Published August 2016 KEWILL R Sponsored by: In partnership with: Uncertain Times, Uncertain Roles Export Compliance Benchmark Study Part of American Shipper’s Import/Export Benchmark Series Written By: Julie Gibbs Director BPE Global Renee Roe Director BPE Global Eric Johnson Research Director American Shipper
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Published August 2016
KEWILLRSponsored by:
In partnership with:
Uncertain Times, Uncertain RolesExport Compliance Benchmark Study
Part of American Shipper’s Import/Export
Benchmark Series
Written By:
Julie GibbsDirector BPE Global
Renee RoeDirector BPE Global
Eric JohnsonResearch Director American Shipper
Exe
cuti
ve S
um
mary
Export Operations and Compliance | Benchmark Report: 2016
ii
Welcome to the seventh annual benchmark study covering U.S. export
operations and compliance, produced by American Shipper in partnership with
BPE Global. This report comes as U.S. exporters face unprecedented levels of
economic and political uncertainty, and that’s saying something.
Simply put, exporters who have been told they were a cornerstone of U.S.
economic growth for the past five years face a future where support for
exports (and global trade in general) might be actively disrupted. These
external dynamics are worries that exporters have to face in addition to their
normal litany of concerns around greater regulatory scrutiny and currency
fluctuations.
Roughly 40 percent of exporters say the strong dollar is hampering their sales,
while 40 percent are also worried about the bottom falling out of the United
States’ export initiative. More than 40 percent are unsure key trade
agreements will be ratified. It’s the very picture of uncertainty.
This year’s report delves into how exporters use technology to help combat
some of these ongoing regulatory and topical impacts, as well as the role that
third-party logistics providers play in export compliance. This particular
iteration makes frequent comparisons between how retailers and
manufacturers view their export obligations, strategies, and technology usage.
The study includes input from 228 U.S.-based exporters, with responses
gathered between early June and late July, 2016. The 23-question survey
covered export compliance policies, strategic considerations, concerns, and
export management technology.
The U.S. presidential election campaign, which includes direct and
unmistakable anti-trade sentiments, has exporters on edge. The change in
administration may bring a dismantling of existing trade agreements, a freezing
of progress on pending agreements, and a lack of focus on the export
initiatives that made great gains in the last administration.
Roughly two in five exporters believe momentum from the Obama
administration’s export program will carry over to the next administration,
while even more believe the TPP and other key FTAs will be stymied.
Surprisingly, a large percentage of exporters are uncertain what impact TPP
ratification will have on them, particularly for those in manufacturing. It’s
possible that between headline news, anti-trade group publications, and a
lack of time to study the actual text of the TPP, exporters believe there will be
no impact to volumes, or at the very least are uncertain about what that
impact will be.
Executive Summary
Uncertainty for Exporters
Exe
cuti
ve S
um
mary
Export Operations and Compliance | Benchmark Report: 2016
iii
Exporter Perspectives
Less than a third of respondents believe that their companies see export
compliance as playing an important role in new business opportunities. The
data suggests that perhaps the challenge is that they have not yet attempted
to quantify why export compliance is an important topic when it comes to
developing new business opportunities, or they need to better quantify their
strategic role. Companies are increasingly reliant on ROI determination,
business cases, and hard data. It’s up to trade compliance teams to spell out
the worth of their involvement in these decisions.
No role is as intrinsically global as that of an export manager. More than 80
percent of manufacturers and nearly 70 percent of retailers are responsible for
exports from at least North America, and the majority have responsibility for
exports from the entire Western Hemisphere. Global responsibility means
managers have an opportunity to streamline and consolidate export operations
and compliance processes.
Most exporters use their carriers and freight forwarders to file electronic export
information (EEI) documentation on their behalf, although the trend indicates
that more companies are taking this function in-house. The latter approach
allows direct control and oversight on filing accuracy.
The continued use of carriers and forwarders, who in most cases are not the
legal “exporter of record,” may be due to a lack of resources or budget
constraints. Either way, relying on a freight forwarder or carrier to file
declarations requires airtight communication of compliance data, such as
accurate shipper’s letter of instructions, and frequent audits.
