General Licenses for Syria, Iran, and Venezuela Offer a Pathway through Sanctions to Address COVID-19 Relief
Latest from OFAC: Issuance of Syria General License 21, Venezuela General License 39, and Iran General License N
The Office of Foreign Assets Control (OFAC) has issued General Licenses (GLs) to permit charities to carry out certain relief activities related to COVID-19 in Syria, Iran, and Venezuela effective June 17, 2021. Specifically, the licenses allow for cross-border transactions involving the distribution and production of vaccines, face masks, ventilators and oxygen tanks, COVID-19 tests, among other related purposes.
Known as COVID-19 GLs, the licenses exemplify US efforts to review current economic sanctions and mitigate their obstruction of global COVID-19 relief efforts. The impetus arises from a pledge by the current administration to evaluate the unintended consequences of economic sanctions. Sanctions can often harm the general population to a greater extent than the political systems they intend to influence, as is the case amid the COVID-19 pandemic in these three countries. With the COVID-19 GLs in place, the social sector, the private sector, and local governments will be better positioned to effectively combat the pandemic and provide much needed aid.
The most recent surge in COVID-19 cases in Syria has crippled local hospitals and overwhelmed a healthcare infrastructure already severely weakened by a protracted civil war. As of early April, 19,000 COVID-19 cases and over 1,200 deaths within the two-thirds of Syria under government control have been recorded, likely an underestimate given a deficiency in testing capacity for asymptomatic cases. While Syria has accepted implementation of the COVAX initiative, which would deliver enough vaccines to inoculate 20 percent of its population, Damascus has already seen delays with vaccines promised to arrive in early April 2021, arriving a month late.
For US relief efforts in the country, Syria General License 21 would authorize the export of all services directly related to COVID-19 relief that would have otherwise been prohibited under Syrian Sanctions. The GL would also enable COVID-19 related transactions involving blocked entities pursuant to the US Department of Commerce’s authorization. However, this GL does not permit the exportation or re-exportation (exporting goods which were previously imported, without alteration) of any goods or services to military, technology, intelligence, or law enforcement purchases or imports. GL 21 also prohibits activities listed in the Syrian Sanctions Regulations (SySR), or by any other part of 31 CFR chapter V, statute, or Executive order, or involving any blocked persons not authorized under this GL.
Now reporting its highest-ever COVID-19 case numbers at 25,000 per day, Iran has become the hardest hit country in the Middle East. Yet, Iranians refer to social distancing as an “unaffordable luxury” due to the need to work under the current economic conditions. The daily death toll has reached 400 while record hospitalizations have climbed to 40,000 and keep rising. Among a population of 85 million citizens, only 500,000 vaccines have been distributed and supplies continue to be limited.
Pursuant to Iran General License N, certain COVID-19 related activities that would have otherwise been prohibited by the Iranian Transactions and Sanctions Regulations (ITSR) are now authorized. These activities include the exportation of goods or technology related to the prevention, diagnosis, and treatment of COVID-19 to Iran, to its government, or to third party countries that are working in Iran or with its government. The exportation and importation of services to Iran or the Government of Iran, and the importation into the United States are also permitted when in direct relation to COVID-19 activities, including research. In addition, certain transactions involving the Central Bank of Iran (CBI) and the National Iranian Oil Company (NIOC) are now authorized, along with specific financial transactions that were prohibited under the ITSR.
However, this GL does not allow for the exportation or re-exportation of goods or technology to CBI, NIOC, or any entity in which NIOC owns, directly or indirectly, a 50 percent or greater interest. This GL also prohibits the exportation or re-exportation of any goods, technology, or services to military, intelligence, or law enforcement purchasers or importers.
Deeply immersed within the crisis, South America has recorded some of the highest COVID-19 mortality rates of any continent. In the case of Venezuela, its healthcare system was already struggling prior to the pandemic and the Venzuelan National Academy of Medicine estimates that at current vaccination rates, it will take a full decade to inoculate the population.
Venezuelan General License 39 has authorized all transactions and activities related to the prevention, diagnosis, and treatment of COVID-19 through June 17, 2022. The GL also permits COVID-19 related transactions involving certain banks (see “Venezuela Sanctions Regulations 31 CFR part 591 GENERAL LICENSE NO. 39” on OFAC’s website for a list of authorized banks). Similar to Iran and Syria, the GL does not authorize the exportation or reexportation of any goods, technology, or services to military, intelligence, or law enforcement purchasers or importers, nor does it allow any transactions involving Banco de Desarrollo Economico y Social de Venezuela (BANDES), Banco Bandes Uruguay S.A. (Bandes Uruguay), or Petróleos de Venezuela, S.A. (PdVSA), or an entity in which any of the aforementioned three owns a 50 percent or greater interest.
OFAC is now encouraging individuals and entities with the ability to provide COVID-19 related aid and humanitarian assistance to Syria, Iran, and Venezuela to do so until the expiration of the GLs on June 17, 2022. These licenses provide an opportunity for donors to support regions critically in need, and it is important that these countries are considered within global COVID-19 relief initiatives. For interested donors, be sure to check with your financial institution about the General Licenses and their ability to process grants into these sanctioned nations. CAF America is also able to assist with your grantmaking into these countries, following the guidelines of these OFAC General Licenses. Please contact your fund manager or email us at email@example.com for further information. Visit the Office of Foreign Assets Control website for further details.