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Published byDylan Riley Modified over 9 years ago
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Baker & McKenzie LLP is a member firm of Baker & McKenzie International, a Swiss Verein with member law firms around the world. In accordance with the common terminology used in professional service organizations, reference to a "partner" means a person who is a partner, or equivalent, in such a law firm. Similarly, reference to an "office" means an office of any such law firm. © 2013 Baker & McKenzie LLP MASSACHUSETTS EXPORT CENTER EXPORT EXPO Hot Topics in Export Compliance: Trade Sanctions Developments December 10, 2013 Lise S. Test, Associate Baker & McKenzie LLP Washington, DC
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© 2013 Baker & McKenzie LLP Iran Update –Iran Nuclear Programme deal Very limited suspension of sanctions –Effective October 9, 2012, owned/controlled foreign affiliates of U.S. persons are fully subject to the OFAC sanctions against Iran Owned/controlled affiliates can rely on same exemptions and general licenses as their U.S. parents 2
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© 2013 Baker & McKenzie LLP Iran Update (cont’d) –October 22, 2012 - reissuance of Iranian Transactions Regulations to Iranian Transactions and Sanctions Regulations Represents major overhaul of the regulations New general license and authorized payment term for Ag/Med transactions New limitations on funds transfers “Payments or transfers of funds” are excluded from the scope of “ordinarily incident and necessary” (ITSR 560.405) Practical effect is that you must find general or specific license that expressly authorizes your payment activities (e.g., 560.530/532 anfd 560.516) 3
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© 2013 Baker & McKenzie LLP Iran Update (cont’d) –SEC disclosure requirements for “knowingly” engaging in certain activitites, most of which target Iran No materiality threshold Few exceptions to disclosure –General License D for certain exports incident to the exchange of personal communications General License D is in addition to the general license in 560.540 (which authorizes exports free of charge that were incident to the exchange of personal communications) 4
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© 2013 Baker & McKenzie LLP Burma/Myanmar Update –“New investment” reporting requirement to the State Department USD 500,000 threshold – “over any period” Only applies to U.S. persons making “new investments” Does not apply to U.S. persons “facilitating” “new investments” –Imports no longer prohibited, except jadeite and rubies –General License No. 19 Asia Green Development Bank, Ayeyarwady Bank, Myanma Economic Bank, Myanma Investment and Commercial Bank Banks remain on SDN list but can be used for nearly all financial transactions 5
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© 2013 Baker & McKenzie LLP Questions? 6 Contact Information: Lise Test Associate Baker & McKenzie LLP Phone: (202) 835-6131 Email: lise.test@bakermckenzie.com :
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