Biden Administration Issues Executive Order on US Outbound Investment in Technology with National Security Applications

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The Biden administration has issued an executive order on US outbound investment in technology with national security applications. The order aims to address the national security risks posed by investment in select technology and products produced by countries of concern. The order, along with a corresponding Advanced Notice of Proposed Rulemaking from the US Department of the Treasury, provides insights into the government’s current thinking on outbound investment and the potential scope of the regulations.

The executive order identifies three covered technologies that may be subject to prohibitions or notification requirements: semiconductors and microelectronics, quantum information technologies, and artificial intelligence (AI). The countries of concern currently mentioned in the order include the People’s Republic of China, the Special Administrative Region of Hong Kong, and the Special Administrative Region of Macau. However, other countries may be added in the future.

The executive order and the proposed rulemaking seek public input on several issues, including the specific subsets of sensitive technologies that would be subject to the regulations. It is worth noting that the proposed regime is binary, meaning that transactions will either be prohibited or not, and there are no plans for case-by-case reviews.

One of the challenges for companies and investors is obtaining guidance from the Treasury regarding the applicability of the regulations to their outbound investments. Clear and focused regulations will be crucial to avoiding confusion and ensuring compliance. While there are existing controls for some technologies like semiconductors, there is a lack of targeted export classifications for quantum computing and AI, which may lead to uncertainties and mistakes in determining whether a technology falls within the covered categories.

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The executive order leaves room for the addition of new covered technologies in the future, so industries not currently identified should not assume they are exempt. There may also be exceptions to the prohibitions and notification requirements, which will be important for investors. However, certain types of investments that involve substantive decision-making by the covered foreign person may not qualify for the exceptions.

The regulatory process is expected to take months, and affected investors and entities are encouraged to take advantage of the Advanced Notice of Proposed Rulemaking to submit comments and provide feedback to the Treasury. This will help inform the government’s further consideration of the scope of the regulations.

In conclusion, the Biden administration’s executive order on US outbound investment in technology with national security applications reflects the government’s increased focus on addressing national security risks associated with investment in countries of concern. The order identifies specific covered technologies and countries, but the scope and impact of the regulations will become clearer as the Treasury develops its proposed rules. It is crucial for companies and investors to stay informed and actively participate in the rulemaking process to ensure compliance and minimize potential risks.

Frequently Asked Questions (FAQs) Related to the Above News

What is the purpose of the executive order on US outbound investment in technology?

The executive order aims to address national security risks associated with investment in select technology and products produced by countries of concern.

Which technologies are covered by the executive order?

The covered technologies include semiconductors and microelectronics, quantum information technologies, and artificial intelligence (AI).

Which countries are currently mentioned as countries of concern in the order?

The countries of concern currently mentioned in the order are the People's Republic of China, the Special Administrative Region of Hong Kong, and the Special Administrative Region of Macau.

Will other countries be added as countries of concern in the future?

Yes, the executive order leaves room for the addition of new covered countries in the future.

Will transactions be reviewed on a case-by-case basis?

No, the proposed regime is binary, meaning that transactions will either be prohibited or not. There are no plans for case-by-case reviews.

Are there clear guidelines on how the regulations apply to outbound investments?

Clear guidelines are still needed as companies and investors are seeking guidance from the Treasury regarding the applicability of the regulations to their outbound investments.

Are there specific export classifications for quantum computing and AI?

Currently, there is a lack of targeted export classifications for quantum computing and AI, which may lead to uncertainties and mistakes in determining whether a technology falls within the covered categories.

Will additional technologies be added in the future?

Yes, the executive order allows for the addition of new covered technologies in the future, so industries not currently identified should not assume they are exempt.

Are there exceptions to the prohibitions and notification requirements?

There may be exceptions to the prohibitions and notification requirements, but certain types of investments that involve substantive decision-making by the covered foreign person may not qualify for the exceptions.

How can affected investors and entities provide feedback on the proposed rules?

Affected investors and entities are encouraged to take advantage of the Advanced Notice of Proposed Rulemaking to submit comments and provide feedback to the Treasury.

What should companies and investors do to ensure compliance with the regulations?

It is crucial for companies and investors to stay informed about the development of the proposed rules and actively participate in the rulemaking process to ensure compliance and minimize potential risks.

Please note that the FAQs provided on this page are based on the news article published. While we strive to provide accurate and up-to-date information, it is always recommended to consult relevant authorities or professionals before making any decisions or taking action based on the FAQs or the news article.

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