Dealer for Glock Parts

Ganderite

CGN Ultra frequent flyer
Rating - 99.7%
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I usually buy my parts in the USA, but the border is closed.

I am looking for a USA dealer that will mail to Canada or a dealer in Canada.

I bought a Gen4 Glock 19 and want a lighter, crisper trigger.

A Glock Minus, a Zev Pro or Ghost Edge 3.5 come to mind.

Who has one of these?
 
You buy your parts in the US and bring em back?

Watch out buddy, even tho it is perfectly legal to bring back to Canada as long as you declare your purchases, if you get stopped by the US interior security agency before you leave US ground with firearms parts trying to export em, you might run in major troubles as it is not allowed thanks to ITAR...

Brownells is the easiest and most reliable in my experience. You can request USPS regular mail so you don't pay 40$+ shipping. Some stuff you'll need to fill some forms and maybe make a call to a Canadian agency declaring it's for personal use, some it just ships and that's it.
 
Yes, I buy from Browells all the time. Should have thought of them.

I also just got an email from RockYourGlock and they said they will mail to canada.

Now, all I have to do is decide which connector to buy.
 
You buy your parts in the US and bring em back?

Watch out buddy, even tho it is perfectly legal to bring back to Canada as long as you declare your purchases, if you get stopped by the US interior security agency before you leave US ground with firearms parts trying to export em, you might run in major troubles as it is not allowed thanks to ITAR...

Brownells is the easiest and most reliable in my experience. You can request USPS regular mail so you don't pay 40$+ shipping. Some stuff you'll need to fill some forms and maybe make a call to a Canadian agency declaring it's for personal use, some it just ships and that's it.

EAR/ITAR regs have changed.
 
What are those changes?

Alot of parts and accessories were taken off the USML and has made it easier and cheaper to obtain an export license.


Court Ordered Injunction Affecting January 2020 Revisions to USML Categories I, II, and III

On January 23, 2020, the Department of State published a final rule that amends the International Traffic in Arms Regulations ("ITAR") to revise Categories I, II, and III of the U.S. Munitions List ("USML") and removes items that no longer warrant control. Categories I, II, and III cover most firearms, ammunition, components, and accessories. Specifically, the final rules transfer certain firearms, including non-automatic and semi-automatic firearms up to .50 caliber inclusive, certain ammunition, parts, accessories and attachments from the USML to the Department of Commerce's Commerce Control List ("CCL") under the Export Administration Regulations ("EAR"). On the same day the Department of State published its final rule, the Department of Commerce published a companion final rule that makes changes to the EAR to control the items removed from the USML.

Following the rollout of the final rules, 21 states filed a lawsuit in the U.S. District Court for the Western District of Washington (Cause No. 2:20-cv-00111) seeking a court order to prohibit the Departments of State and Commerce from implementing or enforcing final rules. In their complaint, the states argued that the final rules "will remove technical data related to 3D-printed firearms, including software and technology for the production of a firearm and firearm parts from the [USML]" and "transfer them to the Commerce Department's jurisdiction, where they will be exempt from any meaningful regulation and no longer subject to direct Congressional oversight." The states also argued that the resulting effect would be to allow blueprints for the 3D-printed firearms to be posted to the internet leading to the production of unregistered and untraceable assault-style weapons.

On March 6, 2020, a federal district court granted a preliminary injunction enjoining the Department of State "from implementing or enforcing the regulation entitled International Traffic In Arms Regulations: US. Munitions List Categories I, II, and III 85 Fed. Reg. 3819 (Jan. 23, 2020) insofar as it alters the status quo restrictions on technical data and software directly related to the production of firearm and firearm parts using a 3D-printer or similar equipment." The effect of the order is that it maintains on the USML "technical data and software directly related to the production of firearm and firearm parts using a 3D-printer or similar equipment." All other aspects of the Department of State's final rule and Department of Commerce's companion final rule took effect on March 9, 2020. The Transition Guidance issued on January 23, 2020 pertaining to the revisions to USML Categories I, II, and III remains applicable to all items that are transferring to the Department of Commerce's jurisdiction pursuant to final rules.


Fortunately, the Departments of Defense and Commerce have made it easier to determine if an article is regulated under ITAR by developing web-based (decision-tree) tools. See Department of State, Office of Defense Trade Controls, at pmddtc.state.gov or bis.doc.gov/index.php/decision-tree-tools


https://www.pmddtc.state.gov/ddtc_public

https://bis.doc.gov/
 
Alot of parts and accessories were taken off the USML and has made it easier and cheaper to obtain an export license.


Court Ordered Injunction Affecting January 2020 Revisions to USML Categories I, II, and III

On January 23, 2020, the Department of State published a final rule that amends the International Traffic in Arms Regulations ("ITAR") to revise Categories I, II, and III of the U.S. Munitions List ("USML") and removes items that no longer warrant control. Categories I, II, and III cover most firearms, ammunition, components, and accessories. Specifically, the final rules transfer certain firearms, including non-automatic and semi-automatic firearms up to .50 caliber inclusive, certain ammunition, parts, accessories and attachments from the USML to the Department of Commerce's Commerce Control List ("CCL") under the Export Administration Regulations ("EAR"). On the same day the Department of State published its final rule, the Department of Commerce published a companion final rule that makes changes to the EAR to control the items removed from the USML.

Following the rollout of the final rules, 21 states filed a lawsuit in the U.S. District Court for the Western District of Washington (Cause No. 2:20-cv-00111) seeking a court order to prohibit the Departments of State and Commerce from implementing or enforcing final rules. In their complaint, the states argued that the final rules "will remove technical data related to 3D-printed firearms, including software and technology for the production of a firearm and firearm parts from the [USML]" and "transfer them to the Commerce Department's jurisdiction, where they will be exempt from any meaningful regulation and no longer subject to direct Congressional oversight." The states also argued that the resulting effect would be to allow blueprints for the 3D-printed firearms to be posted to the internet leading to the production of unregistered and untraceable assault-style weapons.

On March 6, 2020, a federal district court granted a preliminary injunction enjoining the Department of State "from implementing or enforcing the regulation entitled International Traffic In Arms Regulations: US. Munitions List Categories I, II, and III 85 Fed. Reg. 3819 (Jan. 23, 2020) insofar as it alters the status quo restrictions on technical data and software directly related to the production of firearm and firearm parts using a 3D-printer or similar equipment." The effect of the order is that it maintains on the USML "technical data and software directly related to the production of firearm and firearm parts using a 3D-printer or similar equipment." All other aspects of the Department of State's final rule and Department of Commerce's companion final rule took effect on March 9, 2020. The Transition Guidance issued on January 23, 2020 pertaining to the revisions to USML Categories I, II, and III remains applicable to all items that are transferring to the Department of Commerce's jurisdiction pursuant to final rules.


Fortunately, the Departments of Defense and Commerce have made it easier to determine if an article is regulated under ITAR by developing web-based (decision-tree) tools. See Department of State, Office of Defense Trade Controls, at pmddtc.state.gov or bis.doc.gov/index.php/decision-tree-tools


https://www.pmddtc.state.gov/ddtc_public

https://bis.doc.gov/

We might see more US online shops starting to ship up here, that's good. But from what I found myself and what you show here, it's still with export licence requirements and you still cannot go state side, buy stuff and drive back to my knowledge.

I often had car parts and other stuff shipped right on the other side of the border (kinek and the like) and go pick it up. Twice I was stopped by US interior security right before the Canadian customs and asked if I bought any firearms stuff, good thing I didn't...
 
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