The vast majority of exporters review their EEIs either internally or via their
carriers, but it’s not enough to assume that EEIs are being filed correctly when
shipments are first identified for export. Changes can occur to the quantity,
value, classification, and the “ship to” location of those shipments for a variety
of reasons.
There is an uptick in the number of countries shipped to by large shippers from
32 on average last year to 38 this year. It’s interesting to note that systems-
based exporters are shipping to a higher number of countries than those on a
manual system, which implies that the systems-based exporters are better
able to handle the added complexity of shipping to more countries.
Exe
cuti
ve S
um
mary
Export Operations and Compliance | Benchmark Report: 2016
iv Export Technology Trends
The average headcount of export compliance departments at large shippers in
last year’s report was 13 and nine for SME exporters. This might be linked to
growing uncertainty over economic conditions and political headwinds. If the
strong dollar is hurting competitiveness, and if companies see export-boosting
free trade deals languishing under the weight of campaign rhetoric, it’s easy to
see how export compliance departments might be one of the more vulnerable
positions in a company.
Meanwhile, respondents overwhelmingly said their export volumes grew
in the last 12 months, despite pressure from a strong dollar and other
regulatory hurdles.
Seven in 10 manufacturers and four in five retailers are using some type of
automation, so it seems the message has been getting through. Fewer and
fewer companies are managing exports purely by spreadsheet or some type
of export compliance automation
The next stage of this evolution, however, is to move away from the piecemeal
approach to global trade management, and there is still lots of work to be
done there. Only 20 percent of export shippers are using a single GTM
platform to manage their exports, while another 10 percent have built
proprietary platforms. But questions remain about whether those home-grown
systems can keep up with the content demands that GTM software
companies and 3PLs meet.
Most companies juggle multiple systems deployment and payment
arrangements, something that goes hand in glove with the hybrid approach
they take to usage of multiple export management systems. Data from this
study shows exporters have more than one system, and those systems often
have more than one deployment model.
For example, an exporter might use its on-premise ERP to create purchase
orders, or have an on-premise transportation management system, but use
software-as-a-service trade compliance tools to determine product
classification and check denied party screening lists. That hodge-podge might
be getting the job done, but it’s not necessarily optimal.
If there’s one worrying piece of data in this year’s report, it’s that the
percentage of respondents who indicate they don’t have the budget to invest
in export automation keeps rising. The will to invest is there, but the way to do
so (in terms of budget and resources) is the roadblock.
Exe
cuti
ve S
um
mary
Export Operations and Compliance | Benchmark Report: 2016
v
More than half of 3PLs are using some type of automated system, and fewer
are using the hodge-podge approach found in a large percentage of export
shippers. This makes sense. It behooves a 3PL to offer a singular platform for
export management both internally and as a forward-facing connection with
shippers.
It’s interesting to note that an almost equal percentage of 3PLs are using
in-house systems versus third-party systems. Creating a customized in-house
system can be extremely expensive and requires a full-time IT staff. It
wouldn’t be surprising if these 3PLs had started building these systems prior
to the maturity and availability of third-party systems, which may indicate they
are using legacy systems that are in need of reinvigoration or replacement.
