MinerAlert
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
When traveling outside of the United States, researchers need to know their responsibilities under export control regulations. Federal export regulations prohibit the export of specific commodities, software, technology, and payments to or from certain countries, entities, and individuals for reasons of national security, foreign policy, or protection of trade. In addition, countries have specific rules and regulations related to importing / exporting items (e.g. countries, such as Pakistan, India, and China, have either severely regulated or banned encryption technology). While travel to most countries does not create an export control issue, export control regulations can affect:
If you are taking UTEP property (Laptops, iPads, cameras, commercial software, etc.), the property is not export restricted based on your destination. You may temporarily (<12 months) take the items by submitting the Certification of Temporary Export of UTEP Property and Review of U.S. Export Control Regulations form and Authorization to Remove Equipment Off Campus to the Office of Research Compliance and Regulatory Assurances. All international travelers are required to complete this form prior to departure if they are taking UTEP equipment and/or accessing UTEP systems.
The Department of Commerce’s Export Administration Regulations (EAR) makes an exception to licensing requirements for the temporary export or reexport of certain items, technology, or software for professional use as long as the criteria in the TMP exception are met.
The exception does not apply to any EAR satellite or space-related equipment, components, or software, or to any technology associated with high-level encryption products and cannot be used for travel to Iran, Syria, Cuba, North Korea, or Sudan (in limited circumstances TMP can be used for Sudan). This exception does not apply to items, technology, data, or software regulated by the International Traffic in Arms Regulations (ITAR).
UTEP travelers carrying personal property can find information on the temporary license exception for personal baggage (BAG) in EAR 740.14.
An export license may be required if federal regulations control access to the item you are carrying or the country to which you are traveling. A license may also be required if you are providing a defense service to a foreign person, even if the exchange is based on information in the public domain.
Please send an email to exportcontrol@utep.edu for more information on licensing. For more information on international travel, please also visit the UTEP Procedure for Traveling Internationally.
On November 19, 2024, Governor Greg Abbott signed Executive Order No. GA-48. As a result, all University employees are required to complete a Personal Foreign Travel Notification prior to travelling to a foreign-adversary nation and submit a Post Foreign Travel Questionnaire upon their return. Both documents can be found at the UTEP Procedure for Traveling Internationally page. For a list of foreign adversaries, click here.