A fill-in working sheet covering "subject to the EAR? → ECCN on the CCL? → EAR99?", the crucial "when EAR99 still needs a license" (embargoes, end-use, end-user), de minimis / FDP, counterparty screening, and the two-track cross-check with Japan's classification (FEFTA / Appended Table 1). Based on primary sources (15 CFR, the Federal Register, BIS, METI); the EAR changes frequently, so treat the authorities' latest guidance and your export-control officer as authoritative.