Du finder os her
State Department Agreement Guidelines
DDTC agrees to new agreements with the necessary changes before September 1, 2016, when the itAR changes are implemented. Any agreement/amendment submitted after August 11, 2016, but before September 1, 2016, without necessary changes, will be reviewed by DDTC. In such cases, the applicant is required to make the necessary changes to the agreement/modification prior to implementation, in accordance with the provisional clause of the agreement/modification. As of September 1, 2016, all agreements/amendments will be submitted to the DDTC in accordance with ITAR`s amendments and guidelines. Excelerate focuses on the international defence and aerospace sectors and defines our know-how by supporting all aspects of ITAR and EAR compliance. Our team of international economic coordinators provides compliance, agreement, licensing, training and advisory services to companies around the world in the implementation of ITAR and EAR-related operations. Export control does not mean that export is prevented and it takes experience and understanding of technology to work with companies to promote export authorization. “Technical data or defence services exported from the United States to promote this agreement and any defence items that may be manufactured or manufactured from such technical data or defence services may not be transferred to a foreign person unless, pursuant to Article 126.18, pursuant to Article 126.18, if prior written authorization from the Department of Foreign Affairs has been obtained.” The provisional suspension, amendment and exemption of the duration of ITAR licences and agreements described under the number 2 of 85 FR 25287 is not renewed. While many commentators appreciated the initial action, one commentator suggested that it should not be extended. Although three commentators have requested an extension for a variety of reasons, DDTC does not accept these requests. DDTC notes that the majority of commentators did not make such a request and that among those who did, some of the reasons related to DDTC`s internal operations and coordination with other sectors of government. DDTC believes that progress is being made on these issues and that the continued extension of all existing authorities is an over-response to the current situation. DDTC, its inter-institutional partners and regulated companies have had several months to adapt to the current situation, and DDTC believes it is prepared to process the authorizations in accordance with its legal requirements.
None of our domestic or international clients in the U.S. are the same, some in need of occasional support and others act as a compliance service. Our flexibility in adapting to your needs makes us unique in this sector. We make a difference every time, so don`t hesitate to contact us by email or text, so we can offer the export compliance solution that best suits your organization, wherever you live. Sarah Heidema, Office of Defense Trade Controls Policy, U.S. Department of State, Phone (202) 663-1282, or e-mail DDTCResponseTeam@state.gov. ATTN: suspension extension, modification and waiver. Any changes to existing agreements, in accordance with changes to the ITAR and guidelines, are not necessary until the applicant submits his next major amendment to DDTC.