ofaclawyer.net Open in urlscan Pro
141.193.213.21  Public Scan

Submitted URL: http://ofaclawyer.net/
Effective URL: https://ofaclawyer.net/
Submission: On September 04 via manual from US — Scanned from US

Form analysis 2 forms found in the DOM

GET https://ofaclawyer.net/

<form id="m-SiteSearchs-form" method="get" class="searchform" action="https://ofaclawyer.net/" cr-attached="true">
  <div id="m-close-search" class="m-close-search close-btn"> <span class="bar"></span> <span class="bar"></span> <span class="bar"></span></div>
  <div class="container">
    <div class="row">
      <div class="col-lg-9 col-md-9 col-sm-12 col-11 m-auto">
        <div class="d-flex align-items-center">
          <div class="search-input-box"> <input autocomplete="off" class="search form-control" placeholder="Search The Website" type="text" value="" name="s" onpaste="return false" data-uw-rm-form="fx" aria-label="Search The Website"> <span
              class="req-error">Required</span></div>
          <div class="search-icon-form"> <button type="submit" id="m-SiteSearchs" aria-label="search" data-uw-rm-empty-ctrl=""></button></div>
        </div>
      </div>
    </div>
  </div>
</form>

POST https://webto.salesforce.com/servlet/servlet.WebToLead?encoding=UTF-8

<form action="https://webto.salesforce.com/servlet/servlet.WebToLead?encoding=UTF-8" method="post" class="wpcf7-form init resetting" novalidate="novalidate" cr-attached="true" data-status="resetting"> <input type="hidden" name="oid"
    value="00D15000000GTl3"> <input type="hidden" name="retURL" value="https://ofaclawyer.net/message-received/"> <input type="hidden" name="lead_source" value="ofaclawyer"> <input type="hidden" name="Lead_Source__c" value="ofaclawyer"> <input
    type="hidden" name="nobot__c" value=""> <input id="00N1500000FAoU7" name="00N1500000FAoU7" type="hidden" value="Not Called"> <input type="hidden" name="CurrentPageURL" class="currentpageurl d-none" value="https://ofaclawyer.net/">
  <div class="row">
    <div class="banner-inputs_wrap">
      <div class="banner-input">
        <div class="col-md-2 form-group f-name"> <span class="wpcf7-form-control-wrap" data-name="first_name"> <input type="text" name="first_name" id="first_name" value="" size="40"
              class="wpcf7-form-control wpcf7-text wpcf7-validates-as-required form-control" aria-required="true" aria-invalid="false" placeholder="First Name *" autocomplete="off" required="" onpaste="return false" oncopy="return false"
              data-uw-rm-form="fx" aria-label="First Name *"> </span></div>
        <div class="col-md-2 form-group l-name"> <span class="wpcf7-form-control-wrap" data-name="last_name"> <input type="text" name="last_name" id="last_name" value="" size="40"
              class="wpcf7-form-control wpcf7-text wpcf7-validates-as-required form-control" aria-required="true" aria-invalid="false" placeholder="Last Name *" autocomplete="off" required="" onpaste="return false" oncopy="return false"
              data-uw-rm-form="fx" aria-label="Last Name *"> </span></div>
        <div class="col-md-2 message--wrap form-group"> <span class="wpcf7-form-control-wrap" data-name="description"><textarea name="description" id="description" cols="40" rows="10"
              class="wpcf7-form-control wpcf7-textarea wpcf7-validates-as-required form-control" aria-required="true" aria-invalid="false" placeholder="Case Details *" autocomplete="off" required="" onpaste="return false" oncopy="return false"
              data-uw-rm-form="fx" aria-label="Case Details *"></textarea></span></div>
        <div class="col-md-2 form-group"> <span class="wpcf7-form-control-wrap" data-name="email"> <input type="email" name="email" id="email" value="" size="40"
