The Commercial Customs Operations Advisory Committee (COAC) for CBP will next meet remotely March 31, CBP said in a notice. The meeting will be the first for the newest COAC members. Comments are due in writing by March 28.
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The Census Bureau will make several changes to the Automated Export System to accommodate the Commerce Department’s new Authorized Cybersecurity Exports (ACE) license exception, Census said in a Jan. 7 email. Among the changes, the agency will add new Export Control Classification Numbers 4A005 and 4D004 and will create new License Code C64 for the ACE exception.
The Census Bureau updated the Schedule B and Harmonized Tariff Schedule tables in the Automated Export System to accept changes to the new Jan. 1 codes, the agency said in a Jan. 4 email. Census said AES will accept shipments with “outdated codes” for 30 days beyond their Dec. 31 expiration date, but reporting an outdated code after the grace period will result in a “fatal error.” Census also said it updated the Automated Commercial Environment AESDirect program with the codes, and the program will also accept outdated codes during the grace period. The agency will release a second AES update later this month to add new Schedule B and HTS codes “resulting from international changes” to the 2022 Harmonized System.
CBP will continue to test predeparture manifest filing for exports within ACE for air cargo, it said in a notice Dec. 22. The test will continue for another two years, CBP said. The agency previously expanded the test to more participants and made some data elements optional in 2017.
Although the Bureau of Industry and Security’s new cybersecurity controls are an improvement over the restrictions proposed in 2015, the agency should still take several steps to ensure they don’t impede U.S. technology companies and inhibit information sharing in the cybersecurity sector, industry said this month. But at least one commenter said BIS should strengthen the controls by restricting a broader set of technologies and require more due diligence steps for exporters.
The Bureau of Industry and Security on Nov. 12 issued a new 16-page guidance on its recently issued export controls on certain cybersecurity items, which take effect Jan. 19 (see 2110200036). The guidance includes 29 frequently asked questions on how the items will be controlled, how BIS defines certain control terms, when licenses are required for cybersecurity exports and more. The FAQs also define the term “government end-user” under new License Exception Authorized Cybersecurity Exports (ACE), and list situations when a license requirement is triggered for cybersecurity exports, when universities may need a license for teaching and training, and when certain carve-outs apply.
Although the Bureau of Industry and Security's new export controls on cybersecurity items are intended to restrict only malicious exports, they could place wide-ranging compliance burdens on the entire cybersecurity sector, law firms said. Technology companies and others operating in the sector still have time to convince BIS to narrow the scope of the rule, which takes effect in January but contains several “ambiguities,” firms said.
The Bureau of Industry and Security will issue new export controls on certain cybersecurity items and create a new license exception for those exports, BIS said in an interim final rule released Oct. 20. The rule, which will align U.S. cybersecurity restrictions with controls previously agreed to at the multilateral Wassenaar Arrangement, will establish more restrictions on certain items that can be used for “malicious cyber activities” by imposing a license requirement for shipments to certain countries, BIS said. The changes take effect Jan. 19, and BIS will accept public comments until Dec. 6.
CBP will no longer classify shipments of certain used vehicles from the U.S. to Puerto Rico as exports, CBP said in an Aug. 24 message. Although the change will eliminate some filing requirements, others will remain, including certain Electronic Export Information filings.