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A company wishes to ship under available exceptions but cannot ift - /V-if the company would be in violation of General Prohibition 10 in making the shipment. You export product described in ECCN 2B352 to your branch office in the United Kingdom under which you find has been exporting some of this product to the Ukraine. You advise them: - / V-the re-exports are subject to the EAR but may be made without a license “Export” does not include a shipment from: - /V-shipments between the territory of the 50 states, Puerto Rico, or the Commonwealth of the Northern Mariana Islands The RPL exception: - /V-has a condition that the part replaced be returned promptly to the seller or someone under his control or is destroyed abroad. Under the GFT exception, - /¥-can always include vitamins The term "dual use” - VV-serves to distinguish LAR-controlled commodities that can be used both in military and other strategic uses and commercial applications The following is a reason why an exporter may not be able to use a license exception: - /V-(1) the export is not eligible for a license exception AND (2) the exporter's authorization to do so has been revoked Exports under APP exception... - /V-are subject to tiers Tor an LVS exception, we would refer to: - /V-Country group B We have an article controlled in the CCL. The easiest way for us to export is: - /V-to a country which is nota controlled destination. We have an article that is controlled for reasons of NS only and wish to export to Germany. The GBS and CIV exceptions are available. We can expect to be able to use: - VV-GBS only Tirearms Convention controls are: - VV -within the western hemisphere only If an article is not listed in the CCL, - /V-it could still need a BIS license An ECCN is - /V-found within the CCL We have two articles configured differently and with different catalog numbers, but which fall under one ECCN. A purchase order arrives from a Group B country for one of each, one valued at $400 and one valued at $500. The only exception available is LVS with a limit of $500. Based on this information, it appears: - V ¥-we must obtain a license for this shipment A very lightly controlled country for US exports according to the country chart is: - //-Canada "NLR" may be an article: - VV-having no ECCN, not on the CCL, on the CCL but with no appropriate "X" in the box for our destination country Examining the country chart (of the following), the most highly controlled articles (in terms of controlled to the most destinations) are for reasons of: (options: MT, AT, NS2, NP2) - VV-MT (out of MT, AT, N82 and NP2) If we use the buyers [BLANK], we can have the responsibility for export compliance but have lost the control over it. - VV Freight forwarder We have articles under 3 different ECCNs to one customer in one destination country. One article qualifies for LVS, one for GBS, one requires a license which we have in hand. We have another which is not on the CCL. We: - VV- may combine all 4 into one shipment For a shipment of foreign-made product with controlled US content to be shipped to a country in Country Group L:] the product is not subject to the EAR if the percentage of controlled content to the foreign-made product - VV- is 10% or less There is no de minimis level for some products - VV-under 3A001, 44994, or 5E002 License exceptions are - / V-subject to revocation without notice