              class="wpcf7-form-control wpcf7-text wpcf7-email wpcf7-validates-as-required wpcf7-validates-as-email form-control" aria-required="true" aria-invalid="false" placeholder="Email *" autocomplete="off" required="" onpaste="return false"
              oncopy="return false" data-uw-rm-form="fx" aria-label="Email *"> </span></div>
        <div class="col-md-2 form-group"> <span class="wpcf7-form-control-wrap" data-name="phone"> <input type="tel" name="phone" id="phone" value="" size="40"
              class="wpcf7-form-control wpcf7-text wpcf7-tel wpcf7-validates-as-required wpcf7-validates-as-tel form-control" aria-required="true" aria-invalid="false" placeholder="Phone *" autocomplete="off" maxlength="14" required="" minlength="14"
              onpaste="return false" oncopy="return false" data-uw-rm-form="fx" aria-label="Phone *"> </span></div>
      </div>
      <div class="review_recaptcha_wrap">
        <div class="form-disclaimer-text small mb-2 mt-2 d-flex align-items-start"> <input type="checkbox" id="disclaimer1" name="disclaimer" value="Yes" data-uw-rm-form="nfx"> <label for="disclaimer1"
            class="disclaimerText text-left ml-2 text-white">
            <p>By submitting your mobile number, you agree to receive text messages from regarding your subscriptions or other industry related information. You can opt-out anytime. Message &amp; data rates may apply. View
              <a href="/disclaimer/" data-uw-rm-brl="PR" data-uw-original-href="https://ofaclawyer.net/disclaimer/">Mobile Terms</a>. View
              <a href="/disclaimer/" data-uw-rm-brl="PR" data-uw-original-href="https://ofaclawyer.net/disclaimer/">Privacy Policy</a>.</p>
          </label></div>
        <div class="review_recaptcha_container">
          <div id="review_recaptcha">
            <div style="width: 304px; height: 78px;">
              <div><iframe title="reCAPTCHA" width="304" height="78" role="presentation" name="a-ks9d9jb3uv5e" frameborder="0" scrolling="no"
                  sandbox="allow-forms allow-popups allow-same-origin allow-scripts allow-top-navigation allow-modals allow-popups-to-escape-sandbox allow-storage-access-by-user-activation"
                  src="https://www.google.com/recaptcha/api2/anchor?ar=1&amp;k=6LcQsQkoAAAAAD6tfiU3wLqbSCYkdCaxOYPZccpp&amp;co=aHR0cHM6Ly9vZmFjbGF3eWVyLm5ldDo0NDM.&amp;hl=en&amp;v=WV-mUKO4xoWKy9M4ZzRyNrP_&amp;size=normal&amp;cb=k7s34h93bzew"
                  data-gtm-yt-inspected-8="true"></iframe></div><textarea id="g-recaptcha-response" name="g-recaptcha-response" class="g-recaptcha-response"
                style="width: 250px; height: 40px; border: 1px solid rgb(193, 193, 193); margin: 10px 25px; padding: 0px; resize: none; display: none;" data-uw-rm-form="fx" aria-label="Text area"
                data-uw-hidden-control="hidden-control-element"></textarea>
            </div><iframe style="display: none;" data-gtm-yt-inspected-8="true" data-uw-rm-iframe="un"></iframe>
          </div> <span id="msg" class="error"></span>
        </div>
      </div>
      <div class="banner-btn-wrap"> <input type="submit" value="Submit" class="wpcf7-form-control wpcf7-submit form-btn m-0" onpaste="return false" oncopy="return false" data-uw-rm-form="fx" aria-label="Submit button"></div>
    </div>
  </div>
</form>

Text Content

Skip to main contentEnable accessibility for low visionOpen the accessibility
menu






Required

NOT A GOVERNMENT WEBSITE
For a consultation call
(202) 217-1684
 * Home
 * Sanctions Programs
   * Blocked Property
   * Cuba
   * Iran
   * North Korea
   * Syria
   * Ukraine/Russia-Related
   * Venezuela
 * Sanctions Resources
 * Resources
   * Blog
   * Case Results
   * FAQs
   * OFAC Eco-Friendly Scholarship
 * فارسی
 * Contact Us

