About this file

This notice provides details for the NASA Sounding Rocket Operations Contract (NSROC) IV solicitation. The solicitation seeks proposals to operate NASA's sounding rocket program for a five-year period beginning in 2022. Offerors must provide engineering, integration, launch, and recovery services for suborbital research rockets carrying scientific payloads of up to 1,000 pounds. Proposals are due by July 30, 2021, with contract award anticipated by January 2022. The incumbent contractor is expected to recompete for this requirement. The solicitation is available through the eLibrary attached in the notice.

View the file

Other files for this federal contract opportunity

Other files attached to NASA Sounding Rocket Operations Contract (NSROC) IV - FINAL Request for Proposal, eLibrary, newest first.
File Type Posted
NSROC CBA IAMAW 11.01.21 final FULLY EXECUTED.pdf PDF
Rocket_Report_1st_quarter_2019.pdf PDF
Rocket Report 2nd quarter 2021.pdf PDF
Rocket_Report_3rd_quarter_2019.pdf PDF
Rocket Report 4th quarter 2020.pdf PDF
Rocket Report 1st quarter 2021.pdf PDF
SRPO Annual Report 2017.pdf PDF
Rocket Report 1st quarter 2020.pdf PDF
SRWG_Findings_Jan_2021.pdf PDF
Sounding rocket litho 2017.pdf PDF
SRWG_Findings_July_2020.pdf PDF
GSFC-STD-8009T-SRPO WFF Range Safety Manual Rev B.pdf PDF
300-PG-8730.6.1 ESD Control Plan.pdf PDF
800-WI-8715.2.1B Severe Weather Notification.pdf PDF
810-PG-5100.1.3G NSROC Development and Routine Project Assignments Process.pdf PDF
GPR 4220.1.pdf PDF
GPR 1700.7.pdf PDF
GPR 1860.2.pdf PDF
GPR 8730.1.pdf PDF
GPR 8710.8.pdf PDF
GPR 8500.5.pdf PDF
GPR 5340.3.pdf PDF
GPR 8500.8.pdf PDF
GPR 1700.8.pdf PDF
GPR 1800.5.pdf PDF
NPR 8735.2.pdf PDF
810-FORM-0003H SRPO MRR Checklist.pdf PDF
NPD 1490.1.pdf PDF
NPD 4200.1.pdf PDF
NPR 1441.1.pdf PDF
GPR 8730.6.pdf PDF
NPD 6000.1.pdf PDF
NPD 2540.1.pdf PDF
NPD 1440.6.pdf PDF
803-PG-3410.2.2 WFF Safety Office Training and Certification Program.pdf PDF
NPD 1280.1.pdf PDF
NPR 8705.6.pdf PDF
810-FORM-0002G SRPO DR Checklist.pdf PDF
810-FORM-0004H SRPO MCR Checklist.pdf PDF
NPR 8715.5.pdf PDF
NPR 4200.1.pdf PDF
SRPO Cryogenic Safety Users Guide Revision A Final.pdf PDF
NSROC III NNG16WA70C Attachment M - Contract Historical Data 19-20.pdf PDF
SRPO Technology Roadmap June 2021.pdf PDF
NSROC III List of Ongoing Work - October 2021.pdf PDF
SRPO Annual Report 2016.pdf PDF
Rocket_Report_4th_quarter_2019.pdf PDF
SR User Handbook Final_July 2015.pdf PDF
SRPO Annual Report 2019.pdf PDF
Doing Business with Wallops.pdf PDF
Show all 50

NASA Sounding Rocket Operations Contract (NSROC) IV - FINAL Request for Proposal, eLibrary has more files on GovTribe.

On GovTribe

Work with this file on GovTribe

  • Download the original file
  • Contacts named in this file
  • Similar government files
  • Ask GovTribe AI about this file

Text version

| NODIS Library | Legal Policies(2000s) | Search |

NASA

Procedural Requirements

NPR 2190.1C

Effective Date: September 08, Expiration Date: September 08, COMPLIANCE IS MANDATORY FOR NASA EMPLOYEES

NASA Export Control Program

Responsible Office: Office of International and Interagency Relations

NASA Export Control Program Operations Manual

NASA Export Control Program Operations Manual

Table of Contents Preface P.1 Purpose P.2 Applicability P.3 Authority P.4 Applicable Documents and Forms P.5 Measurement/Verification P.6 Cancellation

Chapter 1. Introduction

1.1 General

Chapter 2. General Export Control Responsibilities for NASA Personnel

2.1 General

2.2 NASA Associate Administrator for the Office of International and Interagency Relations

(AA/OIIR)

2.3 NASA Headquarters Export Administrator (HEA)

2.4 NASA Officials-in-Charge of Headquarters

NPR 2190.1C -- TOC

This document does not bind the public, except as authorized by law or as incorporated into a contract. This document is uncontrolled when printed. Check the NASA Online Directives Information System (NODIS) Library to verify that this is the correct version before use: https://nodis3.gsfc.nasa.gov.

