OFAC FAQ (Current) # 914 -Venezuela GL 40

Date issued: Jul. 12 2021

TURBOFAC Commentary (114 words)

Notes:

1) This FAQ continues OFAC's recent trend of explicitly stating that transactions authorized for U.S. persons are not transactions that could result in the imposition of sanctions on non-U.S. persons. While not putting it in these explicit terms, the FAQ means that, for example, OFAC will not consider a person exporting liquified petroleum gas to PDVSA to be a person that "materially assists" PDVSA or otherwise "operates in" the Venezuelan oil sector. Both of those are activities that could, theoretically, result in a "derivative designation" pursuant to EO 13850.

Refer generally to General Note on "Counterfactual Secondary Sanctions and Derivative Designation Safe Harbors" in Certain OFAC Guidance and FAQs (System Ed. Note).