Brace for Impact…ATF Clarifies Its Illogical Position on Users Shouldering Brace Equipped Pistols.

Readers may remember the blog article I wrote when ATF dropped a bombshell at SHOT Show 2015 where it released an open letter which stated that the brace was neither designed nor approved to be used as a shoulder stock and that the use of the brace as a shoulder stock constitutes a redesign of the device because … Continue reading Brace for Impact…ATF Clarifies Its Illogical Position on Users Shouldering Brace Equipped Pistols.

ATF Announces New Form 4473 – Firearms Transaction Record

The National Shooting Sports Foundation is reporting that on Monday, November 14, 2016, ATF announced that the new 4437 would be required on ALL firearms transactions beginning on January 16, 2017. As you may remember, I previously blogged about ATF soliciting comments on the proposed 4473 and then filed a Comment in Opposition to ATF's Proposed Changes to … Continue reading ATF Announces New Form 4473 – Firearms Transaction Record

BREAKING: BATFE Has Not Changed Anything Relating to Fingerprints for NFA Firearms

This morning TheFirearmBlog.com posted a story which stated that ATF had revised its ruling in relation to fingerprints for NFA firearms. The article claims that ATF now requires law enforcement agencies to take fingerprints rather than anyone qualified to. To support this position the article links to ATF's Explosives website. As always, the information is provided by … Continue reading BREAKING: BATFE Has Not Changed Anything Relating to Fingerprints for NFA Firearms

ATF’s Shocking Position on “Makers” of Silencers/Suppressors, Especially in Relation to Solvent Traps

As many of our readers are aware, Attorney Adam Kraut and I attended the NSSF's Import/Export Conference on August 2-3, 2016, for which we blogged about many of the statements made by ATF (and other federal agencies) in our blog - News from the Round Table Discussions at the NSSF Import/Export Conference. One issue that … Continue reading ATF’s Shocking Position on “Makers” of Silencers/Suppressors, Especially in Relation to Solvent Traps

ATF Responds to 4473 Comments and Apparently Does Not Care that It Violates Its Own Regulations

Earlier today I received an email response from ATF in relation to FICG's Comment in Opposition to ATF's Proposed Changes to the 4473 Form which I drafted. You can find a copy of their response here. In the comment I raised a number of issues including that ATF is the incorrect federal administrative agency for determinations of … Continue reading ATF Responds to 4473 Comments and Apparently Does Not Care that It Violates Its Own Regulations

Extremely Interesting Developments Relating to ATF’s Re-Opening of the Comment Period for the ATF 4473

As our readers are likely aware, I previously blogged that ATF had re-opened the comment period for the ATF 4473 form. After digging a little deeper, I determined that OMB issued a PRA Primer Memo of April 7, 2010 directing that an agency, after providing the initial 60 day notice period required by 44 U.S.C. … Continue reading Extremely Interesting Developments Relating to ATF’s Re-Opening of the Comment Period for the ATF 4473

News from the Round Table Discussions at the NSSF Import/Export Conference

It's that time of year again, the NSSF Import/Export Conference which is held in Washington, D.C. While the conference is designed to help educate companies about the import/export regulations and laws they might encounter while in the business, the conference does provide for round table discussions with ATF, DDTC and other Firearm Industry officials. Some of … Continue reading News from the Round Table Discussions at the NSSF Import/Export Conference

FICG Files Comment in Opposition to ATF 29P on Behalf of Dead Air Armament

The Firearms Industry Consulting Group, a division of Prince Law Offices, P.C.,  is pleased to announce that it was retained by Dead Air Armament ("Dead Air") to prepare a detailed filing in opposition to ATF’s Advanced Notice of Proposed Rulemaking ("ANPR") 29P.  Dead Air has combined the brains and passion of both Mike Pappas and Gary Hughes to bring to … Continue reading FICG Files Comment in Opposition to ATF 29P on Behalf of Dead Air Armament

DDTC Issues Guidance on ITAR Registration

On Friday July 22, 2016, the Directorate of Defense Trade Controls ("DDTC") released a letter issuing guidance on the requirement of firearm manufacturers and gunsmiths to register with DDTC under the International Traffic in Arms Regulations ("ITAR"). There has been constant discussion on the internet regarding whether an individual who has obtained a federal firearms license ("FFL") … Continue reading DDTC Issues Guidance on ITAR Registration

ATF Releases ATF 41F FAQ

With the implementation date of ATF 41F looming just around the corner (July 13, 2016), the folks over at ATF have released the ATF 41F FAQ. You can find that here. The link also includes the new Form 1, Form 4, Form 5 and Responsible Person Questionnaire. The FAQ references: How Does Final Rule 41F Change … Continue reading ATF Releases ATF 41F FAQ