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Atlanta GA, 30328
Tel: +1 (770)688-1206
Fax: +1 (770)688-1229
Developing an Export Compliance Program
Date: April 27, 2017
Location: Portsmouth, NH
Developing and maintaining an export compliance program is highly recommended to ensure that export transactions comply with the Export Administration Regulations (EAR), and to prevent export control violations. This one-day workshop provides an overview of the steps a company may take to implement an internal Export Compliance Program.
Georgia Logistics Summit
Date: May 16 – 17, 2017
Location: Atlanta, GA
The Georgia Logistics Summit is an event that brings more than 1500 logistics professionals to learn best practices and connect with industry decision makers. Registration is now open!
Complying with U.S. Export Controls
Date: June 8-9, 2017
Location: Seattle, Washington
This two-day program is led by BIS's professional counselling staff and provides an in-depth examination of the Export Administration Regulations (EAR). The program will cover the information exporters need to know to comply with U.S. export control requirements on commercial goods.
An announcement was published on July 29, 2020 that user fees within the Consolidated Omnibus Budget Reconciliation Act (COBRA) will take place effective October 1, 2020. The minimum merchandise processing fee will change from $26.79 to $27.23 and the maximum will change from $519.76 to $528.33. The ad valorem rate of 0.3464% will not change. Additional user fees are also increasing.
The Office of the U.S. Trade Representative has announced that 14 products from the Section 301 exclusion list scheduled to expire July 31st will continue to be excluded through December 31, 2020. Additionally, there are other products on the list that expired on July 31st. Comments are currently being accepted for three sets of exclusions that are scheduled to expire October 2, 2020. Comments can be submitted by clicking HERE
On July 14, 2020, the President signed an Executive Order that requires Hong Kong to be treated as the People’s Republic of China (PRC) for the purposes of the Arms Export Control Act (AECA). Hong Kong is now considered to be included in the entry for China under section 126.1(d)(1) of the ITAR and therefore subject to a policy of denial for all transfers subject to the ITAR. The U.S. government is taking this action because the Chinese Communist Party has fundamentally undermined Hong Kong’s autonomy and thereby increased the risk that sensitive U.S. items will be illegally diverted to the PRC.