a joint Federal Register publication, the Bureau of Census and the former Bureau of Export Administration (now “BIS”) clarified these roles and responsibilities. Export Regulations.įor routed export transactions, there is often a lack of understanding with respect to the legal responsibilities of parties to an export transaction. Census Bureau's Foreign Trade Division at the August 16, 2006, CBFANC educational workshop on U.S. Responsibilities Of Parties In “Routed” Exportĭo you know the difference between a “routed” export transaction and a “non-routed” export transaction? Not knowing can be a violation of the Census and BIS regulations and can cost you money commented Jerome Greenwell, Branch Chief, Regulations, Outreach and Education Branch, U.S.
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