 * Home
 * Sanctions Programs
   * Blocked Property
   * Cuba
   * Iran
   * North Korea
   * Syria
   * Ukraine/Russia-Related
   * Venezuela
 * Sanctions Resources
 * Resources
   * Blog
   * Case Results
   * FAQs
   * OFAC Eco-Friendly Scholarship
 * فارسی
 * Contact Us

For a consultation call
(202) 217-1684

OFAC Sanctions Attorney

By submitting your mobile number, you agree to receive text messages from
regarding your subscriptions or other industry related information. You can
opt-out anytime. Message & data rates may apply. View Mobile Terms. View Privacy
Policy.





OFAC SANCTIONS LAWYER

The Office of Foreign Assets Control (OFAC), an agency of the United States
Department of the Treasury, is tasked with the regulation and enforcement of
U.S. economic sanctions and trade embargoes involving foreign countries and
targeted persons. The agency takes action in an effort to achieve the national
security goals and foreign policy objectives of the United States. Its legal
authority is derived from different places, ranging from executive orders to
legislation to international agreements.


WHAT IS AN OFAC SANCTIONS ATTORNEY?

The sanctions imposed by the Office of Foreign Assets Control involve a complex
and ever-changing set of rules, regulations, and foreign policy developments.
They also involve an ever-changing list of persons and countries of interest.
Any individual, organization, or foreign entity which becomes a real or
perceived threat to national security, U.S. foreign policy, or U.S. economic
policy can be sanctioned. When dealing in international business matters and
transactions, one must be aware of, anticipate, and be in constant compliance
with all OFAC laws and regulations. Staying well-informed of shifting policies
may be a challenge, but a knowledgeable OFAC lawyer can provide sound counsel to
help with specific licensing, issues with current foreign activities, and other
legal needs.


OFAC VIOLATIONS

The combination of rapidly evolving sanctions programs, broad prohibitions, and
strict liability means a person or entity can be in violation of the most
up-to-date sanctions without actually knowing a violation has occurred. It can
be particularly difficult for those dealing with foreign entities to stay
abreast of the latest OFAC sanctions. If you have a business or are a
representative of a financial institution or entity that requires assistance
with compliance measures regarding U.S. sanctions, or you have been notified
that you are under investigation regarding alleged violations of these rules,
contact a dedicated OFAC lawyer immediately. This may come in the form of a
notice on your credit report.

An OFAC law firm may provide legal advice and counseling regarding international
business matters, as well as assist with the following:

 * Export and Import Licensing
 * Commercial Transactions
 * Personal Transactions
 * Defending Against OFAC Investigations and Enforcement Matters
 * OFAC Administrative Subpoenas
 * Unblocking of Frozen Funds or Assets
 * Risk Assessment and Analysis
 * Compliance Counseling and Compliance Programs
 * Internal Investigations and Case Reviews
 * Filing an Interpretive Guidance Request
 * General Counseling and Advisory Opinions
 * Litigation/Representation
 * Voluntary Self-Disclosures
 * Removal from the Specially Designated Nationals List (or SDN List)

U.S. citizens, as well as those with interests or property which fall under U.S.
jurisdiction, are subject to OFAC sanctions. Therefore, in dealing with
international matters, it is best to proceed with an extra measure of caution.
Obtaining knowledgeable legal counsel from an OFAC lawyer regarding the latest
national security controls imposed by the U.S. Government may be the best way to
avoid possible penalties such as fines, the freezing of assets, or arrest.


