Your compliance obligations don’t end once an authorization is in hand. Determining whether and what authorizations are needed and ensuring that all
MoreAs discussed in our previous post, the report published earlier this year by the EASME regarding the dual-use potential of certain Key
MoreOnce you have decided to do a voluntary disclosure, timing of the submission is an important consideration. By Susan Kovarovics & Bert
MoreIn the event that you decide not to voluntarily disclose, be sure to document your internal investigation process and the results and
MoreWhen the United States lifted its nuclear-related sanctions as part of its Implementation of the Joint Comprehensive Plan of Action (JCPOA) in
MoreIn last month’s post, we discussed the legitimacy of the collection and processing of employee data for the purpose of complying with
MoreIn last week’s post, we discussed the US trade controls’ restrictions on access to controlled technical information. As a consequence of these restrictions,
MoreEuropean entities that receive controlled technology from US parties often find themselves with a bit of a quandary: how to balance the
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