United States law requires The Boeing Company protect information controlled by the International Traffic in Arms Regulations (ITAR) (22 CFR120-130) and the Export Administration Regulations (EAR) from improper disclosure to Non-US Persons and U.S. person employees of a Non-Boeing, Non-US entity (USNBO). Boeing International locations will follow their local export/import regime regulations. To that end, security signs have been posted in various areas noting Non-U.S. Persons must be escorted. Individuals whose status has not been verified are also badged as Non-U.S. Persons pending actual verification of their status, and must adhere to this guidance, regardless of their country of citizenship and/or the entity they represent.
You are responsible for complying with company procedures for safeguarding ITAR and EAR information and ensuring that individuals are aware of any person/s under escort to you that have a Non-US Person status for the purpose of releasing information and granting access to computer systems. Failure to adhere to these
restrictions could result in corrective action and/or withdrawal of your authority to enter Boeing property.
You will be informed of all proper escort procedures and responsibilities during a 15-30 minutes WebEx meeting. By checking the box below you are indicating that you understand and agree to follow all of the procedures.