OFAC FUNCTIONS

Those engaged in commerce, international business, or trade with blacklisted
countries or targeted persons may be subject to criminal penalties and
administrative actions. Even people conducting personal transactions with family
members, friends, nonprofit organizations, and charities are subject to the
sanctions administered by OFAC. Willful violations of the sanctions can be
prosecuted criminally by the Department of Justice. However, OFAC can hold a
person civilly liable for any violation of the sanctions, including violations
committed innocently or inadvertently. Accordingly, sanctions are commonly
regarded as strict liability offenses.




PROHIBITED TRANSACTIONS

How does one know if what they are doing is prohibited by sanctions? OFAC
maintains a blacklist of targeted persons, entities, and organizations called
the Specially Designated Nationals and Blocked Persons List (commonly referred
to as the SDN List). Moreover, there are some sanctions that apply to entire
nations, regardless if they appear on the SDN List. Due to ever-shifting
government and political interests worldwide, this is a dynamic list that is
constantly changing as new targets are added and more legal authorities are
created by the Congress and President to expand sanctions. For information on
SDN list removal, click that link, or contact an OFAC law firm to learn about
the process of removing a name from the SDN List.

What’s more, is that the prohibitions contained in sanctions are construed very
broadly. They often prohibit virtually all transactions and dealings, including
those performed directly or indirectly. Also prohibited is the facilitation of a
transaction performed on behalf of foreigners if that transaction would be
prohibited if it had been performed by a U.S. person.

(202) 217-1684
Recent Case Results
Previous Next
OFAC Unblocking License Obtained for SDN False Positive Match

Price Benowitz’s OFAC Law Group successfully obtained an OFAC unblocking license
for a client whose personal funds were blocked due to an intermediary financial
institution’s false positive match to the Specially Designated Nationals List.
The client’s name resembled a person on the SDN list and the funds were blocked
due to a lack of timely communication with the bank and related compliance
concerns. A specific license to unblock the funds authorizes the financial
institution to return the funds to our client.

Specific License Granted for Payment from SDN List Client

The OFAC Law Group was granted an OFAC specific license to obtain payment from
an SDN client. The payment structure fell outside of the authorization of the
general license to receive legal fee payments from an SDN person. Law firms must
review the limitations of relevant authorizations to receive payment from SDN
persons. SDN list removal is an extensive and complex process. Lawyers may need
to obtain a specific license from OFAC prior to receiving payment from their
client.

Breaking False Claims Act News: Qui Tam Settlement Reached

While the defendants did not admit any fault, we are happy to report that PAE
agreed to pay the United States $5,000,000 to resolve the False Claims Act
allegations contained in Mr. Palombo’s Complaint.

OFAC Unblocking License Obtained for SDN False Positive Match

Price Benowitz’s OFAC Law Group successfully obtained an OFAC unblocking license
for a client whose personal funds were blocked due to an intermediary financial
institution’s false positive match to the Specially Designated Nationals List.
The client’s name resembled a person on the SDN list and the funds were blocked
due to a lack of timely communication with the bank and related compliance
concerns. A specific license to unblock the funds authorizes the financial
institution to return the funds to our client.

Specific License Granted for Payment from SDN List Client

The OFAC Law Group was granted an OFAC specific license to obtain payment from
an SDN client. The payment structure fell outside of the authorization of the
general license to receive legal fee payments from an SDN person. Law firms must
review the limitations of relevant authorizations to receive payment from SDN
persons. SDN list removal is an extensive and complex process. Lawyers may need
to obtain a specific license from OFAC prior to receiving payment from their
client.

Breaking False Claims Act News: Qui Tam Settlement Reached

While the defendants did not admit any fault, we are happy to report that PAE
agreed to pay the United States $5,000,000 to resolve the False Claims Act
allegations contained in Mr. Palombo’s Complaint.

OFAC Unblocking License Obtained for SDN False Positive Match

Price Benowitz’s OFAC Law Group successfully obtained an OFAC unblocking license
for a client whose personal funds were blocked due to an intermediary financial
institution’s false positive match to the Specially Designated Nationals List.
The client’s name resembled a person on the SDN list and the funds were blocked
due to a lack of timely communication with the bank and related compliance
concerns. A specific license to unblock the funds authorizes the financial
institution to return the funds to our client.

