Due to Popular Demand, The organiser has added a 3rd day featuring defense industry expert speakers to further your learning experience.
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Avoid Costly Fines & Penalties Through Your Compliance with and Understanding of the EAR & ITAR.
Market forecasts by Region and Infrastructure Components. Technologies and Market Overview, Country Analysis, Growth Scenario, and Leading Companies
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Small group exercises are offered on all days.
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Timothy Mooney is a Senior Export Policy Analyst with the Regulatory Policy Division in the Office of Exporter Services/Export Administration with the U.S. Department of Commerce, Bureau of Industry and Security (BIS). Mr. Mooney joined BIS in July 2004. As a Senior Export Policy Analyst, he is responsible for drafting rules to revise the Export Administration Regulations (EAR). Since 2004, Mr. Mooney has drafted one hundred and nineteen rules that have amended or requested public comments on the EAR. Mr. Mooney is actively involved in the current USML to CCL review process, including helping to draft the April 16, 2013 initial implementation final rule. Mr. Mooney helped to develop the Specially Designed and CCL Order of Review Decision Tools that are available on the BIS website.
Debi Davis is Vice President, Washington DC Operations & Global Trade at Esterline Corporation. Ms.Davis is responsible for oversight of all international trade compliance related functions for Esterline, a multibillion dollar corporation operating in 14 countries. In this role Ms. Davis manages a wide range of functions including Export and Import Compliance; Export and Import Licensing; Customs Activities; Investigations and Disclosures; Consent Agreement Compliance and other compliance related activities. Prior to her career with Esterline, Ms. Davis held a variety of International Trade and International Business Development positions with various Aerospace and Defense companies including UTC Aerospace Systems, Goodrich, TRW, Lockheed Martin Corporation, General Electric and Westinghouse. Ms. Davis also served as the Goodrich Internal Special Compliance Officer from 2006 to 2009 under a Consent Agreement with the Department of State. Ms. Davis Chaired the Aerospace Industries Association’s (AIA) International Council for 3 years and has been a member of that Council for over 20 years.
Matthew McGrath counsels companies on export control matters, and also focuses on government contracts and international business transactions. He is experienced in the areas of export controls under the International Traffic In Arms Regulations (ITAR); Export Administration Regulations (EAR); Office of Foreign Assets Control (OFAC) regulations, and other related areas of law. He is a member of the technology working group (TWG) for the Militarily Critical Technologies Program (MCTP). Mr. McGrath is also experienced in foreign military sales; international commercial disputes; international finance programs for the Agency for International Development (AID), the Export-Import Bank, the World Bank, and the Defense Security Cooperation Agency; and issues associated with U.S. and foreign government procurement.
Matt Doyle is Senior Manager, Export/Import Compliance, in the Corporate International Trade Compliance Office of Lockheed Martin Corporation in Arlington, Virginia. Mr. Doyle has more than twenty-seven (27) years of U.S. federal export and import regulatory experience with major high technology defense and aerospace firms (including nine years with Lockheed Martin; and the remainder with Litton Systems, Inc.; BAE Systems, Inc.; and Raytheon Company). Specific federal export-import regulatory skills and experience include: preparing, review and training on implementation of Technology Transfer Control Plans (TTCPs); Commodity Jurisdiction and Commodity Classification requests; ITAR licenses and agreements and EAR license requests and/or License Exception applicability decisions; licensing strategy for challenging international programs/technologies as well as for congressional notifications; ITAR and EAR compliance audits and self-assessments; pre- and post-M&A export compliance due diligence; ITAR Part 123.9(c) reexport and retransfer authorization requests.
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