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More War by Other Means: Sanctioning the Wife of Syria s President Makes No Sense to Anyone — Strategic Culture

© Photo: REUTERS/SANA/Handout More sanctions, by all means. More grief and suffering and more people around the world wondering what exactly the United States is doing. I am a recipient of regular, usual weekly, emails from the Department of the Treasury providing an “Update to OFAC’s list of Specially Designated Nationals (SDN) and Blocked Persons.” OFAC is the Office of Foreign Assets Control, which is tasked with both identifying and managing the financial punishments meted out to those individuals and groups that have been sanctioned by the United States government. A recent update, on November 10 th, included “Non-Proliferation Designations; Iran-related Designations.” There were ten items on the list, names of Chinese and Iranian individuals and companies. Those who are “Specially Designated” on the list are subject to having their assets blocked if located in the United States and are also not allowed to engage in any financial transactions that go through U.

Commerce Adds Seventy‑Seven Parties To Export Blacklist - International Law

To print this article, all you need is to be registered or login on Mondaq.com. December 18, 2020 – On December 18, 2020, the U.S. Department of Commerce, Bureau of Industry and Security ( BIS ) released a final rule that would add 77 new entities, including Semiconductor Manufacturing International Corporation Incorporated ( SMIC ), to the Entity List. All of the newly added entities are subject to a license requirement for all items subject to the Export Administration Regulations ( EAR ), even though some entities are subject to different license review policies. Consistent with BIS s clarification of the Entity List licensing requirements from earlier this year, the license requirement will apply whenever any

CBP Intensifies Focus on Forced Labor Practices in China | Faegre Drinker Biddle & Reath LLP

To embed, copy and paste the code into your website or blog: On December 2, 2020, U.S. Customs and Border Protection (CBP) issued an order blocking all imports of cotton and cotton products from Xinjiang Production and Construction Corps (XPCC), a Chinese state-owned company operating in the Xinjiang Uighur Autonomous Region. The impact of the order, intended to combat the alleged use of forced labor of ethnic Uighur Muslims, is potentially sweeping as, by some estimates, XPCC produces 7% of the world’s cotton. This is CBP’s sixth enforcement action in three months targeting goods from China’s Xinjiang region, underscoring not only Washington’s heightened focus on this issue, but also the need for U.S. importers to carefully review (and potentially reassess) their supply chains moving forward.

CBP Focuses on China Forced Labor Practices

Thursday, December 17, 2020 On December 2, 2020, U.S. Customs and Border Protection (CBP) issued an order blocking all imports of cotton and cotton products from Xinjiang Production and Construction Corps (XPCC), a Chinese state-owned company operating in the Xinjiang Uighur Autonomous Region. The impact of the order, intended to combat the alleged use of forced labor of ethnic Uighur Muslims, is potentially sweeping as, by some estimates, XPCC produces 7% of the world’s cotton. This is CBP’s sixth enforcement action in three months targeting goods from China’s Xinjiang region, underscoring not only Washington’s heightened focus on this issue, but also the need for U.S. importers to carefully review (and potentially reassess) their supply chains moving forward.

Court Rulings Reinforce Limitations on Sweeping Executive Orders Based on IEEPA | Hogan Lovells

To embed, copy and paste the code into your website or blog: Recent court rulings enjoining enforcement of the Trump Administration’s Executive Order (“EO”) targeting TikTok show signs of curbing the sweeping powers of the International Emergency Economic Powers Act (“IEEPA”), which arguably sits at the center of the modern U.S. sanctions and export control regimes. Separate statutory constraints with respect to restrictions on sales of agricultural commodities, food, medicine, and medical supplies could also potentially limit the impact of the designation of the Xinjiang Production and Construction Corps (“XPCC”). While Presidents have often turned to IEEPA to impose economic sanctions in furtherance of U.S. foreign policy and national security objectives, the Trump administration’s reliance on IEEPA authority for its TikTok EO appears to be having a rough time getting past the courts. Similarly, the impact of the Trump Administration’s designation of XPCC as a S

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