The United States, the European Union and the United Kingdom, along with a number of other jurisdictions, have responded to the ongoing military conflict in Ukraine by adopting new, additional and/or enhanced economic sanctions, trade restrictions and other restrictive measures targeting, in different ways, Russia, Belarus, and the so-called Donetsk People’s Republic and Luhansk People’s Republic, which Russia has purported to recognize as independent states. Russia, in turn, has responded to these restrictive measures by adopting its own countermeasures and related regulations affecting, for example, certain dealings involving non-Russians in Russia.
Continue Reading Sanctions Developments Resulting From the Conflict in Ukraine
Chase D. Kaniecki
Chase Kaniecki’s practice focuses on international trade and national security matters, including CFIUS and global foreign direct investment, economic sanctions, export controls, customs, and trade remedies.
Support for “Reverse CFIUS” Outbound Investment Screening Regime Grows
U.S. Secretary of Commerce Gina Raimondo recently expressed support for a screening regime to review outbound investments.[1] This, as well as similar statements from the White House and the passage of legislation calling for such a process earlier this year, signals that certain outbound investments could be subject to U.S. regulatory review and approval in the near future.[2]
Continue Reading Support for “Reverse CFIUS” Outbound Investment Screening Regime Grows
Authorities in U.S. Take Steps to Strengthen Enforcement of U.S. Measures Against Russia
U.S. federal and state authorities recently announced actions that are designed to give effect to economic measures taken against Russia and hold accountable those who violate U.S. laws. These developments suggest that U.S. authorities’ focus on enforcing U.S. sanctions and export controls, anticorruption and anti-money laundering laws, and the growing scrutiny of cryptocurrency, will continue. They also point to further coordination and cooperation between authorities in the U.S. and other jurisdictions in investigating and prosecuting violations of their respective laws.
Continue Reading Authorities in U.S. Take Steps to Strengthen Enforcement of U.S. Measures Against Russia
Updates to the Critical and Emerging Technologies List Signal Additional Areas of Focus
The U.S. National Science and Technology Council (NSTC)[1] recently published an updated list of critical and emerging technologies (CETs) as part of an ongoing effort to identify advanced technologies that are potentially significant to U.S. national security.
Continue Reading Updates to the Critical and Emerging Technologies List Signal Additional Areas of Focus
United Kingdom Broadens Scope of Potential Russian Sanctions Targets
On February 10, 2022, the United Kingdom published new legislation (the “Amendment”) significantly expanding the scope of targets on which the UK government may impose sanctions relating to Russia.[1] The Amendment, which was issued in response to the current situation in Ukraine and takes immediate effect, broadens the designation criteria of the existing Russia (Sanctions) (EU Exit) Regulations 2019.[2] Whereas the existing provisions were limited to persons directly engaged in activities relating to the “destabilisation” of Ukraine,[3] the Amendment further authorizes sanctions against:
- any “Government of Russia-affiliated entity,” defined as entities:
- directly or indirectly owned or controlled by the Russian government;
- in which the Russian government directly or indirectly holds a minority interest;
- that receive or have received financing directly or indirectly from the Russian Direct Investment Fund or the National Wealth Fund; or
- which “otherwise obtain a financial benefit or other material benefit” from the Russian government;
- individuals or entities carrying on business of “economic significance” (which is not further defined) to the Russian government;
- individuals or entities carrying on business in a sector of “strategic significance” to the Russian government, defined as the Russian chemicals, construction, defence, electronics, energy, extractives, financial services, information, communications and digital technology, and transport sectors; and
- individuals or entities that directly or indirectly own or control or work as a director (whether executive or non-executive), trustee, or equivalent of any entity in the above categories.
