Overview
On July 15, 2020, the U.S. Department of State updated its public guidance on Section 232 of the Countering America’s Adversaries Through Sanctions Act (“CAATSA”), which authorizes (but does not require) the president to impose sanctions on “a person” that “knowingly” invests in Russian energy export pipelines, or that sells Russia goods, technology or services for such pipelines where certain monetary thresholds are met.
The Department of State announced that the purpose of the updated guidance is “to expand the focus of implementation of Section 232 to address certain growing threats to U.S. national security and foreign policy interests related to Russian energy export pipelines, particularly with respect to Nord Stream 2 and the second line of TurkStream.” This is a significant change, as the prior public guidance stated “The focus of implementation of Section 232 sanctions would be on . . . [Russian] energy export pipeline projects initiated on or after August 2, 2017 . . . For the purposes of Section 232, a project is considered to have been initiated when a contract for the project is signed. Investments and loan agreements made prior to August 2, 2017 would not be subject to Section 232 sanctions.” This prior guidance had suggested that the focus of implementation of Section 232 would not be on Nord Stream 2 or Turkstream (either line), because these projects were “initiated” before August 2, 2017.
The Department of State’s updated guidance indicates that it will not impose sanctions under Section 232 on persons that carried out and completed activities prior to July 15, 2020, as long as those activities were consistent with the public guidance that was in force at the time. In addition, the Department of State will not impose sanctions under Section 232 based on activity that is “ordinarily incident and necessary to the wind down of operations, contracts, or other agreements” in force prior to July 15, 2020, as long as the investments or activities are:
- consistent with the pre-July 15, 2020 guidance;
- executed pursuant to an agreement dated prior to July 15, 2020; and
- “the person making such investments or engaging in such activities is taking reasonable steps to wind down the operations, contracts, or other agreements as soon as possible after July 15, 2020.”