The Office of Foreign Assets Control published a new fact sheet, three new general licenses and other guidance to help humanitarian aid flow more easily to Afghanistan. The six-page guidance describes the various general licenses available for transactions involving Afghanistan, which now cover certain U.S. government activities, transactions involving international organizations and other humanitarian work. The guidance comes after months of banks and non-governmental organizations asking OFAC to provide more assurances that they won’t be caught by sanctions (see 2109020064).
The U.S. should lift all sanctions that may be preventing shipments of food, medicine and other humanitarian goods to Cuba, including restrictions on banks and personal remittances, more than 100 Democratic lawmakers wrote to President Joe Biden Dec. 14. Although the Treasury Department authorizes certain humanitarian aid to Cuba through its general licenses (see 2004160039 and 2108120025), the lawmakers said banks and humanitarian workers need more assurances.
The Office of Foreign Assets Control on Dec. 10 issued a new general license authorizing certain non-commercial, personal remittances to Afghanistan. General License No. 16 authorizes certain transactions involving the Taliban, the Haqqani Network, or any entity they own by 50% or more if those transactions are “ordinarily incident and necessary to the transfer” of personal remittances to Afghanistan.
The Office of Foreign Assets Control fined an unnamed person about $133,000 after they violated U.S. sanctions against Iran, OFAC said in a Dec. 8 notice. OFAC said the person accepted payment on behalf of an Iran-based company selling cement clinker to another company for a project in a third country.
The Office of Foreign Assets Control this week sanctioned an additional 20 people, 12 entities and three aircraft for aiding the Alexander Lukashenko regime in Belarus. The agency also imposed new restrictions on dealings in Belarusian sovereign debt, and issued a new general license and 10 new frequently asked questions to provide guidance on the new sanctions.
The Office of Foreign Assets Control last week renewed a general license authorizing transactions between certain companies and Petroleos de Venezuela S.A. General License No. 8I, which replaces No. 8H (see 2106020003), authorizes transactions between PdVSA and Chevron, Halliburton, Schlumberger, Baker Hughes and Weatherford International, with certain restrictions, through 12:01 a.m. EDT June 1, 2022. The license was scheduled to expire Dec. 1.
The Office of Foreign Assets Control amended the Syrian Sanctions Regulations to expand an authorization for certain activities of nongovernmental organizations in Syria, OFAC said in final rule released Nov. 24. The rule, effective Nov. 26, expands a general license to allow NGOs to conduct certain “assistance-related investment activities in support of certain not-for-profit activities in Syria.” OFAC also amended the license to specify that it doesn’t apply to foreign people or entities that have been designated as a foreign terrorist organization or “otherwise designated as a terrorist organization by the Secretary of State.”
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The Office of Foreign Assets Control last week issued the first designations under the recently established Ethiopian and Eritrean sanctions regime (see 2109170036), targeting four entities and two people for contributing to the two countries' ongoing conflict. OFAC also issued a general license authorizing certain transactions with two of the sanctioned entities and published two new frequently asked questions.
The U.S. government and the United Nations, including their contractors, are allowed to conduct transactions related to Syria that involve “stabilization and early recovery-related activities,” the Office of Foreign Assets Control said in a Nov. 8 frequently asked question. OFAC also said the U.S. government and its contractors are authorized by a general license “to engage in all transactions in support of their official business” in Syria. The exemption applies to all government employees, including non-governmental organizations and private companies acting as grantees or contractors. The agency stressed that all U.N. or U.S. grantees or contractors must provide a copy of their contract or grant with either the U.N. or the U.S. “before the U.S. person engages in or facilitates any transaction or activity.”