Specific License Granted for Payment from SDN List Client

The OFAC Law Group was granted an OFAC specific license to obtain payment from
an SDN client. The payment structure fell outside of the authorization of the
general license to receive legal fee payments from an SDN person. Law firms must
review the limitations of relevant authorizations to receive payment from SDN
persons. SDN list removal is an extensive and complex process. Lawyers may need
to obtain a specific license from OFAC prior to receiving payment from their
client.

Breaking False Claims Act News: Qui Tam Settlement Reached

While the defendants did not admit any fault, we are happy to report that PAE
agreed to pay the United States $5,000,000 to resolve the False Claims Act
allegations contained in Mr. Palombo’s Complaint.

prev
next



TARGETED FOREIGN COUNTRIES AND REGIMES

Unrest and political uprisings in foreign nations can quickly lead to sanctions
against countries and regimes once deemed suitable for international business
and trade. Foreign business affairs deemed legal one day could be grounds for
legal action the very next day, almost without warning. For instance, as
recently as March of 2014, President Barack Obama signed Executive Order 13660
placing sanctions on those involved in the Ukrainian revolt:

“The actions and policies of persons including persons who have asserted
governmental authority in the Crimean region without the authorization of the
Government of Ukraine that undermine democratic processes and institutions in
Ukraine; threaten its peace, security, stability, sovereignty, and territorial
integrity; and contribute to the misappropriation of its assets, constitute an
unusual and extraordinary threat to the national security and foreign policy of
the United States.”

These individuals and those who support them — and others like them in foreign
nations around the world — are subject to asset freezes and denials of immigrant
and nonimmigrant entrance into the United States. Furthermore, those subject to
U.S. law are prohibited from making contributions of any kind to or from these
persons. U.S. persons are also prohibited from transacting with such persons for
goods and services and prohibited from taking any action which serves to evade
these sanctions.

As with all other OFAC sanctions, the intent behind these statutes, executive
orders, and regulations is to protect national security and maintain an
effective foreign policy. Currently, OFAC sanctions are in place in one form or
another in these foreign countries:

 * South Sudan
 * Sudan
 * Syria
 * Ukraine
 * Venezuela
 * ZImbabwe
 * Burma
 * Cuba
 * Iran
 * Libya
 * North Korea
 * Russia
 * Somalia

Financial dealings with and support of people within these nations may possibly
violate U.S. sanctions. Involvement in activity which is questionable requires a
prompt audit of compliance. Proper licensing and sanctions compliance by an OFAC
lawyer may help to eliminate or limit the risk of OFAC enforcement. An OFAC law
firm or attorney who is well versed in OFAC regulations and U.S. sanctions is
best-suited to help with these endeavors.

What Our Clients Say

I have known Kaveh for over 28 years. He is a man of great integrity and someone
I trust with my confidences, both personal and professional. Kaveh is an
exceptional advocate; he is thoughtful, passionate, and dedicated. Kaveh is a
creative problem solver and someone I can always count on to be in my corner.


-Joshua Weiss

Mr. Miremadi has the great expertise and in depth knowledge of the OFAC license
requirements and their expectations. He is always responsive and provided great
guidance. We highly recommend him for any OFAC related cases.


-David Bazargan

Mohsen Zarkesh is by far the best attorney to work with. He’s clear, attentive,
and will do anything to help his clients.


-Sophia Nassiri

Mr. Zarkesh’s knowledge on OFAC sanctions is extensive. He is willing to put in
the hours to deliver high-quality work, and is very attentive to detail.


-David Najera

Mr. Zarkesh’s knowledge of the law and commitment to service is only surpassed
by his attention to detail and desire to help others. He takes great pride in
his work and the results show it.


-Korosh Karimi

It was a great experience to work with Mr. Krischik. He is very friendly and
helpful. I highly recommend working with him.


