Sandia National Laboratories

Badge Office
Personnel Clearances
Export/Import Control
Facility Clearance
- FSO Responsibilities
- Flowdown of Requirements
Foreign Nationals
International Travel
KAFB Access
Operations Security (OPSEC)
Official Use Only
Prohibited/Controlled Items
Random Drug Testing
Reporting Requirements
Security Tools

SNL Security Contacts


Contractors and subcontractors who engage in exporting and importing need to have an export/import control program.

It is the responsibility of each contractor to:

  • Interpret and comply with U.S. Export and Import Control Laws and Regulations.
  • Make accurate Export Control determinations for information, technologies, and commodities they generate.
  • Obtain required export and import licenses, permit, or other authorizations.
  • Protect the information, technologies or commodities within their organization to avoid export or import violations.

The Sandia International Export Trade Compliance Group (IETC) does not:

  • Advise outside organizations interpretations of U.S. Export and Import Regulations or how to manage their export/import control program.
  • Obtain export or import licenses, permits or other authorizations for other organizations.
  • Export or import on behalf of our contractors.
  • Authorize other organizations to export or import on behalf of Sandia.


Resource Information:

Export Administration Regulations Database (