U.S. Economic Sanctions: Current Landscape, Recent Activity, and New Developments
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Transcript of U.S. Economic Sanctions: Current Landscape, Recent Activity, and New Developments
U.S. Economic Sanctions:Current Landscape, Recent Activity, and
New Developments
Speaker
Meredith RathboneAssociate
Steptoe & Johnson LLP, Lex Mundi member firm for Washington D.C.
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Overview of U.S. Economic Sanctions
OFAC (Office of Foreign Assets Control – Treasury Department) administers U.S. sanctions programs Regulations: 31 C.F.R. Parts 500-598 Website: http://www.ustreas.gov/offices/enforcement/ofac/ Sanctioned countries:
Cuba, Iran, Sudan - almost complete prohibition North Korea, Syria – broad export restrictions (BIS) Burma (Myanmar) – financial services and new investment
restrictions, among others Also: Balkans, Belarus, Cote d’Ivoire (Ivory Coast), Democratic
Republic of the Congo, Iraq, Lebanon, Liberia, Somalia, Zimbabwe List-based sanctions (SDNs, foreign policy, national security,
terrorists, narcotics traffickers)
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U.S. Economic Sanctions - Prohibitions
Sanctions programs vary significantly. They can prohibit, among other things: Exports, reexports, and transshipments of U.S.-origin goods,
technology, know-how, and services to sanctioned countries or persons
Investment in sanctioned countries or persons “Dealing in” goods, technology, or services destined for
sanctioned countries (regardless of origin) or blocked property (asset freezes) owned/controlled by sanctioned persons
“Facilitating” or “approving” a foreign (non-U.S.) person in its business dealings with sanctioned countries or persons
Evading or avoiding the restrictions in OFAC’s regulations
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Who Must Abide By U.S. Sanctions?
All persons in the United States are covered, regardless of nationality
U.S. companies, U.S. citizens, and lawful permanent residents are covered, wherever located
Non-U.S. subsidiaries of U.S. companies are prohibited from engaging in any business transactions with Cuba
U.S. companies and persons cannot facilitate or approve any sanctioned country activities of non-U.S. subs
Exports by non-U.S. companies of U.S.-origin products to sanctioned countries can be prohibited
Exports by non-U.S. companies of non-U.S. products that contain greater than de minimis levels of U.S.-origin content can be unlawful
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Prohibited Facilitation or Approval - Examples
U.S. persons and companies cannot:
Refer sanctioned country business to a non-U.S. subsidiary
Assist a foreign sub in structuring a transaction involving business with OFAC sanctioned country or person
Provide advice, consulting, business, legal or other support for a transaction relating to OFAC sanctioned country or person
Provide financing, guarantee, warranty, transportation, logistical, or indemnity support to a foreign sub for a transaction involving an OFAC sanctioned country or person
Provide management oversight, direction or approval to a foreign sub relating to specific activities in an OFAC sanctioned country
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Iran Sanctions Act & Related Developments
Iran Sanctions Act (formerly ILSA) in place since 1996 Targeted persons determined to have (1) invested $20
million or more in a project in Iran that contributed to the development of Iran’s petroleum resources, or (2) sold WMDs or certain conventional weapons to Iran
Focused on the activities of non-U.S. companies President to choose 2 of 6 possible sanctions Never enforced
Limited UN sanctions against Iran have been in place since 2006
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Iran Sanctions Act & Related Developments (Cont.)
Tougher Sanctions Passed: UN Security Council - Resolution 1929 (June 9, 2010) United States – Comprehensive Iran Sanctions
Accountability and Divestment Act (CISADA) (June 24, 2010)
European Union (July 26, 2010) Canada (July 26, 2010) Japan (August 3, 2010)
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U.S. Sanctions – CISADA (Refined Petroleum)
CISADA expands petroleum-related restrictions of ISA by prohibiting: Providing refined petroleum products to Iran valued at $1 m or
more ($5 m in a 12-month period) Providing of goods, services or other support to Iran valued at $1
m or more ($5 m in a 12-month period) that could directly and significantly facilitate the maintenance or expansion of Iran’s domestic production of refined petroleum products
Providing goods, services, technology, information or support valued at $1 m or more ($5 m in a 12-month period) that could directly and significantly contribute to Iran’s ability to import refined petroleum products
Insurance/reinsurance/underwriting Financing/brokering Shipping services
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US Sanctions – CISADA (Refined Petroleum)
CISADA makes it more difficult for the President to avoid conducting an investigation or making a determination of sanctionable activity
Requires the President to impose 3 out of an expanded menu of 9 sanctions New sanctions include: (1) prohibition on transactions in
foreign exchange; (2) prohibition on transfers of credit or payments through/to U.S. financial institutions if sanctioned person has an interest; (3) prohibition on dealing in property in which sanctioned person has an interest
Sanctions can be imposed on parent companies and affiliates Delay and waiver provisions still available, but more difficult to
use
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CISADA – Financial Institutions
Targets non-U.S. financial institutions that: facilitate Iran’s ability to acquire WMDs or provide support
for terrorism facilitate activities of persons subject to UN sanctions provide significant facilitation/support of blocked IRGC
entities or blocked Iranian financial institutions Prohibits U.S. financial institutions from dealing with non-U.S.
financial institutions that violate sanctions Regulations to be implemented that will establish certain
audit, reporting, due diligence, or certification requirements Goal: Force foreign financial institutions to choose – us or them
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CISADA – Other Provisions
U.S. Government contracting restrictions USG contractors must certify that they do not engage in
sanctionable activities Enhanced import restrictions; codifies export restrictions Permits divestment from companies that engage in
sanctionable activities Requires DNI to submit reports identifying destinations of
diversion concern Enhanced export licensing requirements for designated
countries
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Other Sanctions Developments
Somalia Sanctions Regulations – Property of persons contributing to conflict in Somalia blocked (April 2010)
North Korea – U.S. to name entities and persons involved in arms trading, counterfeiting, drug trafficking, and other illegal activities – property under U.S. control will be blocked
Cuba: Cash in advance requirement modified for agricultural products –
may now receive payment when products arrive in Cuba, before transfer to Cuban buyers (2010)
Eased restrictions on family visits, remittances, and certain telecommunications-related activities (2009)
Legislation introduced in Congress to lift travel ban and ease financing restrictions for sale of agricultural products
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Thank you!
On behalf of Lex Mundi and Steptoe & Johnson LLP, we would like to thank you for joining.
If you have any questions or comments, please feel free to contact Meredith Rathbone at [email protected]
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