-Sina Saed Samii

It is very hard to find a lawyer like Mohsen Zarkesh who prioritizes you over
himself


-Farhad s

Brilliant attorney with a deep understanding of the law, first-rate counselor


-Raj Paul

Mr. Zarkesh did a fantastic job on my mother’s case. He obtained all the
necessary licenses in a very speedy manner and very accurate. Prior to signing
with him, my other attorney in CA did interview him and he highly recommended
him based on his background. Mohsen is very detail oriented and he did a
fantastic job in our case. Will go back to him in a heartbeat if need arises in
the future.


-Faramarz F.

Mohsen Zarkesh is a very determined, professional, and charismatic individual
with a lot of experience in his field. I have full confidence in Mr. Zarkesh’s
competency in helping people, particularly with OFAC sanction-related cases.


-Nasim Ameri

Mohsen has been nothing short of superb. Between his professionalism and
determination, I am confident that he is always capable of exceeding
expectations. His strong work ethic has shown phenomenal results. He is a
strategic thinker and Farsi speaker that possesses valuable knowledge in the
area of OFAC sanctions.


-Scott Rodd

Mr. Zarkesh an incredibly effective attorney/ He has the patience and demeanor
that an OFAC lawyer desperately needs to serve clients in this complex field of
law. He is incredibly knowledgeable and responsive. It’s a huge plus that he
knows Farsi as well!


-Lauleh Aslani

I have known and worked with Mr. Zarkesh for a few years – he is one of the most
knowledgable people when it comes to sanctions related issues. Mohsen’s fluency
in Farsi and his knowledge on US-Iran trade relations sets him apart from others
in the legal field. He is also an honest and hard working person that you can
always trust.


-Nazanin Ramezani

Kaveh Miremadi was a colleague of mine for over three years while I was based in
DC. He is the consummate professional and person of integrity you always want on
your team. In all the complex situations I worked alongside him, he remained
affable and ego-free throughout, a problem-solver with a keen attention to
detail; he is a hard, smart, and good-hearted worker.


-A. Mod

Mohsen and the OFAC Law Group at PriceBenowitz assisted us in obtaining a
specific license from OFAC. He worked diligently with us to review our case and
sanctions law. The license application was excellent and he got us exactly what
we needed.


-Nancy

I have known Kaveh for over 28 years. He is a man of great integrity and someone
I trust with my confidences, both personal and professional. Kaveh is an
exceptional advocate; he is thoughtful, passionate, and dedicated. Kaveh is a
creative problem solver and someone I can always count on to be in my corner.


-Joshua Weiss

Mr. Miremadi has the great expertise and in depth knowledge of the OFAC license
requirements and their expectations. He is always responsive and provided great
guidance. We highly recommend him for any OFAC related cases.


-David Bazargan

Mohsen Zarkesh is by far the best attorney to work with. He’s clear, attentive,
and will do anything to help his clients.


-Sophia Nassiri

Mr. Zarkesh’s knowledge on OFAC sanctions is extensive. He is willing to put in
the hours to deliver high-quality work, and is very attentive to detail.


-David Najera

Mr. Zarkesh’s knowledge of the law and commitment to service is only surpassed
by his attention to detail and desire to help others. He takes great pride in
his work and the results show it.


-Korosh Karimi

It was a great experience to work with Mr. Krischik. He is very friendly and
helpful. I highly recommend working with him.


-Sina Saed Samii

It is very hard to find a lawyer like Mohsen Zarkesh who prioritizes you over
himself


-Farhad s

Brilliant attorney with a deep understanding of the law, first-rate counselor


-Raj Paul

Mr. Zarkesh did a fantastic job on my mother’s case. He obtained all the
necessary licenses in a very speedy manner and very accurate. Prior to signing
with him, my other attorney in CA did interview him and he highly recommended
him based on his background. Mohsen is very detail oriented and he did a
fantastic job in our case. Will go back to him in a heartbeat if need arises in
the future.