3PL Export Perspectives
Table
of
Conte
nts
Export Operations and Compliance | Benchmark Report: 2016
2
Table of ContentsExecutive Summary ................................................................................................................................................................................. ii
Section II. Internal and External Uncertainty for Exporters .................................................................................................................... 5
Section III. Exporter Perspectives .......................................................................................................................................................... 10
Section IV. Export Technology Trends .................................................................................................................................................... 17
Section V. 3PL Export Perspectives ....................................................................................................................................................... 22
Section VI. Takeaways ............................................................................................................................................................................ 24
Appendix C: About Our Partner ............................................................................................................................................................. 27
> BPE Global ......................................................................................................................................................................................... 27
Appendix D: About American Shipper Research .................................................................................................................................. 28
Fig
ure
s
Export Operations and Compliance | Benchmark Report: 2016
3
FiguresFigure 1: Impact of Economic and Political Climate on Exporters .............................................................................................................. 5
Figure 2: Impact of TPP Ratification on Export Volume .............................................................................................................................. 6
Figure 3: Top Export Concerns .................................................................................................................................................................. 7
Figure 4: Compliance Involvement in New Market Discussions ................................................................................................................. 8
Figure 5: Company Sees Export Compliance as Important Part of New Business Opportunities ................................................................ 9
Figure 6: Who Does Export Compliance Report To? ................................................................................................................................. 10
Figure 7: Scope of Export Responsibility ................................................................................................................................................. 11
Figure 8: Who is Responsible for Filing EEIs?– Shippers ......................................................................................................................... 12
Figure 9: Do You Review EEI Filings?—Shippers ..................................................................................................................................... 13
Figure 10: Number of Countries Your Company Exports To ...................................................................................................................... 14
Figure 11: Headcount Assigned to Export Management .......................................................................................................................... 15
Figure 12: Export Shipment Volume Growth over Last 12 Months ........................................................................................................... 16
Figure 14: Export System Delivery Model ............................................................................................................................................... 18
Figure 15: Planned Functionality Additions over Next 12 Months ............................................................................................................ 19
Figure 16: Company Understands Impact of GTM Technology—Shippers ............................................................................................... 20
Figure 17: Inhibitors to Export Technology Investment ............................................................................................................................ 21
Figure 18: Top Export Concerns—3PLs .................................................................................................................................................. 22
Figure 19: Company Understands Impact of GTM Technology—3PLs ..................................................................................................... 23
Export Operations and Compliance | Benchmark Report: 2016
4
Section I: Introduction
Welcome to the seventh annual benchmark study covering U.S. export operations
and compliance, produced by American Shipper in partnership with BPE Global.
This report comes as U.S. exporters face unprecedented levels of economic and
political uncertainty, and that’s saying something.
Simply put, exporters who have been told they were a cornerstone of U.S.
economic growth for the past five years face a future where support for exports
(and global trade in general) might be actively disrupted. These external dynamics
are worries that exporters have to face in addition to their normal litany of
concerns around greater regulatory scrutiny and currency fluctuations.
This year’s report delves into how exporters use technology to help combat some
of these ongoing regulatory and topical impacts, as well as the role that third-party
logistics providers play in export compliance. This particular iteration makes
frequent comparisons between how retailers and manufacturers view their export
obligations, strategies, and technology usage.
The study includes input from 228 U.S.-based exporters, with responses gathered
between early June and late July, 2016. The 23-question survey covered export
compliance policies, strategic considerations, concerns, and export management
technology. Survey distribution channels included American Shipper’s subscriber
base and BPE Global’s e-mail database. Qualified respondents are limited to
those companies exporting goods, services or technology (so-called “deemed”
exports) from the United States. This includes freight forwarders, third-party
logistics providers, non-vessel-operating common carriers, and other
intermediaries, in addition to shippers from all industry segments. Carriers and
other non-qualified responses are not included in the aggregate data sourced for
this report.
Simply put, exporters who have been told they were a cornerstone of U.S. economic growth for the past five years face a future where support for exports (and global trade in general) might be actively disrupted.
Secti
on II. Inte
rnal and E
xtern
al U
ncert
ain
ty f
or
Exp
ort
ers
Export Operations and Compliance | Benchmark Report: 2016
5
Section II. Internal and External Uncertainty for Exporters
The current economic and political climate has created cause for concern
amongst exporters in all industries. Meanwhile, the strengthening of the dollar
continues to dampen exports of goods and services, although the contribution
from net exports to overall economic growth in the United States has
improved slightly.
Contributing to the uncertainty are U.S. presidential election campaign sound
bites, many of which include direct and unmistakable anti-trade sentiments. The
change in administration may bring a dismantling of existing trade agreements, a
freezing of progress on pending agreements, and a lack of focus on the export
initiatives that made great gains in the last administration.
Roughly two in five exporters believe momentum from the Obama
administration’s export program will carry over to the next administration, while
even more believe the TPP and other key FTAs will be stymied.
