WebComprehensively Sanctioned Countries (all transactions, including those involving persons or entities "ordinarily resident" in these countries, are subject to OFAC sanctions) Cuba. Iran. North Korea. Syria. High Risk Countries (subject to OFAC targeted sanctions for specific persons, entities, or activities) Country. WebRussian and Belarusian industry sector sanctions. § 746.6: Crimea Region of Ukraine and Covered Regions of Ukraine. § 746.7: Iran. § 746.8: Sanctions against Russia and Belarus. § 746.9: Syria. § 746.10 'Luxury goods' sanctions against Russia and Belarus and Russian and Belarusian oligarchs and malign actors. Supplement No. 1 to Part 746
Embargoed Countries Research at Brown Brown University
WebImportantly, in contrast to the comprehensive U.S. sanctions targeting Cuba, Iran, North Korea, Syria, and the Crimea region of Ukraine, the new sanctions do not prohibit dealings involving the country or people of Venezuela, provided that such dealings do not involveblocked persons (including the Government of Venezuela) or prohibited activities. WebThe Comprehensive Iran Sanctions, Accountability, and Divestment Act of 2010 ( Pub. L. 111–195 (text) (PDF), 124 Stat. 1312, enacted July 1, 2010; CISADA) is a law passed by … high school odc 1
These 6 charts show how sanctions are crushing Iran’s economy
WebDec 14, 2024 · The settlement offers a reminder of the potential liability for individuals under the US sanctions regimes, including individuals in the United States who assist family members or friends with commercial activities outside the United States involving comprehensively sanctioned territories, even if there is no or little economic benefit ... WebComprehensive Sanctions: Iran Willkie Compliance Concourse Primary Sanctions The Iranian Transactions and Sanctions Regulations (ITSR) prohibit, among other things: the export, reexport, sale, or supply, directly or indirectly, from the US or by a US person, wherever located, of any goods, technology, or services to Iran; and WebOct 24, 2024 · I n recently published guidance, the Department of the Treasury’s Office of Foreign Assets Control highlighted 10 common sanctions compliance pitfalls. Many of these pitfalls are particularly applicable to financial institutions, and a strong sanctions compliance program should account for these risks. 1. high school of american studies tours