Yesterday, the United States Department of the Treasury’s Office of Foreign Assets Control (“OFAC”) announced that it was issuing two revised general licenses issued under the Venezuela Sanctions Regulations (“VSR”), 31 C.F.R. Part 591, and made conforming changes to two
Ferrari & Associates
Ferrari & Associates is a law firm specializing in U.S. economic sanctions, particularly those administered by the Office of Foreign Assets Control (OFAC). The firm provides expert legal advice and representation on matters such as OFAC compliance, enforcement, licensing, and delisting. Its team includes former OFAC officials and practitioners with deep experience in sanctions law, enabling them to address sanctions risk mitigation and defense comprehensively. Ferrari & Associates serves a diverse clientele worldwide, offering tailored services that integrate sanctions due diligence with risk assessment and advisory work. The firm frequently publishes insights on sanctions developments, compliance strategies, and enforcement trends, focusing on practical legal guidance in the sanctions field.
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OFAC Continues Iran Designations Despite COVID-19 Outbreak
Despite most of the world being in self-quarantine mode to prevent the spread if COVID-19, the United States Department of the Treasury’s Office of Foreign Assets Control (“OFAC”)–as well as the United States Department of State–have continued their work of…
Conviasa: Is OFAC Closing the Cabin Door?
Last week, the United States Department of the Treasury’s Office of Foreign Assets Control (“OFAC”) identified Consorcio Venezuelano de Industrias Aeronauticos y Servicios Aereos, S.A. (“Conviasa”) as blocked due to its being a part of the Government of Venezuela.…
South Sudan Sanctionable
It has been a while since we have posted, but we’re back by popular demand (actually, just one person’s polite request), and will try to begin posting on Sanctionlaw more often in 2020. We start off these renewed efforts by…
Observe and Report: OFAC Issues Reminder on Annual Blocked Property Reports
The United States Department of the Treasury’s Office of Foreign Assets Control (“OFAC”) has been busy over the past few weeks. First, a couple of weeks ago, they issued the amended Reporting, Procedures, and Penalties Regulations, 31 C.F.R. Part 501,…
Common Problem, Uncommon Consequence: The State Street Bank and Trust OFAC Enforcement Matter
Last week, the United States Department of the Treasury’s Office of Foreign Assets Control (“OFAC”) announced the issuance of a Finding of Violation (“FOV”) to State Street Bank and Trust Company (“State Street”) for violations of the Iranian Transactions and…
Framed: OFAC Sets Out Expectations for Compliance with U.S. Sanctions
The Evolution of OFAC General Licenses for Legal Services
The United States Department of the Treasury’s Office of Foreign Assets Control (“OFAC”) has discretion to both specifically license particular transactions, as well as broadly generally authorize–i.e., generally license–whole categories of otherwise prohibited activities when it believes those authorizations…
Three Tips for Filing an OFAC License Application to Unblock Funds
Every day, funds transfers are blocked by U.S. financial institutions and others due a belief that the blocking is necessary for compliance with U.S. economic sanctions regulations administered by the United States Department of the Treasury’s Office of Foreign Assets…

