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Export Control

Controlled Items

 

 

   

Contact Us

Victor M. Manjarrez, Jr., Ed.D.
Export Control Officer
Kelly Hall, 4th floor, North Wing
500 W University Ave
El Paso, TX 79968

  Office: 915-747-7812
  exportcontrol@utep.edu  
  vmmanjarrez@utep.edu

General Information

While most of the items that are purchased or received by UTEP are not export controlled, some items may fall under the control of the Department of State or the Department of Commerce. When there is a question as to whether an item being procured is subject to export control, UTEP personnel shall request a letter from the vendor stating that the items are (or are not) subject to export control regulations prior to placing the order and/or receiving the item.

If the supplier of the item does not know the export control status of an item (e.g. when the supplier is not the manufacturer) or refuses to provide export control information to the University, the Office of Research Compliance & Regulatory Assurances may perform a self-determination based on the available information.

If the jurisdiction of the item(s) is unknown, the Office of Research Compliance & Regulatory Assurances  may request a commodity jurisdiction from the State or Commerce Department. In addition, UTEP personnel responsible for the procurement shall work with ORCRA to ensure that upon receipt it is properly marked with appropriate notice and properly handled (e.g. stored in a secure area, etc.). University employees can submit the    Export Control Related Activity Assessment Request   form in order to initiate this process.

Controlled items may be used to conduct fundamental research without affecting the ability to freely disseminate the results of the research. However, the fundamental research exclusion only applies to the scientific and technical information resulting from the research and does not cover the use of a controlled item. Therefore, the export controls applicable to the item must be evaluated separately:

  • ITAR-controlled items:  Items must be secured according to a technology control plan (TCP) developed by the responsible researcher in conjunction with ORCRA, the researcher’s department, and any other affected party, regardless of whether Non-U.S. persons will have access to the controlled items or whether the controlled items will otherwise be exported. Additionally, the disposition of ITAR-controlled items requires the approval of the Empowered Official (VPR).
  • EAR-controlled items:  ORCRA may determine if a TCP is necessary to secure the controlled item. Items must be secured according to a technology control plan developed by the responsible researcher in conjunction with ORCRA, the researcher’s department, and any other affected party, regardless of whether Non-U.S. persons will have access to the controlled items or whether the controlled items will otherwise be exported. Additionally, the disposition of EAR-controlled items also requires the approval of the Empowered Official (VPR).

Please remember that the consequences for violations of Export Control Regulations are severe and can result in civil and criminal charges against the individual researcher and the University.