0%
10%
20%
30%
40%
50%
60%
Not sure TPP andother key trade
agreementswill be ratified
Not sure exportinitiatives will carry
over to next presidentialadministration
Weak salescausing layoffs
Strong dollar hurtingcompetitivenessof my product
48%43%
39%
17%
Manufacturers
Retailers
7%
39%
46%
36%
Figure 1: Impact of Economic and Political Climate on Exporters
124 total respondents
Secti
on II. Inte
rnal and E
xtern
al U
ncert
ain
ty f
or
Exp
ort
ers
Export Operations and Compliance | Benchmark Report: 2016
6
Surprisingly, a large percentage of exporters are uncertain what impact TPP
ratification will have on them, particularly for those in manufacturing. This may be
a result of not having read the details of the agreement themselves, or perhaps
due to anti-TPP sentiment. Media coverage, for instance, has focused on the fact
that only six of the TPP’s 30 chapters, deal with traditional trade issues.
Some media sources indicate that most of the TPP instead sets rules on
non-trade matters that affect food safety, internet freedom, medicine costs, job
off-shoring, financial regulations, and more. It is possible that between headline
news, anti-trade group publications, and a lack of time to study the actual text of
the TPP, exporters believe there will be no impact to volumes, or at the very least
are uncertain about what that impact will be. The 4 percent of export
manufacturers that believe their volume will significantly increase under TPP,
have likely had internal initiatives to study the exact impacts to their firms.
0%
10%
20%
30%
40%
50%
60%
70%
UncertainNo effecton volumes
Moderatelyincrease volumes
Significantlyincrease volumes
4%0%
59%
37%
Manufacturers
Retails
24%30%
17%
29%
Figure 2: Impact of TPP Ratification on Export Volume
127 total respondents
A large percentage of exporters are uncertain what impact TPP ratification will have on them.
Secti
on II. Inte
rnal and E
xtern
al U
ncert
ain
ty f
or
Exp
ort
ers
Export Operations and Compliance | Benchmark Report: 2016
7
As was the case last year, shippers’ primary export concern is the rising cost of
compliance. Hopefully, at this point, this is something senior management is
keenly aware of as trade regulations become increasingly complex and
enforcement continues to become more stringent. That’s particularly true in
countries that historically have done little to address compliance.
Low staffing levels relative to volume is the second biggest concern, up from
fourth place last year. Unsurprisingly, carrier capacity, which has been a focus
this year, has moved from a minimal concern to become the third greatest
concern. Of note, delays at customs still rank highly as a worry for shippers, with
extended transit time becoming a new top focus this year.
0%
5%
10%
15%
20%
25%
30%
35%
40%
Extendedtransit times
Delaysat Customs
Carrier capacitywithdrawal
Low staffinglevels relative
to volume
Increasing costof compliance
36%
29%
25%26% 26%
Manufacturers
Figure 3: Top Export Concerns
135 total respondents
Manufacturers
0%
5%
10%
15%
20%
25%
30%
35%
40%
Increasingrates
Increasing costof compliance
Delays atCustoms
Extendedtransit times
Economicclimate
39%
32%
26%29% 29%
Retailers
Retailers
Secti
on II. Inte
rnal and E
xtern
al U
ncert
ain
ty f
or
Exp
ort
ers
Export Operations and Compliance | Benchmark Report: 2016
8
Inclusion of export compliance in strategic new market discussions is continuing
to increase. This is a positive trend that signals export practitioners are
increasingly being given a seat at the table in these crucial decisions. This year,
however, it is concerning to see that the gap between manufacturers and
retailers being included in these discussions is significant.
As we have indicated in past reports, the inclusion of export compliance
specialists in new market discussions early and often is a key determinant of
market entry success.
Figure 4: Compliance Involvement in New Market Discussions
0%
10%
20%
30%
40%
50%
60%
UncertainNever includedIncluded,but infrequently
Includedfrequently
Always included
12%15%
22%26%
Manufacturers
Retails44%
49%
11%12%7%
1%
123 total respondents
Secti
on II. Inte
rnal and E
xtern
al U
ncert
ain
ty f
or
Exp
ort
ers
Export Operations and Compliance | Benchmark Report: 2016
9
On the flip side, less than a third of respondents believe export compliance must
play an important role in new business opportunities. Similar to last year, this
seems to be a challenging area for those in compliance roles. The data suggests
that perhaps the challenge is that they have not yet attempted to quantify why
export compliance is an important topic when it comes to developing new
business opportunities, or they need to better quantify their strategic role.
