ST0607
(6)(a) [Monitoring ITT Night Vision Division and ITT Aerospace/Communication's AECA and ITAR export compliance programs with specific attention related to the following areas associated with the offenses alleged in the Draft Charging Letters:] 6. Policies and procedures for using overseas…
Plain-language summary
What it actually means.
Plain-language summary forthcoming. Source text below.
Source text
As written.
(6)(a) [Monitoring ITT Night Vision Division and ITT Aerospace/Communication's AECA and ITAR export compliance programs with specific attention related to the following areas associated with the offenses alleged in the Draft Charging Letters:] 6. Policies and procedures for using overseas representatives with regard to temporary exports.
Assessed by HEXDI
What HEXDI assesses.
- M9
1 — THIRD PARTY MANAGEMENT
Program requires prohibited party screening of all vendors, to include screens of the vendor’s name, address, associated persons, and…
- M9
2 — THIRD PARTY MANAGEMENT
Program requires reasonable due diligence screening of distributors, freight forwarders, customs brokers, foreign sales representatives,…
- M9
3 — THIRD PARTY MANAGEMENT
Program requires the use of freight forwarders and customs brokers that are properly vetted to ensure they are experienced in handling…
- M9
4 — THIRD PARTY MANAGEMENT
Program prohibits use of vendors with a history of export control violations.
- M9
1 — THIRD PARTY MANAGEMENT
Program requires that third party partners expressly agree to comply with U.S. export/import laws as a condition of doing business with the…
- M9
2 — THIRD PARTY MANAGEMENT
Program requires third-party partners involved in transactions for the sale of defense articles or the provision of defense services to…
Source & revisions
- First mapped
- Jun 8, 2022
- Last updated
- May 26, 2026 (17m ago)
- Source
- DDTC Consent Agreement(s)