International Travel and Export Compliance
The Office of Research Compliance (ORC) provides export compliance review for all international travel at the University of Maine, whether research related or not.
When traveling internationally for university business or with university property, export control restrictions may apply depending on:
- Where you are going
- What you take with you (i.e., Physical Exports)
- The purpose of your trip and who you will engage with
The export compliance team in the Office of Research Compliance (ORC) can help you determine if any export restrictions apply to your destination(s), if any export licenses or documented use of a license exception are needed for physical exports, and provide Restricted Party Screening of foreign colleagues and foreign institutions or other entities you plan to engage with on your trip.
Where are you going?
While travel to most countries doesn鈥檛 on its own trigger export control concerns, travel to an Office of Foreign Assets Control , including but not limited to Belarus, Cuba, Iran, North Korea, Russia, or Syria, may require the university to secure a license for the travel before your trip. Countries subject to Military End Use Controls, including China (including Hong Kong), Burma, Cambodia, Nicaragua, or Venezuela, require extra due diligence, and many activities and/or exports there may trigger licensing requirements. Please alert the export compliance team at um.export@maine.edu as early as possible if you plan to travel to a sanctioned country or country subject to Military End Use controls, regardless of your trip鈥檚 purpose.
What are you taking with you? (i.e., Physical Exports)
When leaving the country, everything taken with you is considered an export. The physical items, the underlying technology, and any data which may reside on them are all subject to export control regulations, even if the export is temporary.
For the university鈥檚 purposes, ORC only needs to know about 91福利-owned equipment, supplies, devices, etc. being taken abroad. (Personal Items? Complete to register personal items for re-entry to the United States [U.S.]) It is the 迟谤补惫别濒别谤鈥檚 responsibility to ensure that equipment, electronic devices, files, and presentations do not contain any export-controlled technical data or technology, and to coordinate with the export compliance team in ORC to determine if any applicable licensing or filing requirements apply to their export.
ORC鈥檚 export compliance team is notified of university international travel that is submitted in Concur, and will reach out to inquire about planned exports. However, travelers with planned exports are also encouraged to review ORC鈥檚 guidance on Physical Exports and Export Compliance and Travel with Portable Electronic Devices and proactively contact the export compliance team at um.export@maine.edu well ahead of your trip, especially if you plan to take a large number of items with you, so that there is adequate time to assist you. As noted in the two guidance pages, you will want to ensure you keep copies of export documentation, such as documents for customs, with you when you travel!
Personal Travel with University-Owned Devices
Any time a university-owned device is taken abroad, it is considered to be an export by the university and thus is subject to the same review process. In this scenario, it is the 迟谤补惫别濒别谤鈥檚 responsibility to notify ORC of this export since the travel is personal and isn鈥檛 in Concur. Please follow the instructions above and contact um.export@maine.edu if questions arise.
What is the purpose of your trip?
ASCC-Affiliated Travelers (Advanced Structures and Composites Center)
- Make sure you follow any additional requirements detailed in ASCC鈥檚 policies and SOPs (Standard Operating Procedures) 鈥 see SOP-22 鈥淧urchasing and Travel鈥 and SOP-42 鈥淚nternational Travel Procedure.鈥
- If traveling with Portable Electronic Device(s) and planning to complete a Temporary Export Certification, please take extra care to ensure your device(s) do not contain any controlled information. Please contact ASCC IT if your device(s) do or have contained controlled information previously and request a temporary sanitized device(s) with only the non-controlled software and files you need for your trip.
Other considerations for international travel
- 91福利 System (UMS) requires travelers to countries with a Level of 3 to . University-funded travel to countries with a Travel Advisory Level of 4 is prohibited.
- Work with to ensure the appropriate insurance coverage is in place for your activity and equipment.
- If you plan to travel with electronic devices, be sure to review the Travel Guidance for Data Security which includes tips for travelers for before, during, and after travel.
- Fieldwork? Work with to develop and implement a Fieldwork Safety Plan (Please see: [requires @ account to view]).
- NSF-funded trip? You may need to develop & disseminate an off-campus or off-site Safe and Inclusive Working Environment Plan. For more information, see UMS Safe and Inclusive Work Environment Plan.
Resources / Quick Links
- 91福利 SOP: Out-of-State and International Travel Procedure
- Data Security Travel Guidance
- Export Compliance and Travel with Portable Electronic Devices
- Export Control Training
- International Research
- Physical Exports
- Research Security
Contact
If you have any other questions or concerns about international travel and export compliance, please contact um.export@maine.edu.
