The Office of Foreign Assets Control extended a general license that authorizes U.S. academic institutions to exports certain “online educational services” and software to Iran, the agency said Aug. 24. General License M-1, which replaces General License M (see 2010290043), was extended through 12:01 a.m. EDT Sept. 1, 2022. The original license was scheduled to expire Sept. 1, 2021.
The Biden administration recently announced a series of new sanctions measures against Russia that take aim at the poisoning of Russian opposition figure Aleksey Navalny and officials connected to the country’s Nord Stream 2 pipeline.
The Bureau of Industry and Security and the Office of Foreign Assets Control issued a fact sheet this week highlighting the various exemptions and authorizations available for companies, people and exporters providing telecommunications goods and services to Cuba. The five-page guidance covers OFAC general licenses and BIS license exceptions and comes as the Biden administration tries to increase sanctions pressure on the Cuban government for its crackdown on pro-democracy protests in recent weeks (see 2107300063).
President Joe Biden issued a new executive order to expand existing U.S. sanctions authorities against Belarus and issued a host of new designations targeting the country’s government for last year’s “fraudulent” presidential elections. The Aug. 9 order authorizes sanctions against a broad range of government officials, oligarchs, entities and private companies, including those operating in Belarus’ defense, energy, security, potassium chloride, transportation and construction sectors. Sanctions are also authorized against people or entities with links to “public corruption” in Belarus or transactions deemed to be “deceptive or structured” to evade U.S. sanctions on behalf of the Belarusian government.
The Office of Foreign Assets Control July 27 released more than 30 Ukraine-related web general licenses that have expired or are nearing expiration. The licenses include numerous iterations for General License No. 13, which authorized certain transactions with specific blocked entities related to Ukraine, and General License No. 15, which authorized certain transactions with GAZ Group and its subsidiaries. The most recent versions of GL 13 and 15 are scheduled to expire in January 2022 (see 2012230066).
The Office of Foreign Assets Control on July 20 extended a general license related to Petroleos de Venezuela and updated a frequently asked question to reflect the change. General License No. 5G, which replaced No. 5F (see 2012230066), now authorizes certain transactions with PdVSA involving an 8.5% bond on or after Oct. 21, 2021.
The Office of Foreign Assets Control published previously expired Ukraine-related general licenses to provide their full texts. Released July 16, the notices include Ukraine-Related Web General License 12, 14 and their “subsequent iterations.”
The Bureau of Industry and Security added six Russian entities to the Entity List for activities that threaten U.S. national security and foreign policy, the agency said in notice. The entities operate in Russia’s technology sector and support the country’s intelligence services, BIS said. The Treasury Department sanctioned all six companies in February under President Joe Biden’s executive order that targeted Russia’s defense and technology sectors and its attempts to influence foreign elections (see 2104150019). BIS also corrected one existing Russian entry on the Entity List. The rule is effective July 19.
The Treasury Department issued a new general license authorizing certain exports and reexports of oil to the Venezuelan government and Petroleos de Venezuela, the country’s state-run energy company. General License No. 40, issued July 12, authorizes transactions related to indirect or direct exports and reexports of liquefied natural gas to PdVSA and any entity it owns by 50% or more. The transactions are authorized through 12:01 a.m. July 8, 2022.
A shift toward list-based sanctions and a rise in federal government compliance expectations are causing increasing challenges for the compliance community, compliance professionals said. At the center of those challenges are the designations imposed by the Treasury Department’s Office of Foreign Assets Control, which is setting a high bar for due diligence by more clearly describing its compliance expectations in settlement agreements.