FAC- No. C-138526 - Letter from R. Newcomb (OFAC) to J. Kavulich re Indirect Financing

Date issued: Mar. 04 1994

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TURBOFAC Commentary (827 words)

Notes:

1) Refer to General Note on "Indirect Financing," or Investments in Third Country Companies that do Business with Sanctioned Parties, where this guidance is discussed alongside others addressing the same general set of issues.

[UPDATE See key Case No. MUL-2013-304318-1 and comments thereto building on this letter. The below has not been updated to reflect the addition of Case No. MUL-2013-304318-1 to the Research System].

2) Read in conjunction with excerpt of Business Insights: Cuba, Can Individuals in the United States Invest in Cuba Today? Fox Rothschild, LLP. December, 2014, and comments thereto, in which a practitioner reports on OFAC's interpretation of the issues discussed in the guidance letter. The guidance appears to remain valid in the CACR context, and reflects OFAC's consistent practice in the context of other sanctions programs as well. Compare...