Will the provision of bunkering services to a non-Iranian vessel carrying sanctionable goods to or from Iran be subject to sanctions? financial institutions) or U.S.-owned or -controlled foreign entities, and (2) the transaction does not involve persons on OFAC’s List of Specially Designated Nationals and Blocked Persons (SDN List) that have been designated in connection with Iran’s support for international terrorism or proliferation of weapons of mass destruction, including designated Iranian financial institutions or the Islamic Revolutionary Guard Corps (IRGC), or activity that is subject to other sanctions authorities. financial institutions) or U.S.-owned or -controlled foreign entities, or the transaction is exempt from OFAC regulation or authorized by OFAC if it does involve U.S. If a non-Iranian vessel is transporting non-sanctionable goods to or from Iran, the bunkering of that non-Iranian vessel in a country other than Iran - and related payments for these bunkering services - will not be subject to sanctions, only if (1) the transaction either does not involve U.S. Will the provision of bunkering services to a non-Iranian vessel carrying non-sanctionable goods to or from Iran be subject to sanctions? Department for Business Innovation & SkillsĢ96.Department of International Relations and Cooperation.Embassy of Saudi Arabia in the United States.ROSATOM State Nuclear Energy Corporation.Office of the Press Secretary to the President.Ministry of Information and Broadcasting.Department of Foreign Affairs and International Trade.Department of Foreign Affairs and Trade.New York State Office of the State Comptroller.New York State Department of Financial Services.New York County District Attorney's Office.Permanent Mission to the United Nations.Atomic Energy Organization of Iran (AEOI). North Atlantic Treaty Organization (NATO).
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