Re: Compliance with Recent U.S. Export Regulations

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Jason, *:

Attached an IMHO interesting data point from other SDOs.

Can i assume that the IETF is happy with the current BIS
regulations and is not planning to voice any public opinion or
suggestions about the regulation given how the IETF lawyers have 
come to the conclusion that there is no impediment to IETF operations
(due to the open nature of our processes and work result) ?

Cheers
    Toerless

In-Reply-To: <155923377790.22145.17777792239713733657.idtracker@xxxxxxxxxxxxxx>

On Thu, May 30, 2019 at 09:29:37AM -0700, IETF Administration LLC Board of Directors Chair wrote:
> The IETF LLC is based in the United States and as such must comply with U.S. law, as well as the laws of other countries as applicable. The U.S. Department of Commerce???s Bureau of Industry and Security (BIS) recently announced a rule that placed Huawei and certain Huawei affiliates on the ???Entity List??? -- a list of companies that are subject to special licensing requirements under the U.S. Export Administration Regulations (EAR).[1] Subsequently, on May 20, 2019, the BIS issued a ???Temporary General License,??? adjusting some of these requirements for a period of 90 days.[2] The rules issued on May 20th specifically cite 5G-related standardization work in the IETF as an area subject to the new temporary license.[3]
> 
> The EAR generally do not apply to information that is published or that is submitted in connection with a process that is intended to result in open publications or presentations.[4] Given the public nature of IETF, IRTF, and IAB activities and the fact that our output is freely published online, the EAR are thus largely inapplicable to our materials and activities. So, the addition of Huawei and Huawei affiliates to the Entity List -- an action which affects only materials that would otherwise be governed by the EAR -- has little impact on the IETF.  
> 
> After consultation with legal counsel, we have concluded that, given current circumstances, we see no need to change our existing practices. We will continue to monitor the situation carefully, and will work with counsel and the IETF leadership teams to address any ???corner cases??? that may emerge and raise unique concerns. For IETF contributors that believe they may be affected, we recommend you consult your own legal counsel.  
> 
> Regards, 
> Jason Livingood
> Chair, IETF LLC Board
> LLC-Board-Chair@xxxxxxxx 
> 
> [1] https://www.federalregister.gov/documents/2019/05/21/2019-10616/addition-of-entities-to-the-entity-list
> 
> [2] https://www.commerce.gov/news/press-releases/2019/05/department-commerce-issues-limited-exemptions-huawei-products
> 
> [3] https://www.bis.doc.gov/index.php/documents/regulations-docs/2396-temporary-general-license-rule/file
> 
> [4] See 15 CFR § 734.7(a)(4) and (a)(5) at https://www.law.cornell.edu/cfr/text/15/734.7
> 
> ++++++++++ How to Contact the IETF LLC ++++++++++
> Executive Director: Exec-Director@xxxxxxxx  
> Sponsorship: sponsorship@xxxxxxxx 
> Board: LLC-Board@xxxxxxxx 
> 
> ++++++++++ General IETF LLC Board Background ++++++++++
> About the IETF LLC: https://www.ietf.org/about/administration/

Attachment: Consortia Letter to Sec Ross re Entity List 14JUN19.pdf
Description: Adobe PDF document


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