BATF: OPEN LETTER TO FEDERALLY LICENSED FIREARMS IMPORTERS

dZ

New member
OPEN LETTER TO FEDERALLY LICENSED FIREARMS IMPORTERS
AND REGISTERED IMPORTERS OF U.S. MUNITIONS IMPORT LIST ARTICLES

June 26, 2000

NOTE: Copy of Open Letter is being mailed to all importers the week of July 9, 2000

The Bureau of Alcohol, Tobacco and Firearms (ATF) is committed to keeping industry members informed of regulatory and statutory developments that affect them. In furtherance of this
commitment, we have prepared this open letter, which contains information about recent changes which may affect your day-to-day operations and/or long range plans. We hope you find this
letter helpful in your business pursuits. Some of the changes will also be announced through other channels, such as the Federal Register and ATF’s Internet site, www.atf.treas.gov.



CICAD Model Regulations

On April 18, 1998, at the second Summit of the Americas held in Santiago, Chile, President Clinton announced that the United States would issue regulations implementing the "Model
Regulations for the Control of the International Movement of Firearms, Their Parts and Components, and Ammunition" (the Model Regulations). The Model Regulations were drafted by the
Inter-American Drug Abuse Control Commission ("CICAD") at the request of the Organization of American States. The purpose of the regulations is to provide standardized procedures for the
international movement of firearms, their parts and components, and ammunition so as to prevent illegal trafficking in these items.

To further these objectives, the President directed the U.S. Secretaries of State, Commerce, and Treasury to implement the Model Regulations. In response to the President’s directive, on April
12, 1999, the Department of State published in the Federal Register amendments to the International Traffic in Arms Regulations (64 FR 17531). The Department of Commerce published its
amended regulations in the Federal Register on April 13, 1999 (64 FR 17968). Now, through a final rule published June 20, 2000, in the Federal Register, ATF is amending its regulations and
affected forms to comply with the Model Regulations. Changes made by this final rule were effective upon publication and include:

Inclusion of final recipient information on import permit applications (ATF Forms 6).

Presentation of an export license to U.S. Customs to effect the release of firearms, firearms parts, and ammunition. The requirement to present an export license is in addition to
the ATF Forms 6 and 6A already required. If the exporting country does not issue export licenses, the importer instead must present a certification, under penalty of perjury, to
that effect.

Open Letter to Federally Licensed Firearms Importers



This requirement applies only to commercial (i.e., imports by licensed and/or registered importers for purposes of resale) importations of firearms, firearms parts, and
ammunition.

Reduction of the value of parts and components that may be imported without a permit from $500 to $100.

Technical and Conforming Amendments to Import Regulations

We have identified several amendments and conforming changes to the regulations that are needed to provide uniformity in Title 27, Code of Federal Regulations. These amendments to 27
CFR Parts 47 and 178 were published in the Federal Register along with the CICAD amendments. They merely improve the clarity of the regulations, simplify regulatory requirements, or
implement foreign policy as directed by the Department of State. The amendments are as follows:

Certification of Foreign Origin on ATF Form 6. At the request of the Department of State, ATF will add a new Item 9 to ATF Form 6, which asks the applicant to certify the origin
of articles intended for importation. The change will be set forth in 27 CFR 47.42(a).

Ordinarily, applicants will check the blocks in Item 9a if the articles sought for importation were produced for the civilian market and were not associated with the U.S. military or
manufactured abroad under a technical assistance agreement or technical data packet provided under a Department of State export license.

Applicants should check the block in Item 9b if the articles were manufactured by or for the U.S. military or if the the articles were manufactured abroad under a technical
assistance agreement or technical data packet provided under a Department of State export license.

Limited importation of U.S. Government granted or sold defense articles on the United States Munitions List. By letter dated November 2, 1999, the Department of State
directed ATF to deny applications, with limited exceptions, for the import of these articles. The limited exceptions allowed by the State Department will require importers to submit
with their permit applications a copy of the State Department’s re-transfer authorization issued to the party proposing to transfer such articles to the importer.

Required reporting of firearms serial numbers on ATF Form 6A within 15 days after their release from U.S. Customs. This change puts into regulation the requirement already
stated on the ATF Form 6A.

Record Retention Periods. Federal firearms licensees are required to keep ATF Forms 6 and 6A for at least 20 years and Arms Export Control Act registrants not licensed under
the Gun Control Act are required to keep these forms for 6 years.

