
Sign up to save your podcasts
Or


The Department of Treasury's Office of Foreign Asset Control (OFAC) recently settled a long-active enforcement action with Epsilon relating to alleged violations of the Iran Sanctions Program. After a mixed decision from the US Court of Appeals for the District of Columbia Circuit, OFAC negotiated a $1.5 settlement for 39 violations of the Iran Sanctions Program. Along the way, however, OFAC secured favorable rulings affirming application of its broad prohibition against third-party conduct where a company knows or has "reason to know" that a shipment intended to a third party may be shipped to a prohibited party.
In this episode, Michael Volkov discusses the Epsilon case and the implications for third party risks in sanctions cases.
By Michael Volkov4.9
4242 ratings
The Department of Treasury's Office of Foreign Asset Control (OFAC) recently settled a long-active enforcement action with Epsilon relating to alleged violations of the Iran Sanctions Program. After a mixed decision from the US Court of Appeals for the District of Columbia Circuit, OFAC negotiated a $1.5 settlement for 39 violations of the Iran Sanctions Program. Along the way, however, OFAC secured favorable rulings affirming application of its broad prohibition against third-party conduct where a company knows or has "reason to know" that a shipment intended to a third party may be shipped to a prohibited party.
In this episode, Michael Volkov discusses the Epsilon case and the implications for third party risks in sanctions cases.

27,068 Listeners

3,508 Listeners

4,373 Listeners

21 Listeners

112,225 Listeners

56,639 Listeners

15 Listeners

16 Listeners

17 Listeners

56 Listeners

2,549 Listeners

12 Listeners

5,790 Listeners

16,339 Listeners

7,010 Listeners