135 … Yes. The new Syria Executive order, Executive Order 13582, does not prohibit U.S. persons from engaging in transactions ordinarily incident to travel to or from any country, including importation of accompanied baggage for personal use, maintenance within any country including payment of… Read more
866 … The Central Bank of Syria (CBoS) is blocked as part of the Government of Syria, as defined in E.O. 13582 of August 17, 2011 and the Syrian Sanctions Regulations (SySR), 31 C.F.R. Part 542 . On December 22, 2020, OFAC identified the CBoS on the Specially Designated Nationals and Blocked… Read more
867 … Yes. The identification of the CBoS on the SDN List does not trigger new prohibitions; existing general and specific licenses under the Syrian Sanctions Regulations (SySR), 31 C.F.R. Part 542, continue to apply as they did previously. U.S. persons may continue engaging with the CBoS in… Read more
868 … As described in FAQ 867 , non-U.S. persons would not risk exposure to sanctions for engaging in humanitarian-related transactions or activity with Polymedics LLC and Letia Company that are exempt from regulation or authorized for U.S. persons by a general license in the Syrian Sanctions… Read more
884 … With respect to non-U.S. persons, OFAC will not consider transactions to be “significant” for the purpose of a sanctions determination under the Caesar Act if U.S. persons would not require a specific license from OFAC to participate in such a transaction. See 31 CFR § 542.414. Accordingly… Read more
1041 … Syria GL 22 is intended to improve the economic conditions in non-regime held areas of northeast and northwest Syria and support ongoing stabilization efforts in the region. This new authorization also builds upon the Administration’s strategy to defeat ISIS in the region. … What is the… Read more
1044 … Yes. Transactions that are ordinarily incident and necessary to give effect to the activities authorized in Syria GL 22 are authorized. Additionally, Syria GL 22 authorizes U.S. financial institutions to process transfers of funds related to authorized transactions and activities. Such… Read more
1042 … No. Syria GL 22 does not remove any sanctions on the Assad regime and excludes transactions involving any person, including the Government of Syria, whose property or interests in property are blocked pursuant to the Syrian Sanctions Regulations or the Caesar Syria Civilian Protection Act… Read more
1045 … For the purposes of Syria GL 22 , the Annex in GL 22 identifies areas of northeast and northwest Syria in which activities described in GL 22 are authorized as of May 12, 2022. Syria GL 22 does not authorize activities involving persons blocked pursuant to the Syrian Sanctions Regulations,… Read more
1043 … Syria GL 22 authorizes certain activities in non-regime held areas of northeast and northwest Syria in the following economic sectors: agriculture; information and telecommunications; power grid infrastructure; construction; finance; clean energy; transportation and warehousing; water and… Read more