OFAC Licensing: Exceptions to Economic Sanctions Prohibitions

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Presentation transcript:

OFAC Licensing: Exceptions to Economic Sanctions Prohibitions A Presentation by Hal Eren SIFMA’s OFAC Compliance Symposium AXA Conference Center New York, NY November 6, 2008 11/20/2018

OFAC Licensing: Exceptions to Economic Sanctions Prohibitions OFAC licenses: authorize transactions and activities that are otherwise prohibited make exceptions to sweeping and comprehensive sanctions prohibitions and requirements are a necessary part of the effective administration of sanctions in accordance with US government (foreign) policy send signals to sanctions targets (carrot and stick) serve as mechanism for gradual relaxation and lifting of sanctions 11/20/2018

OFAC Licensing: Exceptions to Economic Sanctions Prohibitions Presidential Executive Orders imposing sanctions and relevant underlying statutory authorities contemplate, foresee, and authorize exceptions – in appropriate cases “ …except to the extent provided in …licenses issued pursuant to this order ... the following are prohibited:” 11/20/2018

OFAC Licensing: Exceptions to Economic Sanctions Prohibitions The licensing function/process provides OFAC with necessary flexibility: - maintains bright line, sweeping prohibitions (strength, integrity, clarity of sanctions) - addresses unforeseeable, unintended consequences of the application of prohibitions (sanctions are sometimes a double-edged sword) - provides for constant calibration and refinement of sanctions - implements changes in underlying US government foreign policy - affirmative support of US government policy; affords due process 11/20/2018

OFAC Licensing: Exceptions to Economic Sanctions Prohibitions Organization of OFAC regulations, 31 CFR Chapter V: 100s – technical provisions 200s – prohibitions 300s – definitions 400s – interpretations 500s – licensing 600s – records and reports 700s – penalties 800s – procedures 11/20/2018

OFAC Licensing: Exceptions to Economic Sanctions Prohibitions Types of OFAC licenses: Specific: case-by-case determinations -- in response to written applications/petitions, specific to discreet transactions for specific persons non-precedential basis General: authorizations applicable to certain categories of transactions and to all those similarly situated set forth in published OFAC regulations 11/20/2018

OFAC Licensing: Exceptions to Economic Sanctions Prohibitions Specific licenses fall into two categories: - statements of licensing policy - setting forth in regulations (mostly) objective criteria/conditions for issuance of licenses, e.g., commodities (futures) trading (Iran), agricultural exports - other applications (catch-all) pursuant to OFAC’s plenary licensing authority highly discretionary 11/20/2018

OFAC Licensing: Exceptions to Economic Sanctions Prohibitions Some examples of specific OFAC license applications/licenses: unblocking of certain funds (wire transfers) and other assets overcoming conflicts of law situations, e.g., foreign branches of US banks, foreign subsidiaries of US companies challenge to OFAC’s basis for determinations, overcoming OFAC presumptions, e.g., persons on the SDN list (post-designation due process), Cuban nationals residing outside of Cuba and the United States – eligibility for unblocking acquiring (M&A) or inheriting (successor liability) transactions involving sanctions targets 11/20/2018

OFAC Licensing: Exceptions to Economic Sanctions Prohibitions Some examples of specific OFAC license applications/licenses (cont.): circumstances/transactions where sanctions target involvement is de minimis in comparison to others and/or nexus to sanctions targets is extremely remote (hyper-technical application, outer-periphery of the law) settlement and payment of certain global insurance claims inability to exclude sanctions target coverage from the scope of global insurance and reinsurance policies OFAC statement: “In cases where such an exclusion is not commercially feasible, the insurer should apply for a specific OFAC license for the global insurance policy.” 11/20/2018

OFAC Licensing: Exceptions to Economic Sanctions Prohibitions Some examples of general licenses: Iranian accounts at US banks and US broker-dealers protection of intellectual property (Iran, Sudan) provision of certain legal services payment of interest and deduction of service charges – blocked accounts 11/20/2018

OFAC Licensing: Exceptions to Economic Sanctions Prohibitions Some examples of general licenses (cont.) carve-out for Southern Sudan certain payments involving Burma dollar-clearing (Iran) telecommunications trading of debt obligations (past Yugoslav sanctions) 11/20/2018

OFAC Licensing: Exceptions to Economic Sanctions Prohibitions Note: General licenses differ from one sanctions program to another. For example, a general license under the Iran program may not be available under the Cuba embargo Judgments on whether and how a general or specific license applies are sometimes difficult OFAC presumption usually against grant of licenses. Must overcome presumptions and offer cogent reasons for licensing to succeed on applications 11/20/2018

OFAC Licensing: Exceptions to Economic Sanctions Prohibitions Helpful tips: must demonstrate to OFAC that issuance of specific license meets criteria or that issuance of license would be consistent with US government policy - should first determine whether a license is even required - in close-calls or for comfort, plead in the alternative to OFAC - OFAC’s licensing division deals with license applications as well as requests for interpretations - do not abuse process or detract from your credibility by asking for licenses where license would not be granted 11/20/2018

OFAC Licensing: Exceptions to Economic Sanctions Prohibitions For more information or questions, please contact: Hal Eren  + 1 202 429 9883 hal.eren@erenlaw.com Steven Pinter  + 1 202 429 1881 steven.pinter@erenlaw.com 11/20/2018

OFAC Licensing: Exceptions to Economic Sanctions Prohibitions The Eren Law Firm is an economic sanctions, anti-money laundering, bank regulation, and international trade regulation boutique serving U.S. and non-U.S. financial institutions/financial services companies, U.S. and non-U.S. companies, and sovereign governments. Mr. Eren and Mr. Pinter of the Firm served in senior positions at the U.S. Treasury’s Office of Foreign Assets Control (OFAC) for a combined 25 years prior to entering private law practice, respectively 6 and 8 years ago. Mr. Pinter was OFAC’s Chief of Licensing between 1987 and 2002. At OFAC, among other things, Mr. Eren was a principal contributor to OFAC’s promulgation of the Iran Transactions Regulations and his portfolio at OFAC consisted primarily of matters involving complex financial and trade transactions. More information about The Eren Law Firm and its practice can be found at: www.erenlaw.com 11/20/2018