Not every export requires an AES filing. The filing isn’t always done by the exporter. And the timing of the filing can vary, depending on the circumstance. The information that is submitted—which the FTR calls electronic export information (EEI)—is used by the U.S. Census Bureau for statistical purposes and shared with other agencies to help ensure compliance with U.S. export regulations.
This FAQ is designed as a quick reference for exporters who already understand the basics. You’ll find a detailed explanation of when and how to file through AES on our webpage: Filing Your Export Shipments through the Automated Export System.
Below are answers to some of the most common questions exporters ask about AES filing:
The Foreign Trade Regulations define several key parties involved in export transactions, each with a specific role:
The USPPI is the person or entity in the United States that receives the primary benefit from the export transaction.
In most cases, this is the U.S. seller or manufacturer. However, depending on how the transaction is structured, the USPPI may also be a distributor, order party or other U.S.-based entity involved in the sale.
The FTR outlines several common scenarios:
Responsibility for filing EEI depends on whether the transaction is standard or routed.
In a standard export transaction, the USPPI is responsible for filing EEI or authorizing an agent to file on their behalf.
In a routed export transaction, the FPPI authorizes a U.S. agent—often a freight forwarder, but it could also be the USPPI—to file the EEI. If the USPPI is not doing the filing they still have specific data reporting responsibilities and must provide accurate information to the filing party.
EEI filing is required for most exports valued at more than $2,500 per Schedule B number or when an export license is required, regardless of value. Exports to Canada are generally exempt from filings unless the shipment involves a used self-propelled vehicle or otherwise falls under one of the mandatory filing triggers in the FTR.
There are also specific categories of exports that always require filing, including:
The origin of the goods also matters. If items share a Schedule B number but differ in origin (domestic vs. foreign), the filing requirement is evaluated separately by origin.
EEI filing is generally not required for shipments valued at $2,500 or less per Schedule B number, unless another requirement applies.
For example, you must still file EEI if:
This is one of the most common areas of confusion—value alone does not determine filing requirements.
EEI must be filed for shipments involving the following destinations:
Exports to Canada are generally exempt from EEI filing requirements unless the shipment involves a used self-propelled vehicle or otherwise falls under one of the mandatory filing triggers in the FTR.
For EEI purposes, a shipment consists of all goods sent from one USPPI to one ultimate consignee in a single country on the same conveyance and on the same day.
This definition is important because filing requirements are evaluated at the shipment level, including the total value per Schedule B classification.
EEI must typically be filed before the goods depart the United States, with timing requirements based on the mode of transportation.
For most shipments, filing occurs between one and 24 hours prior to export. Shipments involving items on the U.S. Munitions List (USML) may require earlier filing.
Because timing requirements vary, exporters should confirm deadlines based on the specific shipment and transportation method.
An Internal Transaction Number (ITN) is the confirmation number issued by AES after a successful EEI filing.
The ITN serves as proof that the filing has been accepted and must be included on export documentation provided to the carrier. Without a valid ITN, the shipment may be delayed or rejected at export.
Yes, a freight forwarder can file EEI on your behalf if they are properly authorized as your agent.
In a standard transaction, the USPPI must provide written authorization. In a routed transaction, the FPPI typically authorizes the forwarder, although they can also authorize the USPPI, which some companies consider to be a best practice. Regardless of who files, the USPPI remains responsible for providing accurate and complete information.
EEI filing is not required for certain types of shipments, provided no other filing trigger applies.
Common exemptions include:
Additional exemptions are outlined in Section 30.37 of the FTR.
Late or inaccurate EEI filings can result in significant civil and criminal penalties.
Civil penalties are adjusted for inflation and can exceed $15,000 per violation. Criminal violations may result in higher fines and potential imprisonment. Late filings may also result in daily penalties.
Beyond fines, inaccurate filings can lead to shipment delays, increased scrutiny and broader compliance risks.
EEI filings are submitted electronically through AESDirect, which is accessed via the Automated Commercial Environment (ACE) portal.
You can enter shipment data manually into AESDirect, or you can use export documentation software that integrates with AES. Many exporters choose software solutions to reduce manual data entry, minimize errors and maintain consistent compliance records.
If you want to learn how Shipping Solutions export software can help your company file through AES more efficiently while also creating your other export documents and staying compliant with export regulations, request a free online demo of the software. There is no obligation.
You’ll find more information about the Automated Export System and the Foreign Trade Regulations at the Census Bureau website. Or contact the Census Bureau by phone:
If you have questions about how Shipping Solutions software can help streamline your AES filings and export documentation, you can contact our team directly at (651) 905-1727.
If you’re filing EEI regularly, you already know that the challenge isn’t just understanding the rules—it’s applying them consistently across shipments, teams and systems.
That’s where having a reliable process—and the right tools—can make a measurable difference.
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