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State Plan of Operations
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10. October
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2018-10-16 10:00 AM - Commissioners' Agenda
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State Plan of Operations
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Last modified
10/26/2018 11:09:52 AM
Creation date
10/26/2018 11:09:32 AM
Metadata
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Template:
Meeting
Date
10/16/2018
Meeting title
Commissioners' Agenda
Location
Commissioners' Auditorium
Address
205 West 5th Room 109 - Ellensburg
Meeting type
Regular
Meeting document type
Fully Executed Version
Supplemental fields
Alpha Order
j
Item
Request to Acknowledge the State Plan of Operations between the State of Washington and the Kittitas County Sheriff’s Office
Order
10
Placement
Consent Agenda
Row ID
48517
Type
Agreement
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J. LEAs are not authorized to transfer any property on their inventory without State and LESO <br />notification and approval. Property will not physically move tmtil the LESO approval process is <br />complete. <br />K. Certain controlled equipment will have a documented chain of custody (i.e. Equipment Custody <br />Receipt [ECR] or equivalent), including a signature of the recipient. Controlled equipment <br />requiring a chain of custody are: small arms, aircraft, high profile vehicles, optics, robots, and <br />small arm's parts/accessories. It is encoµraged to utilize ECRs for all controlled equipment. <br />Regarding ECRs during a LESO PCR see section VI, A, 4. <br />L. Sale or transfer ofDEMIL Codes "A" or "Q6" property after the one (1) year conditional holding and <br />utilization period to non-LEA participants will be executed in compliance with U.S . Export Control <br />Regulations. <br />1) Excess personal property may be export-controlled, regardless of the assigned DEMIL Code and <br />regardless ofthe Department or Agency that donates the property. <br />2) DEMII., Codes are not a substitute for export controls. They do not provide information on the <br />export control requirements for an item . <br />3) The Transferee is responsible for complying with U.S. Export Control Laws and Regulations, <br />including the Export Administration Regulations (EAR) (15 CFR Parts 730-774) and the <br />Inte~ational Traffic inArms Regulations (ITAR) (22 CPR Parts 120-130). <br />a) This responsibility exists independent of, and is not established or limited by, the <br />information provided in this statement of compliance. <br />b) The responsibility includes, but is not limited to, determining the subsequent transferee's <br />eligibility to receive such items in accordance with U.S. Export Control Laws and <br />Regulations. <br />c) Information on the EAR and ITAR are at: bttps://www.bis .doc.gov/i11dex.php and <br />bttp s://www.p1.11ddtc.state.gov/ind ex .htrol. <br />d) Tips: <br />i. If Transferee ha.~ doubts ab out whic h regulatio n goverrur control of the item , they <br />may submit a. conuno d1 ty juris diction request to the -O epar~ent of State, <br />Directorate of Defense Trade Controls to determine whether it is subject to the <br />!TAR or EAR. Information on commodity jurisdiction requests can be found at: <br />http://www.:pmddtc.state.gov/c omrnoditx jm·isdictio11/index .html . <br />ii. If Transferee is sure the item is subject to the EAR, but needs help determining the <br />correct Export Control Classification Number (BCCN), they may submit a <br />commodity classification request to the Department of Commerce, Bureau of <br />Industry and Security (BIS). Information on classification requests can be found <br />4 <br />Version ; July 2018
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