Item 4 of the ATF Form 6 was also amended to collect the name and address of any broker employed to facilitate the import transaction. A broker means any person who acts
as an agent for others in negotiating or arranging contracts, purchases, sales or transfers of defense articles or defense services in return for a fee, commission, or other
consideration. The Arms Export Control Act regulations in 22 CFR Part 129 require, with certain exceptions, the registration and licensing of brokers. Questions about such
registration and licensing requirements should be directed to the Department of State, Office of Defense Trade Controls at (202) 663-2714, or at www.pmdtc.org/brokering.pdf .



Department of State Trade Sanctions

In furtherance of the national security and foreign policy of the United States, the Department of State has imposed trade sanctions against the Kazakhstani firm Uralsk Plant Metallist, the
private Czech arms broker Agroplast, and three Agroplast officials, Petr Pernicka, Zbynek Svejnoha, and Alexander Petrenko. As requested by the Department of State, ATF will not approve
permits to import defense articles when any of the companies or named officials is involved in the importation. Any U.S. importer having currently valid import permits for imports from any of these
entities or individuals is asked to so inform ATF in writing. Responses should be submitted to the Chief, Firearms and Explosives Imports Branch, Bureau of ATF, 650 Massachusetts Avenue,
Room 5100, Washington, DC 20226, fax (202) 927-2697.

Additionally, ATF continues to observe Department of State trade sanctions imposed March 29, 1999, against three Russian companies, the Tula Instrument Design Bureau, the Volsk
Mechanical Plant, and the Central Scientific Research Institute of Precision Machine-Building a/k/a Tzniitochmash. No permits will be approved for the importation of defense articles
associated with these companies.

Personnel Changes

We are pleased to announce that on July 17, 2000, the Firearms and Explosives Imports Branch will welcome David D. Johansen as its new branch chief. Dave brings over 15 years of ATF
experience to his new position. In 1985, Dave began his ATF career as an inspector in Denver, Colorado. From 1989 until 1993, Dave held positions within the Trade Affairs Branch and later in
the Associate Director’s Program Planning and Analysis Staff in Bureau Headquarters. Dave returned to the field in 1993 when he was appointed to the position of Area Supervisor in Buffalo,
New York. In 1998, Dave returned to Washington, DC when he accepted a position in ATF’s Office of Inspection.

After 7 * years of service in the Firearms and Explosives Imports Branch, Larry White will be moving into his new position as the Firearms Industry Liaison/Analyst for the Firearms, Explosives and
Arson Directorate effective July 2, 2000. In his new role, Larry will serve as a point of liaison/contact for both the domestic and import firearms industry members. Like Dave, Larry also has many
years of ATF field and headquarters experience dating back to 1976 when he became an inspector in Cleveland, Ohio. In 1982, Larry came to Washington as a Specialist in the Firearms and
Explosives Operations Branch. Larry moved to Atlanta, Georgia as Area Supervisor in 1989, and returned to Washington as a specialist in the Firearms and Explosives Imports Branch in 1992.

We wish Dave and Larry much success in their new roles.



Maintaining open lines of communication is vital to the successful future of ATF’s partnership with the import community. The Firearms and Explosives Imports Branch is available to answer your
questions about the issues addressed in this letter. You may reach us by phone at (202) 927-8320 or by fax at (202) 927-2697.

Sincerely yours,

Alan B. Graham

Acting Chief, Firearms and Explosives

Imports Branch
http://www.atf.treas.gov/press/fy00press/070700open.htm
 
Good God, they've gone totally mad with power. We have to stop them. Write your reps. Write them a lot and make sure the gravity of this situation is made absolutely clear. The president has NO authority to draft new laws in the form of "policies". The legislature must maintain it's powers. Reign them in, write your reps.
 
It is late and I don't have the patience to figure out what the ATF is saying with this letter. Can someone translate this for me? I am gathering from Dangus's response to ATF's letter I wont't be happy.
 
I wish the gun show was closer / I didn't have so much to do today; I'd go out and impulse-buy a foreign-made Evil Black Rifle affected by this latest Rule-by-Regulatory-Fiat.

What I will do is a write a check to NRA-ILA and GOA.
 
<BLOCKQUOTE><font size="1" face="Verdana, Arial">quote:</font><HR>- ----- Original Message -----
From: <XXXXXXXXXXXX
To: <XXXXXXXXXXXXXXXXX
Sent: Saturday, August 19, 2000 4:56 PM
Subject: [] Proof UN, OAS and NGOs behind ATF gun ban


For years, I have been preaching the fact that the UN/OAS, and
NGOs--financed
by the major foundations such Joyce, Ford, Carnegie, Rockefeller, MacArthur,
Soros and Rubin--are our most dangerous foes to Liberty and the power behind
the gun-grabbers. These same foundations (or most of them) support the
Eco-nuts. Many of these elitists serve on interlocking directorships. All
have a socialist agenda. That is to lock up over 50% of land in America from
all but the most restricted usage, herd Americans onto reservations and
force
One World Government upon us. They know the only way they can accomplish
this
is to disarm American citizens first.