NPR 2190.1C -- TOC Page 1 of 43 https://nodis3.gsfc.nasa.gov/main_lib.html https://nodis3.gsfc.nasa.gov/lib_docs.cfm?range=2___ https://nodis3.gsfc.nasa.gov/adv_search.cfm https://nodis3.gsfc.nasa.gov/

2.4 NASA Officials-in-Charge of Headquarters

2.5 NASA Headquarters Export Counsel (HEC)

2.6 NASA Headquarters Program and Project Managers

2.7 NASA Headquarters Manager, Transportation Programs

2.8 Center Directors

2.9 Center Export Administrators (CEA)

2.10 Center Export Counsel (CEC)

2.11 Center Project Managers

2.12 Export Control Representatives (ECR)

2.13 Center Transportation Officers (TO)

2.14 Center Property Disposal Officers (PDO)

2.15 Export Control Staff (ECS)

Chapter 3. NASA Export Control Process

3.1 General

3.2 Commodity Jurisdiction (CJ) and Classification

3.3 Foreign Partner or End-User Credentials

3.4 License Requirements

3.5 Technology Transfer Control Plans (TTCP)

3.6 Recordkeeping

3.7 Reporting

3.8 Information Security and Electronic Transmission

Chapter 4. International Traffic in Arms Regulations (ITAR) Procedures

4.1 General

4.2 Imports

4.3 Procedures for Determining ITAR License Requirements and License Exemption Eligibility

4.4 License Exemptions

Chapter 5. Export Administration Regulations (EAR) Procedures

5.1 General

5.2 License Exceptions

5.3 Screens

Chapter 6. NASA Export Control Program Education and Training

6.1 General

6.2 Training Program

NPR 2190.1C -- TOC

This document does not bind the public, except as authorized by law or as incorporated into a contract. This document is uncontrolled when printed. Check the NASA Online Directives Information System (NODIS) Library to verify that this is the correct version before use: https://nodis3.gsfc.nasa.gov.

NPR 2190.1C -- TOC Page 2 of 43

Chapter 7. NASA Export Control Program Auditing

7.1 Purpose

7.2 Auditor Selection

7.3 Auditor Duties and Responsibilities

7.4 Final Report

Chapter 8. Questions of Compliance and Violations

8.1 General 8.2 Voluntary Disclosure 8.3 Violations

Appendix A. Definitions Appendix B. References

NPR 2190.1C -- TOC

This document does not bind the public, except as authorized by law or as incorporated into a contract. This document is uncontrolled when printed. Check the NASA Online Directives Information System (NODIS) Library to verify that this is the correct version before use: https://nodis3.gsfc.nasa.gov.

NPR 2190.1C -- TOC Page 3 of 43

Preface P.1 Purpose This NASA Procedural Requirements (NPR) document provides instructions and requirements for implementation of NASA Policy Directive (NPD) 2190.1 NASA Export Control Program (ECP).

Specifically, this NPR provides requirements, instructions, and responsibilities for all NASA employees and NASA support contractors engaged in activities that involve the transfer of commodities, software, technical data, technology, defense services, and/or technical assistance to foreign entities. The Export Control Operations Manual -- NAII 2190.1 provides more detailed instruction and guidance on implementing the requirements of this document.

P.2 Applicability

a. This NPR is applicable to NASA Headquarters and NASA Centers, including Component Facilities and Technical and Service Support Centers. This language applies to the Jet Propulsion Laboratory (JPL), other contractors, grant recipients, or parties to agreements only to the extent specified or referenced in the appropriate contracts, grants, or agreements.

b. In this directive, all mandatory actions (i.e., requirements) are denoted by statement containing the term "shall." The terms "may" or "can" denote discretionary privilege or permission, "should" denotes a good practice and is recommended, but not required, "will" denotes expected outcome, and "are/is" denotes descriptive material.

P.3 Authority

NPD 2190.1, NASA Export Control Program.

P.4 Applicable Documents and Forms

a. Arms Export Control Act, as amended, 22 U.S.C §§ 2778, et seq.

b. Export Administration Act, as amended, 50 U.S.C §§ 2401 et seq.

c. 15 CFR pts. 730-774, Export Administration Regulations.

d. 22 CFR pts. 120-130, International Traffic in Arms Regulations.

e. 27 CFR § 447.53, Exemptions.

f. NPR 1441.1, NASA Records Retention Schedules.

g. NAII 2190.1, NASA Advisory Implementing Instruction.

h. Form DSP-73, Application/License for Temporary Import of Unclassified Defense Articles.

i. Form DSP-5, Application/License for Permanent Export of Unclassified Defense Articles and Related Unclassified Technical Data.

NPR 2190.1C -- Preface This document does not bind the public, except as authorized by law or as incorporated into a contract. This document is uncontrolled when printed. Check the NASA Online Directives Information System (NODIS) Library to verify that this is the correct version before use: https://nodis3.gsfc.nasa.gov.

NPR 2190.1C -- Preface Page 4 of 43

j. Form DSP-83, Non-transfer and Use Certificate.

k. Form DSP-85, Application for Permanent/Temporary Export or Temporary Import of Classified Defense Articles and Related Classified Technical Data.

l. Form DSP-61, Application/License for Temporary Import of Unclassified Defense Articles.

m. BIS Form 748P, Export License Application.

n. BIS Form 711, Statement by Ultimate Consignee.

o. ISO 9000, International Standards Organization Certification.

P.5 Measurement/Verification Adherence to this policy will be measured by whether exports are executed in a timely manner sufficient to meet NASA program objectives, by the extent to which NASA exports are compliant with U.S. laws and regulations, and by annual reviews conducted by the Center Export Control Auditors (ECA).

P.6 Cancellation NPR 2190.1, NASA Export Control Program, dated April 10, 2003.

NPR 2190.1C -- Preface This document does not bind the public, except as authorized by law or as incorporated into a contract. This document is uncontrolled when printed. Check the NASA Online Directives Information System (NODIS) Library to verify that this is the correct version before use: https://nodis3.gsfc.nasa.gov.

