CUSECO DOCUMENT: MIDTERM/FINAL QUESTIONS CONSOLIDATED
2025 UPDATE WITH COMPLETE QUESTIONS AND ANSWERS
1. A key to export compliance and documentation is:
A) Shipping cost accuracy
B) Insurance valuation
C) Correct jurisdiction and classification of items to be exported
D) Freight forwarder registration
Rationale: Proper classification ensures adherence to export regulations.
2. Which U.S. origin item is not subject to the EAR?
A) Tactical rifle
B) Night-vision scope
C) Shotgun with a barrel length less than 18 inches
D) Drone camera
Rationale: Such shotguns are regulated under the National Firearms Act, not EAR.
3. Category 0 on the Commerce Control List includes:
A) GPS devices
B) Satellite phones
C) Handcuffs, firearm optical sights, military steel helmets
D) Encryption software
Rationale: CCL Category 0 covers “materials and miscellaneous articles,” including listed items.
4. A delay in responding to a formal CBP request for shipment paperwork:
A) Is always fined
B) May result in the shipment being seized
C) Has no consequence
D) Nullifies duty charges
Rationale: CBP may seize the shipment if documentation is not provided.
5. If a “red flag” applies to a transaction:
A) Ship immediately
B) Investigate suspicious circumstances; if unresolved, pause exports and contact BIS
C) Ignore it
D) Contact USTR
Rationale: Exporters must investigate and may need BIS guidance.
6. Which is recommended but NOT required recordkeeping?
A) Commercial invoices
B) Rationale for item classification
C) Export licenses
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D) Shipper’s export declaration
Rationale: Documenting classification decisions aids audits but isn’t mandatory.
7. Which can substitute for a Schedule B number?
A) HTS (Harmonized Tariff Schedule) number
B) DUNS number
C) HTS number
D) UNSPSC code
Rationale: HTS codes are U.S. Customs’ classification numbers.
8. Which identifies software as technical data under ITAR?
A) EAR
B) ITAR
C) OPTN
D) BIS
Rationale: ITAR defines software as controlled technical data under defense regulations.
9. When claiming an exemption for exporting unclassified technical data under ITAR, the
exporter must:
A) Notify OFAC
B) File an EAR license
C) Maintain a record of each export
D) Register with DDTC
Rationale: ITAR requires record retention for exempt technical data exports.
10. Digital recordkeeping systems must retrieve by:
o Party names
o Countries involved
o Document reference numbers
A) Only names
B) Names and countries
C) All three
D) Only document numbers
Rationale: All metadata criteria are required for compliance records.
11. Documents usually provided to the seller include:
A) Bill of quantities
B) UCC filing
C) Commercial invoice, packing list, certificate of origin
D) Export licenses
Rationale: These standard documents accompany international shipments.
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12. The DDTC screening list is called:
A) Designated Denied List
B) Entity List
C) Statutorily Debarred Parties List
D) Consolidated Screening List
Rationale: DDTC controls ITAR-related denied and debarred entities.
13. SME (Significant Military Equipment) articles have:
A) No military value
B) Low technical utility
C) Capacity for substantial military utility or capability
D) Restricted civilian use only
Rationale: SME items are specifically defined under ITAR.
14. SNAP-R is used to:
A) File OFAC reports
B) Schedule export shipments
C) Submit license applications to BIS
D) Obtain HTS numbers
Rationale: SNAP–R is BIS’s online licensing platform.
15. Classification Requests are submitted to:
A) NOAA
B) BIS
C) DOS
D) DOT
Rationale: BIS handles EAR commodity classification requests.
16. The NRC issues which type of export licenses?
A) Temporary only
B) General only
C) Specific only
D) General and specific licenses
Rationale: NRC offers both general-use and case-by-case authorization.
17. For permanent export of unclassified defense articles under ITAR, the license form is:
A) DSP-61
B) DSP-5
C) DSP-73
D) DSP-85
Rationale: DSP–5 is used for permanent export of defense articles under ITAR.
18. Which regulation generally governs munitions over others?
A) EAR