- December 12, 2014
- Posted by: Mark Stevens
- Category: Uncategorized
No Comments
Just yesterday I was asked “As long as we register with the DDTC we can self-declare as ITAR compliant… right?”
My reply is always a big “NO”. I also include a warning… any organization that self-declares compliance based solely on DDTC Registration and then advertises as such, may receive some un-requested attention: http://www.exportlawblog.com/archives/4467
I thoroughly appreciate the information provided by the writers of the ExportLawBlog.