NPR 2190.1C -- Preface Page 5 of 43

Chapter 1. Introduction

1.1 General

1.1.1 This NPR provides basic procedures and requirements for fulfilling NASA's obligation to comply with all U.S. export control laws and regulations in its transfers of commodities, software, technical data, technology, and/or defense services, and/or technical assistance to foreign parties (including foreign contractors or U.S. person representatives of foreign persons) in the course of approved international activities. It is the responsibility of every NASA employee to comply with U.S. export control laws and regulations. The NASA Headquarters Export Administrator (HEA), the Associate Administrator for International and Interagency Relations, the NASA General Counsel, the Mission Directorate Associate Administrators and the Mission Support Associate and Assistant Administrators, the Headquarters' Officials-in-Charge, Center Directors, Center Chief Counsel, Center Export Administrators (CEAs), the Headquarters and Center Export Counsel (HEC/CECs), Export Control Representatives (ECR), Center Export Representatives (CER), Export Control Points of Contact (EC-POC), the NASA Program/Project Managers, the Contracting Officers (CO), the Grant Officers (GO), and Contracting Officers' Representatives (COR), and the Transportation Officers (TO) are the key personnel charged with ensuring NASA's adherence to those laws and regulations.

1.1.2 Questions regarding the execution of responsibilities set forth in this NPR are to be directed to the HEA. Suggestions for improvements in the content of this NPR are welcome and should be made in writing to the attention of the NASA HEA, Office of International and Interagency Relations, NASA Headquarters, Washington, DC 20546. A flow chart of the steps and considerations to be undertaken before implementing an export is found in NAII 2190.1c.

1.1.3 An effective compliance program shall provide adequate staffing and resources to address:

policy, licensing, compliance, training, information technology systems, and procedures.

NPR 2190.1C -- Chapter1 This document does not bind the public, except as authorized by law or as incorporated into a contract. This document is uncontrolled when printed. Check the NASA Online Directives Information System (NODIS) Library to verify that this is the correct version before use: https://nodis3.gsfc.nasa.gov.

NPR 2190.1C -- Chapter1 Page 6 of 43

Chapter 2. General Export Control Responsibilities for NASA Personnel

2.1 General

2.1.1 Export Control transactions are regulated by export control laws in order to protect U.S.

national security interests and to further U.S. foreign policy objectives. These are primarily codified in the International Traffic in Arms Regulations (ITAR) and the U.S. Export Administration Regulations (EAR) that are administered by the Departments of Commerce and State, respectively.

NASA's ECP is an Agency-wide (Headquarters and Centers) system established to ensure that exports and transfers to foreign parties comply with regulatory requirements, while maximizing the benefits of the Agency's international efforts. The program is based on a "corporate" philosophy that says: "We want to maximize the benefits of our international efforts while ensuring that we comply with U.S. export control laws and regulations." This is the personal responsibility of each employee.

It is a tangible expression of the Agency's statutory mandate and mission in the responsible pursuit of appropriate international activities involving transfers of commodities, software, technical data, technology, and/or defense services, and/or technical assistance. ECP is the mechanism within the Agency that provides checks and safeguards at key steps in program development and implementation to help manage international activities. Absent an effective ECP, NASA and its employees risk running afoul of the ITAR and EAR, which may result in criminal, civil, or administrative enforcement actions against NASA, individual employees, and/or private contractors.

2.1.2. The NASA Administrator is responsible for the Agency's overall compliance with export control laws and regulations and has delegated authority to the Associate Administrator for the Office of International and Interagency Relations to administer execution of this program. Center Directors and senior management across the Agency are responsible for providing the program with appropriate resources, oversight and management support, as required to ensure compliance at their locations.

2.1.3. In principle, exports or transfers of export-controlled items (including transfers of commodities, software, technical data, technology, and/or defense services, and/or technical assistance ITAR and EAR) will not be made to any foreign entity under any NASA program unless the exporter is confident that such exports or transfers are in conformity with approved contracts or agreements (usually international agreements) and U.S. export control laws and regulations, as delineated in 22 CFR pts. 120-130 and 15 CFR pts. 730-774. Further, NASA exports to foreign entities will only be conducted in furtherance of NASA agreements or contracts, when there is a mission requirement and an appropriate export authorization can be used. NASA publication of technical data and software are appropriate when effected in accordance with NASA policies.

Consultation with the NASA HEA, appropriate CEA, or counsel is required whenever there is doubt as to whether a proposed export or transfer is consistent with this general principle.

2.2 NASA Associate Administrator for the Office of International and Interagency Relations

(AA/OIIR)

2.2.1. The Associate Administrator for the Office of International and Interagency Relations (AA/OIIR) is responsible for the formulation and execution of the Agency export control program

NPR 2190.1C -- Chapter2 This document does not bind the public, except as authorized by law or as incorporated into a contract. This document is uncontrolled when printed. Check the NASA Online Directives Information System (NODIS) Library to verify that this is the correct version before use: https://nodis3.gsfc.nasa.gov.

NPR 2190.1C -- Chapter2 Page 7 of 43

(AA/OIIR) is responsible for the formulation and execution of the Agency export control program and international technology transfer policy, which includes requirements to:

a. Assure written appointment of a NASA Headquarters Export Administrator (HEA) to serve as Agency empowered official. Additional empowered officials may be designated, as needed.

b. Provide appropriate resources (personnel, information technology, and funding) to develop and maintain a sound Agency export compliance program and periodically review resource requirements.

2.3 NASA Headquarters Export Administrator (HEA)

2.3.1 Upon written appointment, the HEA serves as NASA's primary Empowered Official, with authorities cited in 22 CFR 120.25 and is responsible for assessing and ensuring that all NASA program export activities comply with U.S. export control laws and regulations.

