I received this notice from someone at the White House earlier today (links not active):
[*1] See in particular IFSR section 561.203(g) and Note 2 to IFSR section 561.203.
See also Question 314 on the list of Frequently Asked Questions posted on OFAC’s Web site
U.S. Treasury Department
Office of Public Affairs
Office of Public Affairs
FOR IMMEDIATE RELEASE: July 25, 2013
CONTACT: John Sullivan, Treasury Public Affairs (202) 622-2960
TREASURY
EXPANDS LIST OF BASIC MEDICAL SUPPLIES AUTHORIZED FOR EXPORT TO IRAN
AND FURTHER CLARIFIES EXPORT AND FINANCING MECHANISMS AVAILABLE FOR
HUMANITARIAN GOODS
WASHINGTON –
Today, the U.S. Department of the Treasury took actions to reinforce
longstanding U.S. Government efforts to ensure that our extensive
economic and financial sanctions on Iran – adopted
to encourage Iran to comply with its international obligations – do not
impede Iran’s humanitarian imports. Treasury’s Office of Foreign Assets
Control (OFAC) expanded the list of basic medical supplies authorized
for export or reexport to Iran under an existing
general license by adding hundreds of items; OFAC had previously issued
specific licenses authorizing the export or reexport of these items.
OFAC also issued further clarifying guidance on existing broad
authorizations and exceptions applicable to the sale
of food, agricultural commodities, medicine, and medical devices by
non-U.S. persons to Iran.
“Today’s action to expand
the general license for the export of medical devices to Iran reflects
an important element of our sanctions policy. Even as we continue to
implement and enforce our rigorous sanctions regime
against Iran, we are committed to safeguarding legitimate humanitarian
trade,” said Under Secretary for Terrorism and Financial Intelligence
David S. Cohen.
In today’s action, OFAC
expanded the list of basic medical supplies authorized for export or
reexport under an existing general license, originally issued in October
2012, to encompass a broad range of medical supplies
and devices, including electrocardiography machines (EKGs),
electroencephalography machines (EEGs), and dialysis machines, along
with other types of equipment that are used by hospitals, clinics, and
medical facilities in Iran. These items, which were previously
eligible for specific licensing from OFAC, can now be exported without
prior approval from OFAC. Exporters are also still encouraged to apply
for specific licenses for medical devices that may not be included in
today’s expanded list.
Even as the U.S. and
international sanctions have tightened, the Treasury and State
Departments have had extensive discussions with foreign pharmaceutical
and medical supply companies that sell, export, and get paid
for exports to Iran, as well as the foreign financial institutions
involved in those transactions, to ensure that the exemptions from our
sanctions are understood. Medicine and medical supply exporters
reporting barriers to trade have repeatedly pointed to
obstacles placed by the Government of Iran, including the Central Bank
of Iran’s failing to allocate sufficient foreign currency. The Central
Bank of Iran has access to sufficient foreign currency funds outside of
Iran – which are otherwise usable only to
fund bilateral trade – to finance the import of medicines and medical
equipment.
As OFAC has made clear in
its Clarifying Guidance: Humanitarian Assistance and Related Exports to
the Iranian People, issued on February 6, 2013, and in the Iranian
Financial Sanctions Regulations (31 C.F.R. part
561) (IFSR) [*1], foreign financial institutions may process
transactions for the purchase of humanitarian goods including, food,
agricultural commodities, medicine, and medical devices, using funds in
Central Bank of Iran accounts without being subject to
U.S. sanctions. Today’s Guidance on Sales of Food, Agricultural
Commodities, Medicine, and Medical Devices to Iran is meant to ensure
that all parties to these transactions fully understand the broad
humanitarian allowances embedded in our sanctions laws.
For a link to the expanded List of Basic Medical Supplies authorized for export or reexport to Iran issued today click
here
For a link to OFAC’s Guidance on Sales of Food, Agricultural Commodities, Medicine, and Medical Devices to Iran click
here
For a link to OFAC’s Clarifying Guidance: Humanitarian Assistance and Related Exports to the Iranian People click
here
For a link to OFAC’s Iranian Financial Sanctions Regulations click
here
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