When to Contact Us

 

Questions? Contact the Office of Sponsored Programs and Research Integrity (exportcontrol@uccs.edu) for assistance with export control questions before engaging in any of the following actives, to ensure export control regulations do not apply:
 

  • Accept restrictions on publication, foreign national participation, or involve proprietary information in any activity
  • Work on research/projects that will involve military, intelligence, space, encryption software, or nuclear related information, technical data, equipment, or software
  • Travel outside of the United States
  • You intend to have foreign nationals participate in research
  • You intend to participate in an international collaboration
  • You intend to host a foreign visitor at UCCS

Export Control Background and Penalties

U.S. export control regulations are federal laws governing the export of certain commodities or information. Export control regulations exist to protect the national security and foreign policy interests of the United States. Export controls govern the shipment, transmission, or transfer of regulated items, information and software to foreign countries, persons or entities even in the United States.

Export Controls may arise for several reasons, the most common:

  • The nature of the export has a military application or economic protection issue;.
  • There are governmental concerns about the country, organization, or individual receiving information or technology; and
  • The end use or the end user of the export are of concern.

U.S. export control regulations are governed by the main federal agencies listed below:

  • Export Administration Regulations (EAR) administered by the U.S. Department of Commerce. These regulations cover dual use (civilian or military) technology.
  • International Traffic in Arms Regulations (ITAR) administered by the U.S. Department of State and cover military work.
  • The Office of Foreign Assets Control (OFAC) administered by the U.S. Department of Treasury that covers sanctioned countries controls.

Penalties for violations of export control regulations are may include criminal and civil penalties for UCCS and the individual employee, student, or faculty member.

Export Administration Regulations (EAR) Criminal Penalties:

Willful Violations

  • University: a fine of up to the greater of $1,000,000 or fives times the value of the export for each violation.
  • Individual: a fine of up to $300,000 or imprisonment for up to ten years, or both, for each violation.

Knowing Violations

  • University: a fine of up to the greater of $300,000 or two times the value of the export for each violation.
  • Individual: a fine of up to the greater of $300,000 or two times the value of the export or imprisonment for up to five years, or both, for each violation.

Civil Penalties:

The imposition of a fine of up to $295,141 for each violation. Additionally, for each violation of the EAR, any or all of the following may be imposed:

  • Denial of export privileges; and/or
  • Exclusion from practice; and/or
  • Seizure/forfeiture of goods; and/or
  • Inability to obtain federal contracts.

International Traffic in Arms Regulations (ITAR) Criminal Penalties:

  • University: a fine of up to $1,000,000 for each violation.
  • Individual: a fine of up to $500,000 or up to ten years in prison, or both, for each violation.

Civil Penalties:

  • University: a fine of up to $1,00,000 for each violation.
  • Individual: a fine of up to $500,000 for each violation.

Additionally, for any violation of the ITAR, either or both of the following may be imposed:

  • Denial of export privileges
  • Seizure/forfeiture of goods
  • Inability to obtain federal contracts

Office of Foreign Assets Control Regulations (OFAC) Criminal Penalties:

  • University: a fine of up to $1,000,000 for each violation.
  • Individual: a fine of up to $1,000,000 or up to twenty years in prison, or both, for each violation.

Civil Penalties:

  • University: a fine of up to $284,582 or twice the amount of the underlying transaction for each violation.
  • Individual: a fine of up to $284,582 or twice the amount of the underlying transaction for each violation.

Additionally, for any violation of the OFAC regulations, seizure and forfeiture of goods may result.

Export Control Primer for Researchers

Quick Reference Export Control Information Sheet PDF Document

Export controls are federal laws that regulate the distribution of controlled devices, software, and information when such items are designated as "defense articles" or "dual use" commodities. Although these regulations frequently do not affect research activities, they can apply to the following situations:

  • The nature of the technology in the research has actual or potential military applications,
  • Foreign countries, organization(s), or individual(s) involved in the research are prohibited by law,
  • The government regulates the potential end-use or the end-user of the technology resulting from the research.

How Export Controls Can Affect Research

Main impacts of export controls on Sponsored and Un-Sponsored research:

  • Sponsors can restrict foreign nationals (students, post docs and visiting scholars) from accessing or participating in on-campus research,
  • Sponsors can restrict the dissemination or publication of research results (i.e. via Distribution Statements on Technical Documents),
  • Sponsors can require implementation of security measures to handle export controlled items and technical data associated with research,
  • U.S. export control laws can limit shipments, exchanges of informationtravel and financial transactions to certain countries and nationals of those countries.

General Areas of Concern Where Export Controls Could Apply to Research

Technology subject to export control regulations?

  • Research involving technologies specified in the International Traffic in-Arms Regulations (ITAR) or the Export Administration Regulations (EAR) may be export controlled unless they qualify for an exclusion,
  • Technologies involving controlled pathogens, toxins, bacteria, fungi, select agents, or chemicals have different qualifications for exclusions.

Physical Exports?