2.3.2 The HEA is also NASA's policy and licensing liaison with the U.S. Government's export control community. In performance of these duties, the HEA shall:

a. Maintain a high level of expertise of current ITAR and EAR provisions and requirements applicable to NASA programs.

b. Approve and maintain necessary NASA authorization documentation regarding specific exports pursuant to NASA programs that are subject to the ITAR and EAR. Coordinate and submit all Commodity Jurisdiction (CJ) requests, Advisory Opinions (AO), Voluntary Disclosures, General Correspondence (GC), classification requests and export and/or reexport license applications.

c. Serve as the NASA Headquarters point of contact for the Department of Commerce's (DoC) Bureau of Industry and Security (BIS), the Department of State's (DoS) Directorate of Defense Trade Controls (DDTC), the Department of Defense's (DoD) Defense Technology Security Administration (DTSA) and Department of Energy (DOE), the Department of Homeland Security, the Department of Justice Federal Bureau of Investigation, and other appropriate agencies for all international technology transfer/export control issues.

d. Manage NASA's annual ECP internal audits, including providing annual audit guidance to Centers, receiving, and reviewing audit reports. See Chapter 7: NASA Export Control Program Auditing.

e. Serve as the NASA Headquarters point of contact for NASA Headquarters program executives, and work with the NASA CEAs concerning issues at Centers. Coordinate with appropriate NASA officials on export control matters affecting NASA programs. When the HEA, in consultation with these officials, determines that a proposed export or transfer would not be in conformance with the ITAR and EAR, the HEA has the authority to suspend such activity pending resolution with the concerned offices or agencies.

f. Attend, at least annually, export control-related training and coordinate the annual NASA Export Control Program Review. Provide additional periodic training to NASA Headquarters and Center officials, as requested or needed. Develop and maintain export control training modules on

SATERN.

g. Develop, in consultation with appropriate NASA offices and officials, the NASA position on missile technology proliferation issues, and participate in interagency organizations and meetings

NPR 2190.1C -- Chapter2 This document does not bind the public, except as authorized by law or as incorporated into a contract. This document is uncontrolled when printed. Check the NASA Online Directives Information System (NODIS) Library to verify that this is the correct version before use: https://nodis3.gsfc.nasa.gov.

NPR 2190.1C -- Chapter2 Page 8 of 43 missile technology proliferation issues, and participate in interagency organizations and meetings concerning missile technology transfers and proliferation as the NASA representative.

h. Manage export control input to the NASA Identity Management System for access to NASA facilities by foreign persons.

i. Obtain the participation of appropriate NASA offices and officials in training and in interagency reviews and assessments conducted by and with the Departments of State, Commerce, Defense, Treasury, and other appropriate agencies concerning technology transfers, export controls, missile technology proliferation, or other related matters affecting NASA programs.

j. Ensure the completion and maintenance (recordkeeping) of necessary license, license exemption, or license exception documents regarding specific transfers, pursuant to Headquarters programs, which involve exports or transfers subject to the ITAR and EAR. For exports of defense articles under ITAR license exemptions, copies of all correspondence required by ITAR exemptions, will be maintained as required.

k. Develop and issue export compliance policies and regulation interpretations for NASA to the CEAs.

l. Support import activities for NASA programs. Initiate and coordinate discussions with other regulatory departments and agencies for the import of products in support of NASA programs.

m. Review and concur on Headquarters program management designation of programs as fundamental research (see NAII 2190.1).

n. Review and approve the use of export license exemptions and exceptions. This authority may be delegated to CEAs in the determination of the HEA, as warranted.

o. Provide an export control review of NASA scientific and technical data prior to publication, and determine if the data should be export-controlled. Participate in reviews of export-controlled data requested under the Freedom of Information Act (FOIA).

p. During the Annual Program Review, solicit and collect concerns and issues from CEAs and Center export personnel, organize and distribute a listing of these concerns, and track and report progress on resolving these issues.

q. Serve as the CEA for Headquarters as a Center.

r. Serve as the CEA for the NASA Management Office (NMO) at the JPL, a Federally Funded and Research Development Center (FFRDC), in the absence of a formally appointed CEA at the NMO and otherwise assist the NMO in administering the NASA/Caltech contract in the area of export control.

2.4 NASA Officials-in-Charge of Headquarters

2.4.1 The NASA Officials-in-Charge of Headquarters are responsible for ensuring that programs and projects within their organizations comply with all U.S. export control laws and regulations and the

NASA ECP.

2.4.2 The NASA Officials-in-Charge of Headquarters (e.g. Administrator Staff Offices, Mission Directorates, and Mission Support Directorates) should appoint a member of their staff to act as the

NPR 2190.1C -- Chapter2 This document does not bind the public, except as authorized by law or as incorporated into a contract. This document is uncontrolled when printed. Check the NASA Online Directives Information System (NODIS) Library to verify that this is the correct version before use: https://nodis3.gsfc.nasa.gov.

NPR 2190.1C -- Chapter2 Page 9 of 43 export control point of contact (EC-POC) for the ECP. The EC-POC will coordinate responses and provide a conduit for sharing the export control-related information.

2.5 NASA Headquarters Export Counsel (HEC)

2.5.1 The HEC is appointed by the General Counsel and is responsible for providing legal guidance to the HEA in NASA export control matters pursuant to the ITAR and EAR.

