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SECURITY ASSISTANCE MANAGEMENT MANUAL (SAMM), E-CHANGE 203
Revision to Table C5.T2. IA's Authorized to Receive Letters of Request (LORs)
In the third row, replace USASAC-LOR-INBOX@conus.army.mil with: usarmy.redstone.usasac.mbx.lor-inbox@mail.mil
In the final row, replace the postal address for submission of LORs with the following email address: DLFMSLOR@nsa.gov.
Revisions to Appendix 6 Enhanced End-Use Monitoring Notes for COMSEC Products
Delete the following notes:
- Controlled Cryptographic Item (CCI)
- Communication Security (COMSEC) Equipment End-Use Monitoring (EUM) - BPC
- Communication Security (COMSEC) Equipment End-Use Monitoring (EUM) - FMS
Add the following four notes:
COMMUNICATIONS SECURITY (COMSEC) ENHANCED END-USE MONITORING (EEUM) - BPC - NATO MEMBERS, AUSTRALIA, OR NEW ZEALAND
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Note Usage
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Mandatory for BPC LOAs to NATO members, Australia, or New Zealand that include COMSEC equipment.
Mandatory for Amendments and Modifications that add COMSEC equipment.
Mandatory for Amendments that add no additional COMSEC equipment if the note on the current implemented version of the case varies from this text.
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References
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See Chapter 8.
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Note Input Responsibility
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CWD
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Note Text
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"This LOA provides COMSEC products that require physical security and accountability as set forth in the following agreements and documents (not all may be applicable):
1. NATO Security Agreements including implementing directives and policies promulgated by the NATO Military Committee, NATO Communications and Information Agency, (NCI Agency), NATO Office of Security, and other NATO organizations.
2. Bilateral and/or multilateral Communications Security and other security agreements between the U.S. and the Benefitting Country.
The Benefitting Country is aware that upon U.S. Government request, the COMSEC products and their inventory and accountability records are to be made available to U.S. representatives for the purpose of conducting a compliance assessment with the requirements stated in applicable agreements and documents above. This assessment will not be a COMSEC account audit and will not include an inspection of keying material."
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COMMUNICATIONS SECURITY (COMSEC) ENHANCED END-USE MONITORING (EEUM) - BPC - TO OTHER THAN NATO MEMBERS, AUSTRALIA, OR NEW ZEALAND
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Note Usage
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Mandatory for BPC LOAs to countries other than NATO members, Australia, or New Zealand that include COMSEC equipment.
Mandatory for Amendments and Modifications that add COMSEC equipment.
Mandatory for Amendments that add no additional COMSEC equipment if the note on the current implemented version of the case varies from this text.
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References
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See Chapter 8.
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Note Input Responsibility
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CWD
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Note Text
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Line item(s) [fill-in] are being procured under Foreign Military Sales-Cryptographic Device Services (FMS-CDS) procedures and are subject to foreign national ownership and use restrictions and limitations. FMS-CDS is the procurement of COMSEC services rather than COMSEC products.
The following restrictions and/or limitations apply to all FMS-CDS cases:
The U.S retains legal title to the COMSEC products;
The U.S. may recall the COMSEC products at any time without reimbursement to the purchaser;
The COMSEC products must be used only to support specific U.S. validated or endorsed requirements; and
Only U.S.-produced keying material may be used to key the device
COMSEC products procured under this LOA require physical security and accountability as set forth or referenced in the following agreements and documents (not all may be applicable):
Communications Interoperability and Security Memorandum of Agreement;
NAG-14C, Allied COMSEC Material Accounting Manual;
NAG-18A, Safeguarding COMSEC Material and Facilities; and/or
Bilateral and/or multilateral COMSEC and other applicable information security agreements
The Benefitting Country is aware that upon U.S. Government request, the COMSEC products and the purchaser's inventory and accountability records will be made available to U.S. representatives for the purpose of conducting a compliance assessment. The compliance assessment is not a COMSEC account audit or inventory, and does not include an inspection of keying material.
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COMMUNICATIONS SECURITY (COMSEC) ENHANCED END-USE MONITORING (EEUM) - FMS - NATO MEMBERS, AUSTRALIA, OR NEW ZEALAND
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Note Usage
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Mandatory for FMS LOAs to NATO members, Australia, or New Zealand that include COMSEC equipment.
Mandatory for Amendments and Modifications that add COMSEC equipment.
Mandatory for Amendments that add no additional COMSEC equipment if the note on the current implemented version of the case varies from this text.
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References
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See Chapter 8.
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Note Input Responsibility
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CWD
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Note Text
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"This LOA provides COMSEC products that require physical security and accountability as set forth in the following agreements and documents (not all may be applicable).
NATO Security Agreements including implementing directives and policies promulgated by the NATO Military Committee, NATO Communications and Information Agency, (NCI Agency), NATO Office of Security and other NATO organizations.
Bilateral and/or multilateral Communications Security and other security agreements between the U.S. and the purchaser.
The purchaser agrees that, upon U.S. Government request, the COMSEC products and the purchaser's inventory and accountability records will be made available to U.S. representatives for the purpose of conducting a compliance assessment with the requirements in agreements and documents above (not all may be applicable). This assessment will not be a COMSEC account audit and will not include an inspection of keying material."
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COMMUNICATIONS SECURITY (COMSEC) ENHANCED END-USE MONITORING (EEUM) - FMS -TO OTHER THAN NATO MEMBERS, AUSTRALIA, OR NEW ZEALAND
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Note Usage
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Mandatory for FMS LOAs to countries other than NATO members, Australia, or New Zealand that include COMSEC equipment.
Mandatory for Amendments and Modifications that add COMSEC equipment.
Mandatory for Amendments that add no additional COMSEC equipment if the note on the current implemented version of the case varies from this text.
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References
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See Chapter 8.
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Note Input Responsibility
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CWD
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Note Text
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Line item(s) [fill-in] are being procured under Foreign Military Sales-Cryptographic Device Services (FMS-CDS) procedures and are subject to foreign national ownership and use restrictions and limitations. FMS-CDS is the procurement of COMSEC services rather than COMSEC products.
The following restrictions and/or limitations apply to all FMS-CDS cases:
The U.S retains legal title to the COMSEC products;
The U.S. may recall the COMSEC products at any time without reimbursement to the purchaser;
The COMSEC products must be used only to support specific U.S. validated or endorsed requirements; and
Only U.S.-produced keying material must be used to key the device
COMSEC products procured under this LOA require physical security and accountability as set forth or referenced in the following agreements and documents (not all may be applicable):
Communications Interoperability and Security Memorandum of Agreement;
NAG-14C, Allied COMSEC Material Accounting Manual;
NAG-18A, Safeguarding COMSEC Material and Facilities; and/or
Bilateral and/or multilateral COMSEC and other applicable information security agreements
The purchaser agrees that, upon U.S. Government request, the COMSEC products and the purchaser's inventory and accountability records will be made available to U.S. representatives for the purpose of conducting a compliance assessment. The compliance assessment is not a COMSEC account audit or inventory, and does not include an inspection of keying material.
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