Skip to main content
Glama
seelpeed-debug

export-controls-agent

Server Configuration

Describes the environment variables required to run the server.

NameRequiredDescriptionDefault
LAW_OCNoYour law.go.kr Open API account ID. Required to rebuild the Korean law snapshot, but optional at runtime (the Korean statute tool then serves the bundled snapshot).

Instructions

Guidance the server publishes about itself, which clients place ahead of the tool catalog so the model reads it before choosing anything.

This server publishes no instructions, or was last inspected before Glama recorded them.

Capabilities

Features and capabilities supported by this server

Protocol revision2025-11-25

CapabilityDetails
tools
{
  "listChanged": true
}
resources
{
  "listChanged": true
}

Tools

Functions exposed to the LLM to take actions

NameDescription
regime_overviewA

Orientation map of the export-control regimes that bear on a Korean semiconductor or battery transaction, and — importantly — which of them this server actually models against the regulation text versus merely flags for manual review. Read the coverageInThisServer field of each regime before relying on any other tool.

classify_transaction_riskA

Produce a triage score and review plan for a semiconductor or battery transaction. Terms are matched on word boundaries and negated statements are excluded from the score; the destination is assessed from the Country Group tables rather than from keywords. A 'low' tier is not a clearance -- no screening, classification or Part 744 analysis is performed here.

draft_export_control_clauseA

Draft Korean or English export-control and sanctions risk-allocation clauses. riskLevel selects cumulative clause tiers and materially changes the output: 'low' gives baseline compliance and termination provisions, 'medium' adds end-user certification, restricted-party notification and the 50 percent affiliates-rule representation, and 'high' adds conditions precedent tied to pre-shipment re-screening, Foreign Direct Product and de minimis acknowledgement, U.S.-person activity control, technology-access control, and a mandatory-rules provision.

build_due_diligence_checklistA

Generate a due-diligence checklist for a transaction stage. The industry parameter materially changes the output: the semiconductor set covers 3B001 subparagraph scoping and the 744.23 advanced-node, SME and ECAD controls, while the battery set covers the absence of CCL entries for battery chemistry and the superficially matching entries to avoid.

get_korean_law_articleA

Retrieve the current text of an article of the Korean Foreign Trade Act (대외무역법) or the Act on Private International Law (국제사법) from the law.go.kr Open API, falling back to a dated snapshot bundled with this server. Sub-articles are supported (제19조의2). Set the LAW_OC environment variable to a law.go.kr Open API account id to enable live retrieval.

classify_eccnA

Search the text of the Commerce Control List (15 C.F.R. Part 774, Supplement No. 1) for entries and paragraphs that mention the technical terms in an item description, and quote the controlling language verbatim together with the entry's Reason for Control and List Based License Exception flags. This tool does NOT classify the item: a text match means the paragraph is worth reading, and the absence of a match does not establish EAR99 status.

check_part744_enduseA

List the EAR Part 744 end-use and end-user issues that must be reviewed for a transaction: military end use (744.21) including the 50 percent affiliates rule, military-intelligence (744.22), nuclear (744.2), missile (744.3), chemical/biological (744.4), U.S.-person activities (744.6), and the supercomputer / advanced-node IC / semiconductor-manufacturing-equipment controls (744.23). This tool performs NO restricted-party screening and cannot clear a transaction; an empty issue list means the heuristic found nothing, not that the transaction is permissible.

screen_restricted_partyA

Screen one or more party names against the U.S. Consolidated Screening List bundled with this server: BIS Entity List, Denied Persons List, Unverified List and MEU List; OFAC SDN, SSI, CMIC, NS-MBS, PLC and Capta; State ITAR Debarred and Nonproliferation Sanctions. Returns ranked candidate matches with the operative licence requirement and the authority for each list. A no-match result is NOT clearance: ownership is not screened, so the 50 percent affiliates rule under 744.21(a)(3) can catch an unlisted entity that produces no hit here.

assess_china_export_controlsA

Identify Chinese export-control exposure under the Export Control Law, the 2024 Regulations on Export Control of Dual-Use Items, and the numbered MOFCOM announcements. Answers the question that decides most cases in this regime first: is the measure currently in force? Announcements Nos. 55, 56, 57, 58, 61 and 62 of 2025 are suspended by Announcement No. 70 of 2025 until 10 November 2026, while Announcement No. 18 of 2025 on seven medium and heavy rare earths is NOT suspended and still requires a licence. No. 61 has split commencement dates: its Chinese-origin limb began on 9 October 2025, while its content and technology limbs were due on 1 December 2025. A fact pattern that meets a suspended test is reported as license_required_if_reactivated with the expiry date, because the instruments are not repealed. This regime binds non-Chinese parties directly: Announcement No. 61 requires a MOFCOM permit for a shipment between two points both outside China, on a 0.1 percent content floor, and a 管控名单 designation prohibits parties in ANY country from supplying the listed entity with Chinese-origin dual-use items. Do not carry a U.S. de minimis conclusion across; § 734.4 is a 25 or 10 percent ceiling you fall below to escape, while No. 61 is a 0.1 percent floor you rise above to be caught. This tool does NOT classify items and does NOT screen entities, because neither the Export Control List for Dual-Use Items nor any designation list is bundled.