2.5.2 The HEC shall perform the following duties:

a. Assist the HEA in reviewing specific exports and transfers under NASA programs.

b. Serve as the NASA Headquarters point of contact for the Center Export Counsel on legal matters.

c. Assist the HEA with export control review and publication clearance for NASA patent applications.

d. Keep abreast of statutory and regulatory developments in the U.S. export control system.

e. Review annual audits.

f. Review voluntary disclosures.

g. Attend Annual NASA Export Control Program Reviews

2.6 NASA Headquarters Program and Project Managers

2.6.1 NASA Headquarters program/project managers will maintain oversight of NASA-directed contractor export activities, including concurrence on the use of NASA-authorized Exemptions and Exceptions and use of NASA-obtained licenses. Program and project managers can request, from NASA contractors or NASA transportation activities, copies of Automated Export System (AES) filings and export licenses submitted in support of NASA programs. NASA's use of ITAR exemptions or EAR exceptions requires the approval of the HEA/CEA and compliance with reporting and recordkeeping requirements. Program and project managers overseeing programs with international partners must address the responsibilities set forth in Sections 2.6.1a-j. Specifically, program and project managers shall:

a. Consult with HEA/CEA early in program development to determine the export-control classification of items and/or data, then document that information in the program/project plans, in applicable property accountability records, and prior to releasing property to the Property Disposal Officer (PDO). Understanding export-control classification of items and technical data to ensure that export-control matters are considered and resolved in advance of prospective shipment or transfer dates is essential. Export-controlled technical data will be marked, as such, prior to transfer to international partners. Early collaboration with Export Administrators in a project life cycle (preferably prior to mission definition review) is essential to identify and assess export-controlled items and technical data that may require access by international partners.

b. Include export-control compliance planning and export-control milestones in programs with international partners.

c. Develop appropriate safeguards for commodities, technologies, and software exported or

NPR 2190.1C -- Chapter2 This document does not bind the public, except as authorized by law or as incorporated into a contract. This document is uncontrolled when printed. Check the NASA Online Directives Information System (NODIS) Library to verify that this is the correct version before use: https://nodis3.gsfc.nasa.gov.

NPR 2190.1C -- Chapter2 Page 10 of 43 transferred pursuant to international agreements or contracts. All controlled technical data or commodities will be marked or identified in accordance with the Transfer of Goods and Technical Data Clause of the relevant international agreement or in accordance with the Transfer of Goods and Technical Data Clause of the relevant contract. When necessary and appropriate (and with the concurrence of the HEA and HEC), non-disclosure agreements (NDAs) will be used when foreign nationals are provided export-controlled technical data or commodities outside the scope of an international agreement or contract.

d. Provide the necessary technical information to the HEA to determine the need for validated export licenses or other documentation in specific activities and for the completion of such documentation, where necessary.

e. Document requirements for exports or transfers of technical data to foreign persons and ensure that requirements are reflected in relevant international agreements, contracts, or technology transfer control plans that support a program or project.

f. Develop a Technology Transfer Control Plan (TTCP). A TTCP is recommended for all NASA programs and projects with international participation and can be referenced when hosting foreign persons at NASA facilities.

g. Encourage export-control training for program/project personnel working with foreign persons and directing the work of others on the project. All personnel will participate in basic export control awareness training either via NASA's Systems for Administration, Training and Educational Resources for NASA (SATERN) or through on-site briefings or outside forums.

h. Work with the HEA to determine the export-control classification of NASA hardware prior to disposal of that hardware.

i. Ensure contracts require contractors to mark documents for export control purposes on creation and classify hardware prior to delivery.

j. Ensure export-control documents are appropriately marked with the export classification upon creations.

2.7 NASA Headquarters Manager, Transportation Programs

The NASA Headquarters Manager, Transportation Programs, shall, in consultation with the HEA, ensure that all exports and transfers of commodities, technical data , and software, as well as technical assistance and defense services are accompanied by appropriate and accurate export-control documentation, including validated licenses (if required), commercial invoice documents (with item classification, export authorization and destination control statement), marking statements or other authorizing documents, as needed. The manager will serve as the point of contact for the HEA on NASA transportation policies and practices.

2.8 Center Directors

2.8 Center Directors are responsible for ensuring that all projects under their purview comply with U.S. export control laws and regulations and this NPR. Center Directors shall:

a. Provide written appointment of a senior-level person as their Center Export Administrator (CEA), NPR 2190.1C -- Chapter2 This document does not bind the public, except as authorized by law or as incorporated into a contract. This document is uncontrolled when printed. Check the NASA Online Directives Information System (NODIS) Library to verify that this is the correct version before use: https://nodis3.gsfc.nasa.gov.

NPR 2190.1C -- Chapter2 Page 11 of 43 at a grade of no less than the GS-15. Appointments of CEAs require prior coordination with the HEA. The CEA will report directly to the Center Director or one of their direct report designees and the CEA's other responsibilities will not conflict with the duties of the CEA. Center Directors will seek input from the HEA for the annual performance rating of the CEA.

b. Designate a qualified individual as an Export Control Auditor (ECA) to annually review the operation of the NASA Export Control Program at their Center, in accordance with NPD 2190.1 and Chapter 7 of this NPR. Appointments of ECAs should be reported to the HEA within 30 days.

c. Ensure the completion of annual Export Control Program audits and confirm implementation of corrective measures or progress of those measures to the Associate Administrator for International and Interagency Relations and to the HEA.

d. Review Export Control Program resource requirements periodically and provide appropriate resources to ensure effective program management and compliance.

2.9 Center Export Administrators (CEA)

2.9.1 The CEA is responsible for assessing and ensuring compliance of all Center program activities with U.S. export control laws and regulations. Specifically, the CEA shall:

a. Serve as the Center resident expert on all matters related to export control and international technology transfer and serve as the principal Center point of contact between the Centers and the HEA. The CEA is encouraged to establish a network of Export Control Representatives (ECR) or Center Export Representatives (CER), or Export Control Points of Contact (EC-POC) within Center directorates or programs to assist with export determinations and reviews.

b. Maintain a thorough knowledge of current export control provisions and requirements and all relevant NASA NPD/NPR requirements applicable to Center programs and activities and assist in developing Center policy and procedures.

c. Ensure the completion and maintenance (recordkeeping) of necessary licensing and/or license exemption or exception documents regarding specific transfers, pursuant to Center programs which involve exports or transfers subject to the ITAR or EAR. For exports of defense articles under ITAR license exemptions, provide copies of all correspondence to the HEA within 30 days of export.

d. Support and participate in the Center review process for approving foreign person visitors and hires, providing advice and guidance to the Center International Visit Coordinator and to the program and project personnel who serve as sponsors for such visitors and hires, and provide assistance in the development of appropriate TTCPs.

e. Identify the need for and promote the appointment of ECRs (e.g. ECRs, CERs, or EC-POCs).