-Faramarz F.

Mohsen Zarkesh is a very determined, professional, and charismatic individual
with a lot of experience in his field. I have full confidence in Mr. Zarkesh’s
competency in helping people, particularly with OFAC sanction-related cases.


-Nasim Ameri

Mohsen has been nothing short of superb. Between his professionalism and
determination, I am confident that he is always capable of exceeding
expectations. His strong work ethic has shown phenomenal results. He is a
strategic thinker and Farsi speaker that possesses valuable knowledge in the
area of OFAC sanctions.


-Scott Rodd

Mr. Zarkesh an incredibly effective attorney/ He has the patience and demeanor
that an OFAC lawyer desperately needs to serve clients in this complex field of
law. He is incredibly knowledgeable and responsive. It’s a huge plus that he
knows Farsi as well!


-Lauleh Aslani

I have known and worked with Mr. Zarkesh for a few years – he is one of the most
knowledgable people when it comes to sanctions related issues. Mohsen’s fluency
in Farsi and his knowledge on US-Iran trade relations sets him apart from others
in the legal field. He is also an honest and hard working person that you can
always trust.


-Nazanin Ramezani

Kaveh Miremadi was a colleague of mine for over three years while I was based in
DC. He is the consummate professional and person of integrity you always want on
your team. In all the complex situations I worked alongside him, he remained
affable and ego-free throughout, a problem-solver with a keen attention to
detail; he is a hard, smart, and good-hearted worker.


-A. Mod

Mohsen and the OFAC Law Group at PriceBenowitz assisted us in obtaining a
specific license from OFAC. He worked diligently with us to review our case and
sanctions law. The license application was excellent and he got us exactly what
we needed.


-Nancy

I have known Kaveh for over 28 years. He is a man of great integrity and someone
I trust with my confidences, both personal and professional. Kaveh is an
exceptional advocate; he is thoughtful, passionate, and dedicated. Kaveh is a
creative problem solver and someone I can always count on to be in my corner.


-Joshua Weiss
prev
next

Previous Next


OFAC COMPLIANCE AND SUBPOENAS

With the myriad sanctions and regulations implemented and enforced by OFAC, it
is important to ensure that you or your business does not violate any OFAC
sanctions. Furthermore, in the unfortunate instance that you or your company has
been served an OFAC Administrative Subpoena, it is vital that you provide all
requested documentation and answer OFAC’s questions in a truthful and
straightforward manner.


FREQUENTLY ASKED QUESTIONS

Below is a list of OFAC-related frequently asked questions answered by an OFAC
sanctions attorney
What is OFAC?

OFAC Attorney: OFAC stands for the Office of Foreign Assets Control. It is the
federal agency in the U.S. Department of the Treasury responsible for the
administration, implementation, and enforcement of economic sanctions
programs. The agency works closely with other federal agencies and the
intelligence community to develop sanctions programs that further U.S. foreign
policy and national security objectives.

What does OFAC do?

OFAC Attorney: OFAC is the federal agency responsible for the administration,
implementation, and enforcement of economic sanctions. This means that OFAC
drafts regulations, directives, and executive orders related to economic
sanctions. OFAC also has an enforcement function where it carries out
investigations into possible violations of sanction regulations. The agency also
levies financial penalties and negotiates settlements with those it has
determined have violated its rules. OFAC’s enforcement functions are primarily
carried out by its Compliance Division and its Office of Enforcement. The
Compliance Division focuses on financial institutions and banks, while the
Office of Enforcement carries out enforcement actions against everyone else.
OFAC also has a Licensing Division that evaluates applications submitted by
people and businesses to determine whether otherwise prohibited transactions are
consistent with the U.S. foreign policy and national security objectives.

What is the SDN list?