As before, sanctions imposed under the United Kingdom’s Russia sanctions program include an asset freeze, travel ban (for individuals), prohibition on making funds or economic resources available to or for the benefit of the designated party, and prohibition on dealing with funds or economic resources of the designated party (as well as entities owned or controlled by the designated party).Continue Reading United Kingdom Broadens Scope of Potential Russian Sanctions Targets
Lexology Getting the Deal Through: Foreign Investment Review 2022
Cleary Gottlieb partner Chase Kanieki and associates William Dawley and Pete Young co-authored the United States chapter in Lexology Getting the Deal Through: Foreign Investment Review 2022.
Continue Reading Lexology Getting the Deal Through: Foreign Investment Review 2022
Economic Sanctions: Developments and Considerations
U.S. sanctions policy in the first year of the Biden administration saw both change and continuity. As expected, the administration sought to cooperate with allies to impose multilateral (rather than unilateral) sanctions, focused on human rights abuses and opened the door for a new nuclear deal with Iran. At the same time, the administration continued to focus on virtual currencies and on combating illicit cyber activities relating to ransomware, and clarified (and in some respects expanded) sanctions issued under the Trump administration targeting Chinese companies deemed to be part of the Chinese military-industrial complex.
Continue Reading Economic Sanctions: Developments and Considerations
Australia and Canada Remain CFIUS Excepted Foreign States; United Kingdom and New Zealand Have Until February 2023 to Fulfill Criteria Necessary to Keep Designations
On January 5, 2022, the U.S. Department of the Treasury, as Chair of the Committee on Foreign Investment in the United States (“CFIUS”), determined that Australia and Canada have established and are effectively utilizing robust processes to analyze foreign investments for national security risks and facilitate coordination with the United States on matters relating to investment security. As a result, Australia and Canada are and will remain “excepted foreign states” for CFIUS purposes unless and until the U.S. Government deems otherwise.[1] The United Kingdom and New Zealand, both of which also currently are treated as excepted foreign states,[2] have until February 2023 to fulfill the criteria necessary to remain excepted foreign states. It is possible that additional countries may be designated in the future as the global foreign direct investment (“FDI”) trend, particularly in U.S. ally countries, continues.
Continue Reading Australia and Canada Remain CFIUS Excepted Foreign States; United Kingdom and New Zealand Have Until February 2023 to Fulfill Criteria Necessary to Keep Designations
OFAC Imposes Sanctions on Belarusian Sovereign Debt, Announces New Designations
On December 2, 2021, the U.S. Department of the Treasury, Office of Foreign Assets Control (“OFAC”) issued a new directive (Directive 1) prohibiting with immediate effect U.S. persons from transacting or participating in the primary and secondary markets of new Belarusian sovereign debt, in any denomination, with a maturity of greater than 90 days.[1] In coordination with the European Union, United Kingdom, and Canada, OFAC also designated over 30 individuals and entities determined to have contributed to “ongoing attacks on democracy, human rights, and international norms” on the list of Specially Designated Nationals and Blocked Persons (“SDN List”) and issued General License No. 5, authorizing transactions and activities ordinarily incident and necessary to the wind down of transactions involving newly sanctioned Open Joint Stock Company Belarusian Potash Company or Agrorozkvit LLC, or any of their subsidiaries, until April 1, 2022.[2]
Continue Reading OFAC Imposes Sanctions on Belarusian Sovereign Debt, Announces New Designations
OFAC Ramps up Targeting of Ransomware-linked Actors and FinCEN Updates Ransomware Advisory
On November 8, 2021, the U.S. Department of the Treasury, Office of Foreign Assets Control (OFAC) designated a virtual currency exchange, Chatex, and its infrastructure support providers on the list of Specially Designated Nationals and Blocked Persons (SDN List) for their role in facilitating financial transactions for ransomware actors.[i] The Financial Crimes Enforcement Network (FinCEN) also released an updated advisory on ransomware and the use of the financial system to facilitate ransomware payments.[ii] These actions were taken in furtherance of a coordinated “whole-of-government” effort to disrupt criminal ransomware actors and the virtual currency exchanges used to launder ransom payments around the world.
Continue Reading OFAC Ramps up Targeting of Ransomware-linked Actors and FinCEN Updates Ransomware Advisory