Assist, train, and oversee ECRs (e.g. ECRs, CERs, or EC-POCs), if appointed.

f. Assist program and project personnel in determining the appropriate export controls for publishing and disseminating Scientific and Technical Information (STI). CEAs, or their designated representative, are required to sign Block 8, Export Control Review/Confirmation, on NASA Scientific and Technical Document Availability Authorization (DAA). The signature may be on the hardcopy document or via the approved electronic DAA review system. CEAs participate in reviews of export-controlled data requested under the FOIA.

g. Assist Center Contracting Officers (COs), Contracting Officer's Representatives (CORs), and

NPR 2190.1C -- Chapter2 This document does not bind the public, except as authorized by law or as incorporated into a contract. This document is uncontrolled when printed. Check the NASA Online Directives Information System (NODIS) Library to verify that this is the correct version before use: https://nodis3.gsfc.nasa.gov.

NPR 2190.1C -- Chapter2 Page 12 of 43

g. Assist Center Contracting Officers (COs), Contracting Officer's Representatives (CORs), and Grant Officers in procurement-related matters involving export control; e.g., responding to contractor export questions and requests, drafting of ITAR exemption authorizations and EAR exception authorizations for use by contractors, drafting of appropriate clauses in NASA solicitations and contracts, and reviewing NASA draft solicitations as requested. Review and concur on all Center designation of tasks as fundamental research (See NAII 2190.1 for requirements regarding fundamental research designation).

h. Assist the Center Chief Information Officer (CIO) in effecting NASA and local policy on placing information on NASA Web sites.

i. Assist the Center Software Release Authority in determining export control restrictions.

j. Coordinate with CECs, Transportation Officers, ECRs (e.g. ECRs, CERs, or EC-POCs), and program/project managers on export control matters affecting Center programs and activities.

k. Advise Center Transportation Officers on questions related to international shipments (including imports of foreign-origin commodities). When the CEA, in consultation with these officials, determines that a proposed export or transfer would not be in conformance with NASA policy, the ITAR, or the EAR, the CEA will have the authority to suspend or stop such activity, pending resolution with the concerned offices or agencies.

l. Attend the annual NASA Export Control Program Review and at least one other export control training session annually, establish an annual Center training plan for Center personnel, and arrange for, or provide, training.

m. Review and consult with the HEA or Headquarters Export Control Staff (HQ ECS) on all Center commodity jurisdiction, classification, and licensing requests for Center projects. After local approval, route those requests to the HEA for formal transmittal to, and processing by, BIS or

DDTC.

n. Serve as the interface with the HEA or HQ ECS for review and comment on contractor-requested export license applications related to NASA/Center programs/projects. The purpose of a review is to:

(1) Determine if the industry applicant is accurately representing the NASA program and NASA involvement.

(2) Determine if the work is being done under a NASA international agreement or with an industrial contractor of the NASA foreign partner.

(3) Determine if an exemption or exception applies for exports in accordance with an international agreement.

(4) Verify that NASA contract direction to industry is within the scope of the license activities.

(5) Determine any feedback or reporting requirements the program desires to add to the license conditions.

o. Serve as the interface with the HEA or HQ ECS for review and comment on the Committee on Foreign Investment in the United States (CFIUS) cases related to Center programs or NASA contracts.

p. Serve as the Center export control point of contact for General Accountability Office (GAO) and

NPR 2190.1C -- Chapter2 This document does not bind the public, except as authorized by law or as incorporated into a contract. This document is uncontrolled when printed. Check the NASA Online Directives Information System (NODIS) Library to verify that this is the correct version before use: https://nodis3.gsfc.nasa.gov.

NPR 2190.1C -- Chapter2 Page 13 of 43

p. Serve as the Center export control point of contact for General Accountability Office (GAO) and Inspector General (IG) audits related to export control matters.

q. Periodically disseminate export control information and guidance to appropriate Center personnel.

r. Review and ensure Center follow-up and closeout on recommendations from the annual NASA Export Control Program audit and on GAO and IG audits related to export control.

s. Establish contacts with Center contractors involved in Center programs with international content to share information and to work issues related to licenses and/or granting or use of NASA-authorized ITAR exemptions.

t. Assist the International Space Station (ISS) program and other NASA programs in performing EAR-required audits and reviews of NASA contractors authorized to use any BIS-approved NASA International Cooperative Licenses (ICL).

u. Assist CEC with export control review and publication clearance for NASA patent applications.

v. Assist project personnel in determining the export-control jurisdiction of items to be declared excess and support the PDO in conducting audits of Center property disposition and export control activities, as necessary.

w. Maintain electronically, or in hardcopy, a reference library of relevant policies, regulations, and, to the maximum extent practicable, the international agreements governing the programs and projects for which exports and transfers are required.

x. Work with Center program managers, facilities managers, counterintelligence professionals, and Center Protective Services personnel to identify key technologies and catalog those key technologies at each Center. Each Centers' catalog will be forwarded to the HEA for inclusion into the NAII 2190.1, or other designated repository. The CEA will maintain and update the Center information, as necessary.

