Questions about bump-stock-style devices, the final rule clarifying that bump stocks fall under the definition of "machinegun" under federal law, and how to destroy them or abandon them at local ATF offices.
What does the final rule on bump-stock-type devices do?
How does the final rule differ from the notice of proposed rulemaking (NPRM)?
When does the final rule go into effect?
What do current possessors of bump-stock-type devices need to do?
Can persons abandon their bump-stock-type devices with their local law enforcement office?