Enough has already been said about the new ITAR section 126.18 when comparing it to 124.16 and the reason for its coming about. Some of us in the ITAR arena think that the cure is worse than the disease, some of us don’t. But, no matter what our feelings or thoughts may be, many companies do want to implement the new rule and wish to set up a Technology Security Control Plan, screening process and execute NDA with their regular employees and section 120.39 long-term contract…Continue
That time of year again when the WCO publish their October newsletter.
The focus in this edition is: US Customs and Border Protection and how their "Centers of Excellence and Expertise" are being used to revitalize trade.
Attention is also brought to WCO’s 60th anniversary…Continue
Dear member of globaltradecompliance.net,
We herewith provide you with our free Export Control and Sanction Regulations Alert Service as we hope it may be of interest to you. We will inform you about updates and our view on EU and US Export Control and Sanctions, other Compliance Issues and Recent Penalty Notices.
This free alert service is of interest to representatives of Dual-Use and Military Item Manufacturering…
I'm curious to hear and learn from members as to what the ideal benchmarking platform is. Do you engage in benchmarking both formal and/or informal? Do you have any tips or suggestions (or resources)…Continue