2.10 Center Export Counsel (CEC)

2.10.1 The CEC is appointed by the Center Chief Counsel and is responsible for providing legal guidance to the CEA in NASA export control matters under the ITAR, the EAR, and other applicable regulations. The CEC shall:

a. Assist the CEA in reviewing specific exports and transfers under NASA programs and with export control review and publication for NASA Patent Applications.

b. Assist the CEA in validation of Exemption and Exception use determinations, as necessary.

c. Keep abreast of statutory and regulatory developments in the U.S. export control system.

d. Guide the CEA in appropriate interpretation and implementation of export control laws and regulations. Consult with HEC to ensure Agency-wide consistency of interpretation.

e. Review Center annual audits.

f. Review Center voluntary disclosures.

g. Attend Annual NASA Export Control Program Reviews

NPR 2190.1C -- Chapter2 This document does not bind the public, except as authorized by law or as incorporated into a contract. This document is uncontrolled when printed. Check the NASA Online Directives Information System (NODIS) Library to verify that this is the correct version before use: https://nodis3.gsfc.nasa.gov.

NPR 2190.1C -- Chapter2 Page 14 of 43

2.11 Center Project Managers

2.11.1 NASA program and project managers shall include "export control milestones" in their program and project plans and should collaborate with CEAs early in a project's life cycle (prior to the mission definition review) to identify and assess export-controlled technical data that will be provided to foreign partners, and other activities, to ensure that export control matters are considered and resolved in advance of shipping or transfer dates.

2.11.2 All NASA Center project managers shall, in consultation with the appropriate CEA, ensure that international activities under their direction include:

a. Appropriate safeguards for export or transfer of commodities, software, technical data, technology, and/or defense services, and/or technical assistance pursuant to international agreements or contracts. All export-controlled technical data or commodities will be marked or identified, in accordance with the Transfer of Goods and Technical Data Clause of the relevant international agreement, prior to authorized transfer to foreign persons. When necessary and appropriate (and with the concurrence of the CEA, HEA, HEC, and CEC), NDAs will be used when foreign persons are provided controlled technical data or commodities outside the scope of an international agreement or contract.

b. Necessary technical information to the CEA to determine the need for validated export licenses or other documentation in specific activities and for the completion of such documentation, where necessary.

c. Adequate lead time for the submission, processing, and receipt of validated export licenses, see NAII 2190.1 for appropriate guidelines.

d. Oversight of NASA-directed contractor export activities, including concurrence on the use of NASA-authorized exemptions or exceptions, or the use of NASA-obtained licenses, and require that copies of all export records (e.g. AES, Government Bill of Landing (GBL), waybills, invoices) be submitted to NASA. (See Section 3.7 Reporting)

e. Assurance that NASA only transfers commodities, software, technical data, technology, and/or defense services, and/or technical assistance necessary to fulfill NASA responsibilities under international agreements and contracts. If foreign contracts are anticipated, program and project managers will ensure that there is appropriate Headquarters review and that such contracts are prepared with appropriate export control provisions. Contracts with U.S. industry that support an international program or project will include appropriate provisions related to export control requirements.

f. Export-control jurisdiction and export classification of commodities, software, technical data, technology, and/or defense services, and/or technical assistance, in consultation with the CEA, and note classification in NASA property databases or tracking forms. Export control jurisdiction of hardware and technical data is an important consideration when reviewing program access by non-U.S. persons. Technical data (documents) that require use of export license, exemption, or exception will be marked as "export controlled."

g. Designation of work as fundamental research only in consultation with the CEA and CEC as described in NAII 2190.1.

NPR 2190.1C -- Chapter2 This document does not bind the public, except as authorized by law or as incorporated into a contract. This document is uncontrolled when printed. Check the NASA Online Directives Information System (NODIS) Library to verify that this is the correct version before use: https://nodis3.gsfc.nasa.gov.

NPR 2190.1C -- Chapter2 Page 15 of 43

h. Annual opportunities for NASA export-control training for all program and project personnel; this is especially important if foreign persons are involved or when directing the work of others on the project

i. Timely review of industry export licenses related to NASA programs and projects. Verify program description and characterization of NASA and contractor involvement. Use timeline guidance timelines in NAII 2190.1 to submit export authorization requests.

j. A TTCP recommendation for all NASA programs/projects with international involvement. (See Section 3.5 of this NPR for more information about TTCPs.)

k. Work with the CEA to determine the need for and subsequent appointment of one or more ECRs in the program to provide assistance to a program/project regarding export control matters.

l. Determine the export classification of items, in consultation with your Center CEA or your ECR, and document that information in the applicable property accountability record.

m. Ensure all documents and hardware are properly classified for export control purposes prior to transfer or final disposition.

2.12 Export Control Representatives (ECR)

Centers may choose to appoint ECRs (e.g. ECRs, CERs, or EC-POCs) within a directorate organization or program to act as the point of contact with the CEA on all matters concerning export control and international visitor requests to the respective Center. The ECR will maintain working knowledge of the ITAR and EAR, participate in export control training activity annually, and coordinate export issues with the CEA. ECR duties and responsibilities related to export control issues shall be coordinated with the CEA.

2.13 Center Transportation Officers (TO)

2.13.1 NASA TOs at each Center shall, in consultation with the CEA, ensure that all exports and transfers of commodities, software, and technical data under Center programs are accompanied by appropriate and accurate export control documentation, including validated export licenses, commercial invoice documents, marking statements, destination control statements, GBLs, AES filing, or other authorizing documents, as needed, in all appropriate cases.

2.13.2 Exports and transfers required by Headquarters program or project managers will be processed by the Goddard Space Flight Center (GSFC) TO (to include AES filings). The GSFC TO shall consult with the GSFC CEA and the HEA for such Headquarters exports and transfers.

