ST0996
[Annex of Compliance Measures] (14)(a) All employees involved in AECA/ITAR-regulated activities of BCA, to include all BCA employees engaged in exports, procurement, sales, engineering, product design and information technology matters, and those employees of shared Boeing entities utilized by BCA,…
Plain-language summary
What it actually means.
Plain-language summary forthcoming. Source text below.
Source text
As written.
[Annex of Compliance Measures] (14)(a) All employees involved in AECA/ITAR-regulated activities of BCA, to include all BCA employees engaged in exports, procurement, sales, engineering, product design and information technology matters, and those employees of shared Boeing entities utilized by BCA, are familiar with the AECA and ITAR, BCA's policies and procedures for compliance with the AECA/ITAR and those shared Boeing entities utilized by BCA responsibilities under AECA/ITAR;
Assessed by HEXDI
What HEXDI assesses.
- M3
3 — TRAINING
Program requires introductory export/import compliance training for employees upon initial hire and refresher training for all employees on…
- M3
4 — TRAINING
Program requires intermediate and advanced export/import control training for employees with key program responsibilities to ensure…
- M3
5 — TRAINING
Program requires cross-training of backups to assume tasks of employees with key program responsibilities when the employees are on leave,…
- M3
6 — TRAINING
Program includes a mentoring program in which experienced employees shadow junior employees and share their knowledge and skills with…
- M3
3 — TRAINING
Training schedule includes, but is not limited to, the following topics: purpose, scope, and restrictions of export/import controls; high…
- M3
2 — TRAINING
Training schedule is developed using a reasoned methodology that identifies, analyzes, and addresses the particular compliance risks faced…
Source & revisions
- First mapped
- Jun 8, 2022
- Last updated
- May 26, 2026 (26m ago)
- Source
- DDTC Consent Agreement(s)