determine_license_requirementA

Work the Commerce Country Chart (15 C.F.R. Part 738, Supplement No. 1) for an ECCN and a destination, following the 738.4(a)(2) procedure. Reads every Reason for Control in the entry, resolves each to a chart column or to the prose destination scope the entry states instead (273 of the 1536 License Requirements rows state a scope rather than naming a column), and reports each requirement separately because 738.4(a)(2)(ii)(A) requires each one to be overcome on its own. Handles the cases a table lookup misses: the four embargoed destinations whose rows carry no marks at all, the footnotes that require a licence where the grid is empty, destinations that have no row and inherit another country's, and the 738.3(a)(1) entries that bypass the chart entirely. An absent mark is reported as 'no_chart_requirement', never as clearance.

analyze_license_exceptionsA

Identify which 15 C.F.R. Part 740 License Exceptions are foreclosed, out of scope, or worth reviewing for a transaction, and list the conditions each one requires. Applies the mandatory restrictions in 740.2, including 740.2(a)(9)(i) for semiconductor manufacturing equipment to Macau/Country Group D:5 and 740.2(a)(9)(ii) for advanced computing items. This tool does NOT determine that any exception is available; 'requires_verification' must not be read as 'yes'.

assess_ear_jurisdictionA

Determine whether an item is subject to the EAR before doing any classification or licence analysis. Applies the de minimis U.S.-content rule (15 C.F.R. 734.4) and all thirteen Foreign Direct Product rules (734.9) as independent routes. The FDP rules have NO percentage test: a foreign-produced item with zero U.S. content is subject to the EAR if a rule's product scope and destination or end-user scope are both met. The SME rule at 734.9(k) and the Footnote 5 rule at 734.9(e)(3) are the ones that reach Korean-manufactured semiconductor equipment.

check_data_freshnessA

Compare this server's bundled EAR snapshots (Country Groups, the Part 740 License Exception catalog, and the Commerce Control List) against the latest eCFR issue date, and report which datasets need rebuilding. Requires network access to eCFR.

Prompts

Interactive templates invoked by user choice

NameDescription

No prompts

Resources

Contextual data attached and managed by the client

NameDescription
official-sourcesCanonical official sources used by this MCP server.
data-provenanceWhich EAR datasets this server bundles, the eCFR issue date each was built from, and the command to rebuild it.
china-frameworkThe instrument register, the numbered MOFCOM announcement register with the November 2025 suspension, the Announcement No. 61 extraterritorial tests, the entity mechanisms and what this server does not hold for this regime. Held as a resource because it is constant, so assess_china_export_controls does not repeat it on every call.

TDQS

A4.1/5.0

Scored across 13 tools

Disambiguation4/5

The tools map to distinct workflow stages—jurisdiction, CCL text search, license requirements, exceptions, end-use, restricted-party screening, China controls, and drafting—so their purposes are largely separable. A few names could still be conflated: classify_eccn does not actually classify an item, and determine_license_requirement versus analyze_license_exceptions are both license-stage analyses, though their roles are ultimately distinct.

Naming Consistency4/5

Almost all tools follow a snake_case verb_noun pattern such as draft_, build_, get_, check_, screen_, assess_, determine_, and analyze_. regime_overview breaks that pattern as a bare noun phrase, and classify_eccn uses an abbreviation rather than a full noun, but the naming is otherwise predictable and readable.

Tool Count5/5

Thirteen tools is well suited to a compliance domain spanning U.S. EAR jurisdiction, Part 744 end-use rules, the Country Chart, license exceptions, restricted-party screening, Chinese export controls, Korean law retrieval, and compliance drafting. Each tool has a distinct purpose, and the count stays within the coherent range without redundant utilities.

Completeness4/5

The set covers the main transaction workflow: EAR jurisdiction, CCL text search, license requirement determination, license exception analysis, end-use checks, restricted-party screening, China controls, and Korean law access. Minor gaps remain around true ECCN classification, direct retrieval of full CCL entries, and Korean or Chinese restricted-party screening, but agents can work around these using the provided search and regime-coverage tools.

Maintenance

ActivitySlowing
ResponsivenessNo issues