Under the EU Dual Use Regulation, technology that does not fall within any classifications in the EU Dual Use List (Annex I to the Dual Use Regulation) would generally not require an export license, except to the extent the exports are intended for a military end-use in a country subject ...
Restrictions on trade in dual-use items, oil and aerospace goods and related services In order to target Russia’s technology and military sectors, the EU has prohibited the direct or indirect sale, supply, transfer or export of dual‑use goods, software and technology listed inAnnex Iof Re...
All items listed in Annex I to Regulation (EU) 2021/821, i.e., the common list of dual-use items subject to export controls “High performance computing” as an “artificial intelligence technology” “Internet of Things and Virtual Reality” “Technologies for ...
27 new entitieswere added to the list in Annex IV of those directly supporting Russia's military and industrial complex in its war of aggression against Ukraine. They will be subject to tighter export restrictions concerning dual use goods and technologies, as well as goods and technology which ...
The regulation also adds new entities to Annex IV of Regulation 833, which designated entities for enhanced export controls regarding dual-use and Annex VII items. The export of controlled items (or associated services) to the newly-designated parties previously required licensing, but th...
control of exports, transfers, brokering and transit of dual-use items. The Regulation entered into force on August 27, 2009. The list of controlled dual-use items is set out in its Annex. Note that items not listed in Annex I may also be subject to export controls under certain ...
The EU further extended the scope of the export restrictions on dual-use goods and technology, advanced technology items and goods that could contribute in particular to the enhancement of Russian industrial capacities. In particular, Annex XXIII of Regulation 833 was amended to cover every item wit...
(Van der Loo,2016; Van der Loo, Van Elsuwege & Petrov,2014; Van Elsuwege & Van der Loo,2017). Yet, the use of a complex, comprehensive and binding agreement to deliver the dual objective of deep integration and modernisation is without precedent in the EU’s external relations. ...
10 Previously, the export ban on dual-use items only targeted military end-use and 9 defence-related companies. 11 See Annex VII of Council Regulation 2022/328. 12 See Annex IV of Council Regulation 2022/328. 13 See Annex X of Council Regulation 2022/328. ...
EMIR reporting rules require to fill in the field "Nature of the reporting counterparty" (Field 7 in the Table 1 (Counterparty Data) of the Annex to the Commission Implementing Regulation (EU) 2017/105 of 19 October 2016 amending Implementing Regulation (EU) No 1247/2012 laying down ...