Insights: AlertsTreasury and State Department's Response to COVID-19May 18, 2020 Please note: The below information may require updating, including additional clarification, as the COVID-19 pandemic continues to develop. Please monitor our main COVID-19 Task Force page and/or your email for updates. U.S. Dep't of the Treasury's Office of Foreign Assets Control's Response to COVID-19 Compliance Challenges During the Pandemic On April 20, 2020, in response to compliance challenges confronting companies as a result of COVID-19, the U.S. Department of the Treasury's Office of Foreign Assets Control (“OFAC”) published guidance (OFAC Encourages Persons to Communicate OFAC Compliance Concerns Related to COVID-19) that, among other things:
Though not referenced in the guidance, companies that decide to re-allocate resources as a result of COVID-19 (e.g., exporting scarce materials to sanctioned countries as humanitarian assistance) should carefully document its assessment for the necessity of such a shift and address how the resulting re-allocation continues to provide a risk-based approach to sanctions compliance. Maintaining Global Flow of Humanitarian Assistance Understanding the necessity of maintaining a global flow of humanitarian assistance in the face of COVID-19, OFAC issued a Fact Sheet on April 16, 2020, "highlighting the most relevant exemptions, exceptions, and authorizations for humanitarian assistance and trade under OFAC-administered Iran, Venezuela, North Korea, Syria, Cuba, and Ukraine/Russian-related sanctions programs." Given the complex web of OFAC general licenses, specific licenses, exemptions, advisories, and FAQs, OFAC's Fact Sheet is a valuable compilation of the most relevant humanitarian sanctions exceptions, and addresses humanitarian exports of products such as personal protective equipment ("PPE"), including the provision of financial assistance. The Fact Sheet notes that persons interested in exporting PPE from the U.S. need to pay attention to relevant guidance and rules, including a temporary rule issued by the Federal Emergency Management Agency ("FEMA") on April 10, 2020, which prohibits, through August 10, 2020, the export of five types of PPE without FEMA's approval. Relatedly, on February 27, 2020, OFAC issued General License No. 8 (“GL 8”), and related FAQ 821, which authorizes payments and related transactions involving the Central Bank of Iran (which was designated on the Specially Designated Nationals and Blocked Persons list, "SDN list", in September 2019) for exports of food, medicine, and medical devices. GL 8 builds on existing authorizations, which OFAC summarized in FAQ 828, and broadly permits donations and other humanitarian assistance to Iran, as long as it involves only the Central Bank of Iran and not the Government of Iran, other Specially Designated Nationals, or otherwise prohibited parties. U.S. Dep't of State's Response to COVID-19 Related to Certain ITAR Requirements On May 1, 2020, in an effort to mitigate the impact of COVID-19, the U.S. Department of State's Directorate of Defense Trade Controls ("DDTC") announced the temporary suspensions, modifications and exceptions of certain International Traffic in Arms Regulations ("ITAR") requirements. The full text of the COVID-19 measures can be found on the Department of State's website. In summary, however, the temporary changes, which are effective March 13, 2020, include:
Additionally, on March 19, 2020, DDTC issued a notice indicating that "industry is advised of the likelihood of longer than normal processing times due to a reduction in the availability of staff in multiple organizations to renew applications." Many deadlines and obligations under the ITAR remain in full force and ITAR registrants and other parties should remain cognizant of relevant deadlines and other obligations under the ITAR. Related People![]() Mauricio Escobar
mescobar@ktslaw.com |