To change the way Americans think, these elitists took over our education
system decades ago and are busily turning our children into good little
globalist worker bees for the human hive they envision.

The worst of these Foundations, or at least the most obviously Marxist, is
the Rubin Foundation created by Samuel Rubin--a communist. Rubin worked hand
in glove with Armand Hammer. The links immediately below deal with the Rubin
Foundation. Those following relate to the new gun-grab.

Yesterday, I read about a new ATF weapons ban and I started doing some
research. What gave me the information I needed was the phrase
"Implementation of the Model Regulations for the Control of the
International
Movement of Firearms, Their Parts and Components, and Ammuntion" I took
"Model Regulations for the Control of the International Movement of
Firearms,
Their Parts and Components, and Ammuntion" + UN + OAS and ran it through a
searchbot. BINGO! OAS is the culprit that created it and Clinton is its able
abettor. America's ATF policy is now decided by an international
organization
that favors world government.

More and more, it looks like it is time to "Praise the Lord and pass the
ammunition!"

XXXXXXXXXXXXXX
- --proud member of the Henry Bowman Brigade

Semper Fi and "MOLON LABE!"


~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~
http://www.atf.treas.gov/press/industry/fy00/062000modelregs.htm
For Immediate Release FY-00-8
Contact: Art Resnick Date: June 20, 2000
Implementation of the Model Regulations for the Control of the International
Movement of Firearms, Their Parts and Components, and Ammunition

Washington - The Bureau of Alcohol, Tobacco and Firearms (ATF), has issued a
Treasury decision governing the importation of firearms, ammunition, and
implements of war. The changes implement the "Model Regulations for the
Control of the International Movement of Firearms, Their Parts and
Components, and Ammunition" which President Clinton directed the Secretaries
of State, Commerce, and Treasury to implement after the second Summit of the
Americas, in Santiago, Chile. The purpose of the Model Regulations is to
provide standardized procedures for the international movement of firearms,
their parts and components, and ammunition so as to prevent illegal
trafficking in these articles.

The new regulations will go into effect on June 20, 2000.

For additional information, refer to the June 20, 2000 issue of the Federal
Register, or visit the ATF web site at www.atf.treas.gov.

- -end-
http://www.basicint.org/esocres.htm

"Taking note with appreciation of the work of regional organizations such as
the Organization of American States, which completed in November 1997 the
Inter-American Convention against the Illicit Manufacturing of and
Trafficking in Firearms, Ammunition, Explosives, and Other Related
Materials,
the Inter-American Drug Abuse Control Commission, which developed the Model
Regulations for the Control of the International Movement of Firearms, Their
Parts and Components, and Ammunition, and the Council of the European
Communities directive on firearm regulation, (2)

Taking note of the relevant recommendations contained in the report of the
United Nations Panel of Governmental Experts on Small Arms, in particular
those related to achieving effective control of firearms in the
peace-building process in order to prevent their entry into the illicit
market..."
http://www.cicad.oas.org/en/legal_development/legal-regulations-arms.htm
http://www.basicint.org/brcasa.htm
http://www.basicint.org/onesize5.htm
http://www.atf.treas.gov/search?NS-search-page=results
http://metalab.unc.edu/reference/docs/undocs.html
http://www.basicint.org/unaxwor.htm

...[/quote]
 
For you AK/SKS owners, note ATF's sanction of Uralsk and Tula. These are two of Russia's biggest makers of steel-cased ammo in both rifle and pistol calibers. IIRC, Tula is the maker of "Wolf" brand ammo.

I don't have documentation that ATF had been previously banning import of Uralsk and Tula products, but I doubt it since I've seen plenty of the stuff for years at the shows. Recently their 7.62x39 has been selling for around $85-$90 per case of 1000.

Sounds like this may change soon, so you'd better get while the gettin's good.
 
Move it kids!

Here's a good opportunity.

If all of us today, write all of our reps and write well.

Join/Donate to GOA, JPFO, NRA, you will have an effect. Give what you can.
 
I wrote my rep about this. I also wrote him about the UN Criminal Court, and the Citizen Soldier Protection Act of 2000. On the latter two I have heard back that he will support them. He has not had time to write me back about the BATF power abuse yet. I wrote a strongly worded letter about this. Be sure and include in your letters to your reps that the BATF has no power to pass laws, and that it is THEIR job, not the job of the BATF to decide what is legal and what is not. They may not care that this stuff is being banned, but they sure as hell will care that the BATF is usurping their powers.

