§ Capabilities · III
Structured trade control programs covering ITAR, EAR, and OFAC — built to survive audits and scale with growth.
Commodity jurisdiction (CJ) determinations, ECCN classification, and export authorization analysis for your product portfolio.
BIS license exception analysis, State Department license applications (DSP-5, TAA, MLA), and OFAC specific license requests.
Written policies, internal procedures, training curriculum, and technology-assisted screening protocols.
SDN and consolidated sanctions list screening, transaction monitoring, sanctions program gap analysis.
Comprehensive export control audits, corrective action planning, and compliance metrics reporting.
Incident investigation support, voluntary self-disclosure (VSD) drafting, and agency communication management.
ITAR, EAR, and OFAC violations carry criminal penalties, debarment risk, and reputational consequences that no company recovers from easily. SSG builds compliance programs that are operationally integrated — not buried in a binder that nobody reads.
We work alongside your legal counsel, operations teams, and business development leadership to build controls that protect the company without becoming a barrier to doing business.
Each regime has its own logic, thresholds, and enforcement posture. We know all three.
We build programs assuming an audit is coming — because it always could be.
We work alongside your legal team — not around them — to ensure privilege is protected where it matters.
§ Work With SSG
Whether you're classifying your first ECCN or responding to a State Department inquiry, SSG has the operational depth to help. Let's assess your current posture and build a program that protects you.
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