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On January 28, 2019, the US Department of the Treasury’s Office of Foreign Assets Control (“OFAC”) announced the designation of Venezuelan state-owned oil producer Petroleos de Venezuela, S.A. (PdVSA) as a Specially Designated National ("SDN"), which follows the White House's earlier announcement recognizing Venezuelan National Assembly President Juan Guaidó as the Interim President of Venezuela. The sanctions are significant because PdVSA has a monopoly in the Venezuelan oil sector and contributes significantly to Venezuela's foreign trade income. Concurrent with the designation announcement, OFAC also issued a number of general licenses that authorize a range of activities involving PdVSA and its subsidiaries.
The designation was imposed under Executive Order 13850, which broadly authorizes OFAC to designate persons "operating in" any sector of the Venezuelan economy which is identified by the Treasury Secretary and the Secretary of State as a basis for sanctions. Concurrently with the designation of PdVSA, the Venezuelan oil industry was designated as such a sector.
The immediate effect of the sanctions is to prohibit US persons from virtually all dealings with PdVSA and any entity 50% or more owned, directly or indirectly, by PdVSA (collectively, "Blocked PdVSA Entities"). This will also mean that transactions with Blocked PdVSA Entities cannot be denominated in USD. All property and interests in property that are in the US or come within the possession or control of any US persons of Blocked PdVSA Entities must be blocked (i.e. frozen). Previously, the US had only imposed limited, capital markets-oriented restrictions on dealings with PdVSA.
OFAC also issued eight general licenses for US persons to carry out some limited activities involving certain Blocked PdVSA Entities. The primary intent of most of the licenses is to allow US persons to wind down activities with Blocked PdVSA Entities.
Companies that have current arrangements with any Blocked PdVSA Entity should examine carefully whether, and to what extent, they can utilize the various authorizations provided under these General Licenses, and should evaluate the impact of PdVSA's designation on any pre-sanctions arrangements.
Based on OFAC's announcement and the general licenses, it is possible that the US government may revisit the blocking sanctions on a temporary basis once the political turmoil in Venezuela has been resolved. Companies doing business in, or with, Venezuela should continue to monitor US sanctions closely.
The New York office of Herbert Smith Freehills has handled a wide range of matters related to the various US sanctions programs and stands ready to assist businesses seeking sanctions-related advice.
The contents of this publication are for reference purposes only and may not be current as at the date of accessing this publication. They do not constitute legal advice and should not be relied upon as such. Specific legal advice about your specific circumstances should always be sought separately before taking any action based on this publication.
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