Companies are increasingly reliant on ROI determination, business cases, and
hard data. It’s up to trade compliance teams to spell out the worth of their
involvement in these decisions. And export practitioners need to continue to
work to shift the perception that export compliance is operational, to
demonstrating how export compliance is truly strategic. Ultimately, this is what it
will take to change these numbers.
As such, it continues to be important for export compliance functions to have
access to C-level executives, and to use the C-suite’s language to hone in on the
value of export compliance as a strategic function.
Figure 5: Company Sees Export Compliance as Important Part of New Business Opportunities
Less than a third of respondents’ companies believe export compliance must be tied to new business opportunities.
Secti
on III. E
xport
er
Pers
pecti
ves
Export Operations and Compliance | Benchmark Report: 2016
10
Section III. Exporter Perspectives
Year after year, this study notes that the majority of export compliance teams
report to transportation, logistics, and operations departments. This seems to
suggest that export compliance is seen not as strategic, but as more operational.
However, our data shows that the majority of exporters think of export
compliance as strategic and important to new opportunities. So even if export
compliance does not report directly to a department such as manufacturing,
operations, or finance, it’s important that export compliance specialists are
involved in new market discussions and sourcing decisions, as they can help
boost competitive advantages.
Figure 6: Who Does Export Compliance Report To?
0%
10%
20%
30%
40%
50%
60%
Manufacturing, purchasing
Transportation, logistics, traffic
OperationsLegalFinance
13%
7%
33%
24%
Manufacturers
Retailers
7%
20%
48%
36%
4%7%
122 total respondents
Secti
on III. E
xport
er
Pers
pecti
ves
Export Operations and Compliance | Benchmark Report: 2016
11
In a world that is increasingly globalized, perhaps no role is as intrinsically global
as that of an export manager. More than 80 percent of manufacturers and nearly
70 percent of retailers are responsible for exports from at least North America,
and the majority have responsibility for exports from the entire hemisphere.
Global responsibility means managers have an opportunity to streamline and
consolidate export operations and compliance processes. These managers have
the benefit of working with multiple export regimes, and can often leverage the
treatment, such as classification and licensing requirements, of controlled items
into other countries.
Figure 7: Scope of Export Responsibility
58%
Global
Exports from Americas
Exports from N. America
Exports from US
15%
8%
18%
43%
18%7%
32%
135 total respondents
Manufacturers Retailers
Secti
on III. E
xport
er
Pers
pecti
ves
Export Operations and Compliance | Benchmark Report: 2016
12
Most exporters, as this report has shown in the past, use their carriers and
freight forwarders to file electronic export information (EEI) documentation on
their behalf, although the trend indicates that more companies are taking this
function in-house. The latter approach allows direct control and oversight on
filing accuracy.
The continued use of carriers and forwarders, who in most cases are not the
legal “exporter of record,” may be due to a lack of resources or budget
constraints. Either way, relying on a freight forwarder or carrier to file declarations
requires airtight communication of compliance data, such as accurate shipper’s
letter of instructions, and frequent audits.
We also consistently see that around 8 percent of shippers do not file EEIs at all,
indicating they must have low dollar value shipments, shipments that do not
require licenses or meet other AES filing exemptions, or they are unfamiliar with
the EEI filing requirements.
Figure 8: Who is Responsible for Filing EEIs?—Shippers
0%
10%
20%
30%
40%
50%
60%
UncertainWe do not file EEIsCarriersInternal staff
40%
30%
48%
35%
2014
2015
2016
51%54%
8%4%
8% 7%5%
9%
127 total respondents
More companies are starting to file their own file electronic export information (EEI).
