|Export Control Compliance Requirements for Project Personnel
Project account will not be set up and no funding will be released until the compliance requirements are complete.
Adding new personnel: New personnel cannot begin work on an active export controlled project unless the personnel has been approved by OVPR and the sponsor. Contact email@example.com if you wish to add someone new to an active export controlled project.
UConn’s Export Control Policy can be found here.
These guidelines and sample documents are designed to determine if the EAR or the ITAR affect a particular research project, and to take appropriate action to ensure compliance with the Federal Export Control regulations.
- Decision Tree: Overview of Process
- Export Control Compliance Package (Blank)
- Investigator Compliance Letter (Sample)
- Final Compliance Report (Sample)
In order to ensure that items are appropriately identified as EAR or ITAR controlled, the following processes will be implemented for all hardcopy or electronic documents that contain EAR or ITAR controlled Technical Data:
The following statement shall be included on the cover page, sleeve, or cover of any design file, software disc, or document (hardcopy or electronic) containing EAR or ITAR controlled Technical Data:
This document contains technical data whose export is restricted by the Arms Export Control Act (Title 22, U.S.C., Sec 2751, et q.) or the Export Administration Act of 1979, as amended, Title 50, U.S.C., App. 2401 et seq. Violations of these export laws are subject to severe criminal penalties.
Include the appropriate following statement in the footer on each page of design files or documents (hardcopy or electronic) which contains EAR or ITAR controlled Technical Data:
This page contains EAR Restricted Data.
This page contains ITAR Restricted Data.