ARTICLE
30 January 2020

Export Control Reminder: Encryption Reporting Deadline February 1, 2020

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Cooley LLP
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Clients partner with Cooley on transformative deals, complex IP and regulatory matters, and high-stakes litigation, where innovation meets the law. Cooley has nearly 1,400 lawyers across 18 offices in the United States, Asia and Europe, and a total workforce of more than 3,000.
The new year brings with it the reporting deadlines for exports of encryption items under the US Export Administration Regulations.
United States International Law
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The new year brings with it the reporting deadlines for exports of encryption items under the US Export Administration Regulations. February 1, 2020, is the deadline for submitting annual self-classification reports for encryption items exported or re-exported during calendar year 2019 (January 1 through December 31, 2019), as well as semi-annual reports for specified encryption items exported or re-exported between July 1 and December 31, 2019.

A few notes and reminders:

  • We can provide a template and instructions that can be used to prepare and submit the report.
  • Companies that have obtained a formal commodity classification or CCATS for certain encryption products are no longer required to submit annual self-classification reports. Please contact us to learn more about how to obtain a CCATS from the Commerce Department and eliminate your annual self-classification reporting burden going forward.
  • Encryption software that is made available to the general public either as open source code (e.g., via GitHub) or via free download (e.g., via the Apple App Store or Google Play) become no longer subject to the EAR upon the filing of a one-time notification or report. If your products are offered in the form of open source code or free apps, we can assist in the preparation and submission of the one-time notification or report.

The new year is also a good time to conduct an export compliance check-up, including an assessment of any new product offerings or changes to the encryption functionality of existing products.

If you would like assistance determining whether the encryption export controls and reporting deadlines apply to your products and associated technology, please contact a member of our team.

The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.

ARTICLE
30 January 2020

Export Control Reminder: Encryption Reporting Deadline February 1, 2020

United States International Law
Contributor
Cooley LLP logo
Clients partner with Cooley on transformative deals, complex IP and regulatory matters, and high-stakes litigation, where innovation meets the law. Cooley has nearly 1,400 lawyers across 18 offices in the United States, Asia and Europe, and a total workforce of more than 3,000.
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