Secti
on III. E
xport
er
Pers
pecti
ves
Export Operations and Compliance | Benchmark Report: 2016
13
The vast majority of exporters review their EEIs either internally or via their
carriers. Similar to last year’s results, this demonstrates that a strong compliance
program for EEIs is in place for these exporters.
It’s not enough to assume that EEIs are being filed correctly when shipments are
first identified for export, however. Changes can occur to the quantity, value,
classification, and the “ship to” location of those shipments for a variety of
reasons. Tracking EEI updates is a challenge and auditing is the only way to
know if these updates are occurring in an accurate and timely manner.
Also of note: the number of respondents unsure of whether they’re reviewing EEI
filings has grown over the last two years. That’s problematic, and those unsure of
whether they do so should use this study as a cue to start regular reviews.
Figure 9: Do You Review EEI Filings?—Shippers
0%
5%
10%
15%
20%
25%
30%
35%
40%
UncertainNo, we do notreview our EEI filings
Yes, we reviewthe filings
made by carriers
Yes, we regularly reviewthe filings made by in-house
staff, whether viaAESDirect or third partysoftware applications
34% 33%31%31%
2014
2015
2016
34% 35%
18%
25%22%
15%
7%
17%
124 total respondents
Secti
on III. E
xport
er
Pers
pecti
ves
Export Operations and Compliance | Benchmark Report: 2016
14
There is an uptick in the number of countries shipped to by large shippers this
year. Last year, such companies were shipping to 32 countries on average,
compared to 38 this year. Apparently, exporting to additional countries has not
been hampered by the strong dollar and recent sanctions against countries such
as Russia and the Ukraine.
It’s interesting to note that systems-based exporters are shipping to a higher
number of countries than those on a manual system. This might imply that the
systems-based exporters are better able to handle the added complexity of
shipping to more countries.
Figure 10: Number of Countries Your Company Exports To
0
5
10
15
20
25
30
35
40
Small/medium-sized
Shippers
LargeShippers*
Manual Systems-basedRetailersManufacturers
35.7
19.1
37.7
28.3
20.6 22.3
128 total respondents* Large shippers are exporters with more than $1 billion or more in annual revenue.
Secti
on III. E
xport
er
Pers
pecti
ves
Export Operations and Compliance | Benchmark Report: 2016
15
The average headcount of export compliance departments at large shippers in
last year’s report was 13 and nine for SME exporters. So, it appears that these
departments are becoming smaller on average. This might be due to the fact that
exporters are increasingly adopting automated means of handling export
compliance, though this report has never advocated for using technology to
reduce headcount (rather it should empower resources to provide greater value).
The lowered headcount might also be linked to growing uncertainty over
economic conditions and political headwinds. If the strong dollar is hurting
competitiveness, and if companies see export-boosting free trade deals
languishing under the weight of campaign rhetoric, it’s easy to see how
export compliance departments might be one of the more vulnerable positions
in a company. Or this may be attributed to cost reductions in a time of
heightened uncertainty.
Figure 11: Headcount Assigned to Export Management
0
2
4
6
8
10
12
14
Small/medium-sized
Shippers
Large ShippersManual Systems-based (uses some form of GTM automation)
RetailersManufacturers
11.6
2.9
11.912.8
9.5
8.2
127 total respondents
If the strong dollar is hurting competitiveness, and if companies see export-boosting free trade deals languishing under the weight of campaign rhetoric, it’s easy to see how export compliance departments might be one of the more vulnerable positions in a company.
Secti
on III. E
xport
er
Pers
pecti
ves
Export Operations and Compliance | Benchmark Report: 2016
16
There’s good news and bad news in Fig. 12. On the positive side, respondents
overwhelmingly said their export volumes grew in the last 12 months, despite
pressure from a strong dollar and other regulatory hurdles. The downside,
however, is that this growth has not nearly matched the explosive increases seen
in the first few years of the Obama Administration’s export initiative. Manufacturers
fared slightly better than retailers overall, but the strong dollar and lagging sales
continued to have an effect that export reform simply could not overcome.
