It is the policy of Duke University to fully abide by federal and state laws and regulations, including the Export Administration Regulations (EAR*), the International Traffic in Arms Regulations (ITAR*) and other bodies of export regulations. The export of material and technology to a foreign country may require a license or exemption prior to export. The release* or disclosure of controlled technology* or technical data* to any foreign person, whether it occurs in the United States* or abroad, is deemed to be an export, and may require either an export license, exemption documentation, or other form of legal authorization. Foreign persons include foreign individuals, corporations, government agencies, or other foreign entities. U.S. individuals are defined for export purposes as U.S. citizens, U.S. permanent residents (“green card holders”) and certain individuals in the United States* under refugee or asylum status. University research may be exempt from export control laws under the “Fundamental Research Exemption” by ensuring that it meets the definition of fundamental research*: basic and applied research that is conducted with a clear intent to publish the results, and to do so without restriction or approval, and that the research does not have any national security restrictions, such as a restriction on the participation of foreign nationals.
When strictly adhered to, Duke policies ensure the “Fundamental Research Exemption” and are broadly applicable to all sponsored research, regardless of the source of funding. These policies are articulated in the University-Industry Guidelines, as follows: