It appears that ATF has once again changed the standards for applications to transfer NFA firearms. This time it is in relation to sears. A letter surfaced, that was dated June 15, 2016, from the NFA branch to an applicant which stated that the firearm description "varies with our records". The letter went on to … Continue reading Transferring a Sear? Multi Caliber is No Longer Accepted by ATF
Tag: ATF
The Elusive NFATCA Petition that Prompted the ATF to Enter into Rulemaking Regarding Silencer Engravings
As Chief Counsel Joshua Prince reported back in May, the organization responsible for ATF 41P/F, the National Firearms Trade and Collectors Association ("NFATCA") had once again petitioned Bureau of Alcohol, Tobacco, Firearms and Explosives (“ATF”) to enter into rulemaking, this time in relation to silencer engravings. The docket specified that copies of the petition would be available … Continue reading The Elusive NFATCA Petition that Prompted the ATF to Enter into Rulemaking Regarding Silencer Engravings
Philadelphia Daily News Columnist Helen Ubinas Seemingly Violates State and Federal Law in Straw Purchase of Firearm
UPDATED 6/17/2016 - see below Today, Philadelphia Inquirer Daily News columnist Helen Ubinas admitted to seemingly violating state and federal firearms laws in relation to her purchase of a rifle for purposes of an article detailing the process to lawfully purchase a firearm. Initially, Columnist Ubinas chronicled her purchase of an Ar-15 rifle from a … Continue reading Philadelphia Daily News Columnist Helen Ubinas Seemingly Violates State and Federal Law in Straw Purchase of Firearm
FICG Files Comment in Opposition to ATF’s Proposed Changes to the 4473 Form
Today, Attorney Adam Kraut and Chief Counsel Joshua Prince of Firearms Industry Consulting Group® ("FICG®"), a division of Prince Law Offices, P.C., filed a Comment in Opposition to numerous changes that the Bureau of Alcohol, Tobacco, Firearms and Explosives proposed to the 4473 Form. FICG® raised a plethora of issues, including that ATF is the … Continue reading FICG Files Comment in Opposition to ATF’s Proposed Changes to the 4473 Form
NFATCA Prompts ATF to Enter into Rulemaking…AGAIN – Now Regarding Silencer Engravings…
Not having learned from the debacle that is ATF 41P/F, the National Firearms Act Trade and Collector Association ("NFATCA") has once again petitioned the Bureau of Alcohol, Tobacco, Firearms and Explosives ("ATF") to enter into rulemaking, this time in relation to silencer engravings. In a proposed rule that will be published tomorrow, May 4, 2016, … Continue reading NFATCA Prompts ATF to Enter into Rulemaking…AGAIN – Now Regarding Silencer Engravings…
ATF Soliciting Comments on Proposed Revisions to the Firearms Transaction Record “4473”
ATF opened the comment period to the proposed changes on the 4473 on April 7 and is accepting comments until June 6, 2016. Link to the Official Document. The proposed ATF 4473 can be found here. I encourage you to review the proposed 4473 and submit comments to help improve the form. You may submit … Continue reading ATF Soliciting Comments on Proposed Revisions to the Firearms Transaction Record “4473”
NFA Firearms, Form 1s, Engraving and Cartoon Chickens
Late last week an article was posted on a popular website, dedicated to firearms news, about the engraving of firearms that had approved Form 1s. The author describes how easy it is for one to submit a Form 1, with the advent of eForms, to register your firearm as a Short Barrel Rifle ("SBR") but … Continue reading NFA Firearms, Form 1s, Engraving and Cartoon Chickens
Attempt to Prevent ATF-41p and to Fund Federal Firearms Relief Through Omnibus Appropriation Bill Failed
As many of our viewers are aware, we were closely following H.R. 2578, as it contained two pro-Second Amendment provision, namely Amendment 302 and Amendment 320. Amendment 302 provided “that such funds appropriated for BATF shall be available to investigate or act upon applications for relief from Federal firearms disabilities under United States Code” Amendment … Continue reading Attempt to Prevent ATF-41p and to Fund Federal Firearms Relief Through Omnibus Appropriation Bill Failed
FIREARMS INDUSTRY CONSULTING GROUP® PREPARES TO INITIATE LITIGATION AGAINST ATF IF ATF 41P IS IMPLEMENTED
Bechtelsville, PA.— Firearms Industry Consulting Group® (FICG®), a division of Prince Law Offices, P.C., has started http://www.FightATF41p.com in order to draw awareness to the seeming imminence of ATF’s implementation of ATF 41P and to raise money to fund litigation seeking to overturn any final rule promulgated by ATF. FICG® spearheaded the opposition to ATF 41P … Continue reading FIREARMS INDUSTRY CONSULTING GROUP® PREPARES TO INITIATE LITIGATION AGAINST ATF IF ATF 41P IS IMPLEMENTED
Very Pro-2nd Amendment Appropriations Bill Under Attack!
As many of our viewers are aware, in June, the House of Representatives passed H.R. 2578, which provided a number of pro-2nd Amendment provisions, including funding for federal firearms relief determinations under 18 U.S.C. 925(c), which has not been available since 1992, and a prohibition on ATF utilizing any of the funding for promulgating a … Continue reading Very Pro-2nd Amendment Appropriations Bill Under Attack!