------------------
I twist the facts until they tell the truth. -Some intellectual sadist

The Bill of Rights is a document of brilliance, a document of wisdom, and it is the ultimate law, spoken or not, for the very concept of a society that holds liberty above the desire for ever greater power. -Me
 
<BLOCKQUOTE><font size="1" face="Verdana, Arial">quote:</font><HR>the changes implement the "Model Regulations for the
Control of the International Movement of Firearms, Their Parts and
Components, and Ammunition" which President Clinton directed the Secretaries
of State, Commerce, and Treasury to implement [/quote]
 
It will be helpful if we can get a succinct description of exactly what this means.

In a gun store this evening, I was told that many of the inexpensive AK's are being banned from further sale ... sounds related to this, but I'm not really sure.

Live and let live. Regards from AZ
 
From a quicky from a local gun shop owner who deals exclusively in mil-type firearms, used to be (like last week), imported firearms had to had 11 (mumble) parts (springs, etc.) of US mfg. Receivers, bbls, etc. would come in and have the required # of parts installed to be "legal."

That's just been shut down (last Fri?) & no more are allowed in.

I'm not up on on the specifics at all & this is just what I gathered from hearing him breifly on the radio so could way be off-mark but that's the gist as I understood it.
 
The deal as i understand it is that importing gun parts from abroad requires import paperwork that is signed by the BATF.

No more import papers will be signed for "non sporting" weapon parts and ammo.

dZ
 
The only confirmed ban is on receivers and barrels for assault weapons on the 1989 banned list. The ammo issue still seems up in the air, though Wolf ammo looks like it could possibly be in jepoardy.
 
BATF Stretching Import Ban
http://www.nealknox.com/alerts/msg00325.html

Subject: BATF Stretching Import Ban
From: neal@nealknox.com (Neal Knox)
Date: Sat, 26 Aug 2000 21:37:43 EDT

August 26 Neal Knox Report -- On June 26 BATF issued sweeping
new gun import regulations -- without notice or comment period --
as a result of an Executive Order by President Clinton to make U.S.
imports and exports comply with a Organization of American States
"arms trafficking" agreement.

Last week Century Arms bitterly complained on its web page
that "a legal committee at B.A.T.F. effectively banned an entire
class of previously importable firearms."

Those are unrelated high-handed actions.

The Century post listed several military-look semi-auto rifles that would
not be available after inventory is depleted and added: "Garand
rifles and parts for Garand rifles are no longer importable. Once
we are out of our inventory they will no longer be available in the
United States."

That's not correct, for several companies are making Garand receivers
and some are making their barrels in the U.S., but under BATF's latest
ploy they wouldn't be importable -- if they can make it stick.

I called Century to find out what was going on and was told
only that "our sources" had given them that information. I checked
with other importers who knew nothing about it.

Then I talked to the owner of Century who said he had been
informed that BATF had decided that no receivers, barrels or frames
could be imported if the completed gun could not be imported.

He wouldn't discuss BATF's rationale, only declaring "BATF is
the law." When I told him they aren't, he said they have the
President on their side. Well, yes, but the President isn't the
law either.

This morning I finally found out what this is all about.

According to a formerly high-ranking Treasury official, on
August 16 BATF gave a letter ruling to Century in which they "took
the position that rifle barrels and receivers are not importable
under 18 U.S.C. 925(d)(3) if they are 'primarily designed' to be
assembled into nonsporting, nonimportable firearms."

BATF has simply "reinterpreted" the law. Previously that
section had been "interpreted" to apply only to handgun barrels,
receivers or frames. That's what Congress intended, as the
legislative history makes clear.

A half-dozen years ago BATF tried to expand that section and
ran into a hornet's nest of protests. To prevent such complaints
to Congress, BATF plans to allow all approved import permits to be
filled, but there'll be no more -- so I understand, though they
haven't yet released the Century Arms letter.

Since the M1 Garand is a sporting rifle -- still a favorite at
Camp Perry -- and doesn't fit Feinstein's definition of "assault
rifle" because it has an internal, 8-round magazine, I believe the only
reason that it can't be imported is that it cannot be proved
whether a particular gun was given to a foreign government under the World War
II "Lend Lease" program.

I object mightily to BATF making law by fiat, and to Bill
Clinton doing it by Executive Order -- as the Washington Post
reports that he intends to do, in every way possible, before he
leaves office.
 
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