2.14 Center Property Disposal Officers (PDO)

NASA PDOs shall ensure that the export control jurisdiction of NASA hardware is determined prior to its disposal or sale. PDOs can consult with the NASA project manager/owner of the property, the CEA, or the ECR for proper classification of NASA export-controlled property. PDOs should also ensure vetting of individuals that receive these items and provide notice to the recipient of the export-controlled status of the item. Vetting includes verifying U.S. citizenship and checking denied lists via the agency approved method administered by NASA HQ OPS.

NPR 2190.1C -- Chapter2 This document does not bind the public, except as authorized by law or as incorporated into a contract. This document is uncontrolled when printed. Check the NASA Online Directives Information System (NODIS) Library to verify that this is the correct version before use: https://nodis3.gsfc.nasa.gov.

NPR 2190.1C -- Chapter2 Page 16 of 43

2.15 Export Control Staff (ECS)

2.15.1 The Export Control Staff (ECS) consists of civil servants or contractors that directly support the office of the HEA or CEA and facilitate the execution and/or documentation of export compliance activities within NASA.

2.15.2 Examples of ECS responsibilities include preparation or maintenance of:

a. Export authorization applications

b. Classification determinations

c. Foreign visit review and proviso recommendations.

d. Export control release determinations for NASA documents that will be provided to the public or to specific foreign persons

e. Export control training products

f. Export control records or database systems

g. Export control policy, procedural, or guideline recommendations

NPR 2190.1C -- Chapter2 This document does not bind the public, except as authorized by law or as incorporated into a contract. This document is uncontrolled when printed. Check the NASA Online Directives Information System (NODIS) Library to verify that this is the correct version before use: https://nodis3.gsfc.nasa.gov.

NPR 2190.1C -- Chapter2 Page 17 of 43

Chapter 3. NASA Export Control Process

3.1 General

3.1.1 NASA, as a U.S. Government agency on the leading edge of technological development and international cooperation in space, aeronautics, and a variety of scientific endeavors, is a responsible exporter. The most significant step in any export activity is to determine if the export is necessary and appropriate, from a program standpoint, and in accordance with NASA international policy and with the approved agreement (usually international agreement) or contract. The international agreement's Roles and Responsibilities and Technical Data and Goods clauses provide important guidance on the scope of exports and transfers that are consistent with the relevant program.

3.1.2 In general, NASA is not responsible for contractors' export compliance in the execution of contracted work. The exception is an instance in which NASA directs or authorizes a contractor to effect exports using a NASA-obtained license, a license exemption, a license exception or Government Bill of Lading (GBL).

3.2 Commodity Jurisdiction (CJ) and Classification

3.2.1 Once it has been determined that a planned transfer of export-controlled items (commodities, software, technical data, technology, defense services or technical assistance) to a foreign person is necessary and consistent with NASA policy and the approved agreement, contract or grant, the next step is to establish if the item is listed on the United States Munitions List (USML) or the Commerce Control List (CCL). The USML enumerates the classes of defense articles subject to the licensing authority of the DDTC. The CCL identifies items subject to the licensing authority of the BIS.

NASA officials authorized to make this determination include the HEA, CEAs, and experienced ECRs and program and project managers. These individuals can seek advice from manufacturers, engineers, and other qualified, knowledgeable persons to assist in this process. The HEA can also request a CJ determination from DDTC, if doubt about proper jurisdiction persists.

3.2.2 Upon a written CJ request from the HEA, DDTC will, in consultation with the DoD and DoC and other concerned U.S. Government agencies, provide a determination of whether a specific item is covered by the USML.

3.2.3 The ITAR states the basis upon which a commodity determination is made and how jurisdictional disputes may be resolved.

3.2.4 All CJ requests will come through Headquarters. NASA CEAs shall consult with the HEA if questions of jurisdiction arise.

3.2.5 If an item is believed to be under the jurisdiction of the EAR, but the exporter is not able to classify the item on the CCL, a classification request can be submitted to the BIS at the DoC by the

HEA.

3.2.6 All NASA classification requests are submitted by the HEA. A complete description of the item, including its intended purpose and all the capabilities the item may have, is required, as well as a suggested Export Control Classification Number (ECCN). BIS will provide a written classification to NASA, which may include limitations and requirement for reclassification if the item is modified

NPR 2190.1C -- Chapter3 This document does not bind the public, except as authorized by law or as incorporated into a contract. This document is uncontrolled when printed. Check the NASA Online Directives Information System (NODIS) Library to verify that this is the correct version before use: https://nodis3.gsfc.nasa.gov.

NPR 2190.1C -- Chapter3 Page 18 of 43 or improved.

3.2.7 With the exception of publicly available technical data/technology or software and fundamental research, virtually all commodities, technical data, and software are subject to the export control regulations. If technology, technical data, or software are publicly available they are not subject to export control.

3.2.8 If the technical data/technology or software is not publicly available or fundamental research, it is classified either under a Category Number on the USML, (See Chapter 4 of this NPR),under an ECCN on the CCL (See Chapter 5 of this NPR), or under EAR99.

3.2.9 Once properly classified on the USML or CCL, the appropriate authorization for export will be determined, whether an applicable license, license exception, or license exemption or other authorization (i.e., General Correspondence under the ITAR). Written HEA or CEA authorization is required prior to use of export authorizations; recordkeeping and reporting requirements apply.

3.3 Foreign Partner or End-User Credentials

3.3.1 In any export activity, it is imperative that the intended end users and their organizations be vetted prior to engaging in cooperative activities or export transactions NASA uses an online screening tool that performs this function as a single point check against multiple database lists for individuals or entities (company, government entity, school, etc.) against all current export control restrictions, sanctions, law enforcement, international terrorist, blocked person, wanted persons, entity lists, and export risk country alerts.

This is the start of the file's text. The full file is on GovTribe.

File details come from the government source that posted it. Updated .