  • A license may be required if the research involves the international shipping of export controlled equipment or data.

Deemed Exports?

Classroom/Online Instruction?

Export control regulations do not apply to most information released in academic catalog-listed courses or in teaching labs associated with those courses. This educational exclusion is based on the recognition in ITAR that "information concerning general scientific, mathematical, or engineering principles commonly taught in schools, colleges, and universities, or information in the public domain" should not be subject to export control restrictions. The EAR provides that educational information released by instruction in catalog courses and associated teaching laboratories of academic institutions (except for certain encryption technology) is not subject to the EAR.

  • However, there are some topics within courses that are subject to the EAR, so it is important to recognize the following topics that are sensitive and in some cases subject to Export Controls:
    •  Encryption software (possibly in engineering or computer courses);
    • Topics of discussion in courses within the scope of ITAR (such as astro/aero physics, or nuclear science) can possibly meet the definition of "defense service" which is subject to control;
    • Sensitive Nuclear Technology (possibly in engineering, science, or physics courses).

It is important to note that follow-on-questions and discussion can go beyond public information and into practical implementation, which requires specific authorization. If you have questions or concerns about your classroom instruction please contact Michael Sanderson via email exportcontrol@uccs.edu or 719-255-3044. 

Online Education Export Controls may also affect some online education. 

Online courses that are actively delivered, however, in which forums for interaction among students and teachers are provided, homework is assigned and evaluated, quizzes and tests are administered and graded, and evidence of successful completion is considered as providing a service, which is not generally authorized, and requires a specific authorization for students in or ordinarily resident in Cuba, Iran, and Sudan, under OFAC's sanctions. 

In contrast, open courseware, in which the entire content of a course is freely available, is considered as public information and informational material and is therefore excluded from EAR and ITAR controls, and is generally authorized under OFAC (no specific authorization required).  

Note- Massive Open Online Courses (MOOC) may be impacted by export control regulations it depends on the design of the course and the interaction provided. Learn more please review this blog post from Harvard- Updates from the Second Annual Impact of Export Controls on Higher Education and Scientific Institutions Conference (Part 1 - MOOC)

If you have questions or concerns about online educations and export controls please contact Michael Sanderson via email exportcontrol@uccs.edu or 719-255-3044. 

Foreign Travel?

  • International travel with export controlled equipment or data may require a license or a "tool of trade" exception,
  • Travel to sanctioned/embargoed countries may require a license and limit the hand-carrying of certain technologies,
  • Provisioning financial support or services overseas in a sanctioned/embargoed country or foreign nationals of those countries is highly regulated.

Defense Research?

  • Unfunded research related to nuclear, chemical, biological, weaponry, missiles, unmanned vehicles, or strong encryption technologies is subject to the ITAR,
  • Contract and grants funded by the Department of Defense or NASA can be subject to the ITAR,
  • Restrictive clauses in defense research contracts can limit publication, foreign national access or participation,
  • Research involving the use of defense articles on the ITAR U.S. Munitions List (USML) or associated technical data does not qualify for an exclusion, and may require implementation of research security measures.

Dual Research of Concern (DURC)?

  • Dual Use Research of Concern (DURC) is defined as life sciences research that, based on current understanding, can be reasonably anticipated to provide knowledge, information, products or technology that could be directly misapplied to pose a significant threat with broad potential consequences to public health and safety, agricultural crops and other plants, animals, the environment, materiel, or national security.
  • To learn more about DURC please visit the following Public Safety website-//www.uccs.edu/pusafety/environmental/export-control/dual-use-research-of-concern

Process for Determining if Export Controls Apply to Research

Office of Sponsored Programs and Research Integrity reviews proposals and award:

  • Determine if research qualifies for an export control exclusion, or
  • If the research is otherwise subject to export controls,
  • Screen for restricted parties,
  • Negotiate restrictive or troublesome clauses with the Sponsor to ensure research qualifies as fundamental research.
  • Inform the PI of projects that have export control restrictions, or that are suspect and require further determination.

Exclusions to Export Controls

Three sheltering exclusions exempt most university research from export control regulations:

Certain qualifying criteria must be met for exclusion(s) to apply. If exclusion criteria are not met, ITAR or EAR technologyarticles, software, or technical data may be subject to export controls. Avoiding restrictions on access and dissemination of research findings in contracts with the U.S. Government and industry is a key strategy for minimizing export control issues in university and research laboratory settings.

PI's assist the Office of Sponsored Programs and Research Integrity:

  • Assist OSPRI to determine if the technology involved in their research is specified in the ITAR U.S. Munitions List (USML) or the EAR Commerce Control List (CCL) when requested,
  • Assist the OSPRI to develop Technology Control Plans (TCP) and implement research security measures if required,
  • Notify the OSPRI when new staff are added (students, post docs, visiting scholars) or there is a change in scope of an export controlled project,
  • Ensure foreign nationals are excluded from access to export controlled technology or data until the availability of an exclusion has been determined, or an export license has been obtained.