Figure 12: Export Shipment Volume Growth over Last 12 Months
0%
5%
10%
15%
20%
25%
30%
35%
UncertainExports havedecreased
Morethan 30%
20-30%10-20%5-10%Less than 5%
32%30% 30%
4% 4%
33% Manufacturers
Retails
15%
6% 6% 6%
15%
8%7%
3%
140 total respondents
Secti
on IV.
Exp
ort
Technolo
gy
Trends
Export Operations and Compliance | Benchmark Report: 2016
17
Section IV. Export Technology Trends
This report has long advocated that exporters examine the technology options
available to them to improve process efficiency, increase data accuracy, and
reduce costs associated with export compliance. And with seven in 10
manufacturers and four in five retailers using some type of automation, it seems
the message has been getting through. Fewer and fewer companies are
managing exports purely by spreadsheet or some other manual process.
The next stage of this evolution, however, is to move away from the piecemeal
approach to global trade management, and there is still lots of work to be done
there. Only 20 percent of export shippers are using a single GTM platform to
manage their exports, whether from software providers or from their logistics
services providers. Another 10 percent have built proprietary platforms, but
questions remain about whether those home-grown systems can keep up with
the content demands that GTM software companies and 3PLs meet.
The evolution of a company from manual to automated resembles a spectrum, not
a light switch. In other words, you don’t just automate an export process, and all
the departments and data that feed into it, overnight. Shippers that use multiple
systems to address their export function should think about how they can reduce
the number of systems they use and merge processes onto fewer platforms.
Previous American Shipper research suggests companies find it difficult to
reduce their number of platforms, but that doesn’t mean it shouldn’t be a
medium-term goal.
Figure 13: Export Management Platform
0% 10% 20% 30% 40% 50%
None of these
A mix or hybrid of the above
Outsourced managed service
Automated using a customized internal system
Automated using a system provided by a 3PL
Automated using a global trade management system from a software company
Manual or spreadsheet based
35% 42%
29%19%
16%4%
9% 12%
3%0%
7% 12%
Manufacturers
Retailers
1% 12%
122 total respondents
Secti
on IV.
Exp
ort
Technolo
gy
Trends
Export Operations and Compliance | Benchmark Report: 2016
18
The shift to cloud-based global trade management systems is now beyond
doubt. For instance, Oracle (traditionally a seller of licensed, installed systems) in
August 2016 said 90 percent of new customers for its GTM software want the
system deployed via the cloud as opposed to on-premise.
That being said, Fig. 14 shows that on-premise deployment is still more common
for manufacturers (likely attributable, at least in part, to investment in existing
systems made long ago). The fact that most companies juggle multiple
deployment and payment arrangements goes hand in glove with the hybrid
approach they take to export management systems. It’s all part of the larger
equation—exporters have more than one system, and those systems often have
more than one deployment model.
For example, an exporter might use its on-premise ERP to create purchase
orders, or have an on-premise transportation management system, but use
software-as-a-service trade compliance tools to determine product classification
and check denied party screening lists. That hodge-podge might be getting the
job done, but it’s not necessarily optimal.
Figure 14: Export System Delivery Model
0% 5% 10% 15% 20% 25% 30% 35% 40%
None of these
A mix or hybrid of these
Custom built or proprietary software
Software available on a project basis
Software-as-a-service/On-demand
Licensed installed software 22%8%
9%4%
1%0%
12% 15%
33% 39%
23% 35%
Manufacturers
Retailers
120 total respondents
Secti
on IV.
Exp
ort
Technolo
gy
Trends
Export Operations and Compliance | Benchmark Report: 2016
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What’s interesting in Fig. 15 is how, nearly across the board, manufacturers see
broader value in export automation than retailers. They are overwhelmingly more
likely to want to add automation in the areas of trade content, classification,
denied party screening, and documentation generation. This is partially a function
of manufacturers generally being more engaged in export activity than retailers.
Retailers are also more likely to turn to 3PLs to help in these areas.
One encouraging sign is that half of all exporters surveyed want to add record
keeping functionality. That’s an indication that these companies recognize the
value of automation in keeping timely and accurate audit trails. Remember, as
customs and export control agencies get better at sorting through data and
targeting red flags, companies need to keep pace.
Figure 15: Planned Functionality Additions over Next 12 Months