Insights

BIS Releases Rules to Revise _SOCIAL

BIS Releases Rules to Revise and Expand Controls Relating to Semiconductors and Advanced Computing

The U.S. Department of Commerce's Bureau of Industry and Security ("BIS") recently released two rules to update export controls on advanced semiconductors, semiconductor development and production, and items that support supercomputing applications and end-uses.

These rules clarify, revise, and expand upon regulations issued in October 2022, which fundamentally changed the export controls relating to semiconductors, supercomputers, and related equipment, components, and parts. The first rule, Expansion of Export Controls on Semiconductor Manufacturing Items Interim Final Rule, focuses on semiconductor manufacturing equipment. The second rule, Advanced Computing Chips Rule, concerns advanced semiconductors, supercomputers, and related assemblies, components, and parts. The new rules, which amend the Export Administration Regulations, are intended to address China's continued efforts to obtain advanced semiconductors for the development of artificial intelligence and to acquire equipment essential to producing semiconductors for advanced weapons systems. The rules go into effect on November 17, 2023. 

The new rules change, and in some cases expand, export control classifications that broaden the scope of items controlled. In addition, BIS adds to the destinations subject to the controls and revises related end-use restrictions. The new rules also revise existing license exceptions and add a new license exception that is intended to establish a gating mechanism combined with prior notification to mitigate some of the expansion of the controls in limited scenarios. Finally, the new rules clarify, and in some circumstances narrow, the restrictions on the activities of U.S. persons that were first introduced in the October 2022 rules.  

BIS announced that the changes are necessary to prevent circumvention of controls and to account for industry developments. It further explained that it is expanding country-based restrictions in order to address diversion risks and changing end-use restrictions to obtain greater visibility into, and control over, the flow of sensitive items outside the United States.  

Companies with business operations involving semiconductors and advanced computing should closely examine these updates and expanded controls to determine whether steps are necessary to ensure compliance with U.S. export controls.

Insights by Jones Day should not be construed as legal advice on any specific facts or circumstances. The contents are intended for general information purposes only and may not be quoted or referred to in any other publication or proceeding without the prior written consent of the Firm, to be given or withheld at our discretion. To request permission to reprint or reuse any of our Insights, please use our “Contact Us” form, which can be found on our website at www.jonesday.com. This Insight is not intended to create, and neither publication nor receipt of it constitutes, an attorney-client relationship. The views set forth herein are the personal views of the authors and do not necessarily reflect those of the Firm.