SDN stands for specially designated national. The Office of Foreign Asset
Control (OFAC) places individuals and entities on this list for national
security, foreign policy, and sanctions policy objectives. If someone is placed
on the list, it means they have been acting against the foreign policy and
sanctions policy of the United States and have effectively been walled off from
the international marketplace, particularly the U.S. financial system. As the
U.S. economy is a major player in the international business market, placement
on the SDN list makes it exceptionally difficult to engage in international
transactions, particularly in U.S. dollars.


PLACEMENT ON AND REMOVAL FROM THE SDN LIST

When OFAC adds an individual or entity to the SDN list, it provides information
explaining the decision. Typically, one can find the reason for the placement on
the SDN list by way of reports that the Department of Treasury puts out at the
time of the designation. It is important to review these issues and address them
in any requests for reconsideration or petition for removal.

To get a name removed from the SDN list, a person or entity must submit a
petition for removal or a request for administrative consideration to OFAC. This
administrative consideration must effectively state and argue that the person or
entity has changed its behavior and will no longer engage in the prohibited
activities. It is also necessary to show that they have divested from any
potentially sanctionable activity after they incurred sanctions liability.
Removal may also be possible if the individual or entity can provide evidence
showing OFAC made an error in judgment in placing them on the SDN list.

After filing the request, OFAC reviews it and typically responds with numerous
questions in an attempt to gain a more complete picture. This may happen several
times. The entire process may take months or even years, depending on the
complexity of the case and OFAC’s timeline.


WHAT IS AN OFAC ADMINISTRATIVE SUBPOENA?

An OFAC administrative subpoena is a legal request from the U.S. government to
answer questions about activities or transactions that may have violated U.S.
sanctions. The administrative subpoena requires an in-depth response to OFAC. At
the time OFAC issues an administrative subpoena, no decision has yet been made
by the government on any civil or criminal penalties involved in a potential
violation of U.S. Sanctions.

Is the SDN list open to the public?

OFAC Attorney: Yes. The SDN list is publicly available so that U.S. persons,
banks, and financial institutions can identify and evaluate whether they are
prohibited from transacting with a particular person. A typical entry on the SDN
list publicly identifies the designated person’s name, aliases, addresses,
citizenship, passport and other identification numbers, and the country of
residence of that person. The list also idicates which specific sanctions
program and legal authorities a particular person was designated under.

Can I get permission to do business with a targeted nation?

Interviewee: Yes, you can. OFAC has the discretion to issue licenses authorizing
U.S. persons to engage in conduct that is otherwise prohibited. Although a
person can technically apply to undertake any kind of transaction, some
sanctions programs contain statements of licensing policy identifying particular
activities that OFAC would be willing to authorize. For example, in the Iran
sanctions context, there is a favorable licensing policy for the sale of
civilian aircraft parts to Iran to improve aircraft safety. There are also
favorable licensing policies for the export of food, medicine, and medical
devices to some of the other sanctioned countries as well.

What is an OFAC subpoena?

OFAC Attorney: An OFAC subpoena is a formal demand from OFAC for records,
documents, and information. The issuance of an OFAC subpoena usually indicates
that the person receiving the subpoena is under investigation by OFAC for
potential violations of sanctions regulations. A person receiving the subpoena
is generally required to comply with the subpoena within 30 days. If 30 days is
not enough time, a person can request additional time to comply with the
subpoena. People should always be aware that any materially false or misleading
statements made to OFAC in response to a subpoena can form the basis of a
separate criminal prosecution for false statements.

OFAC Law Group
Important Links
 * Home
 * Sanctions Programs
 * Blocked Property
 * Privacy Policy
 * FAQs
 * Blog
 * Lawyers
 * فارسی
 * Disclaimer
 * Contact Us

Contact Info

OFAC Lawyer

N/a
For A Consultation Or Questions Call
(202) 217-1684
7AM TO 11PM - MON TO SUN

OFAC Lawyer 409 7th St NW
#15
Washington , DC 20004

Get Directions


OFAC Lawyer




Copyright © OFAC Lawyer, 2024 | All rights reserved.