The Bureau of Industry and Security (BIS) has again expanded its U.S. export controls on chips. This new update, announced December 2, 2024, is related to the October 2022 interim final rule (IFR) aimed to restrict China’s ability to both purchase and manufacture certain high-end semiconductors critical for military applications.
Wyatt Dellavalle – Export Consultant, Tradewin US Consulting
As a consultant for our U.S. advisory services, Wyatt offers knowledge in trade documentation and tariff classification, as well as a deep knowledge and expertise in U.S. export. Wyatt specializes in export control classification, export license determination, export jurisdiction and authorization, restricted party screening, and risk level screening. Preceding his consulting role, Wyatt was an analyst in our Tradedesk Services department, providing compliance services to many industry-leading companies. Wyatt holds a Bachelor of Arts degree in International Affairs, with a concentration in Economics from the University of Maine. Wyatt is currently pursuing a Master Export Specialist (MES) designation from the National Customs Brokers and Forwarders Association of America (NCBFAA). Wyatt is based in Boston, Massachusetts.
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The Commerce Control List (CCL) regulates and limits the export and re-export of specific U.S. goods, technology, and software using Export Control Classification Numbers (ECCNs). The ten categories under the CCL oversee a wide range of products, including electronics, computers, propulsion systems, and nuclear materials. It's important to note that numerous controlled products may appear harmless at first glance.
Topics: Export Compliance, re-export, United States
When exporting a commodity, the exporter’s first responsibility is to determine which regulatory body controls their export.