Overview
There are thousands of OFAC “Specially Designated Nationals.” The plurality, arguably, are designated because of a connection to Iran. These SDNs generally are treated as pariahs . . . shut off from commercial dealings not only by the United States but throughout the world, because the US government has threatened to blacklist anyone who deals with these SDNs – imposing so-called “secondary sanctions” on those who dare.
What is the effect of the Iran deal (the JCPOA) on these radioactive SDNs? The answer won’t be clear until OFAC implements US obligations under the JCPOA, which could be sometime late this year or early 2016. But let's look at the JCPOA text, and see what is in store for the population of SDNs fortunate enough to be featured in the JCPOA.
One JCPOA annex (Annex II, Attachment 3) lists over 400 SDNs that will receive some sanctions relief early on (which means probably early next year, though the exact timing is uncertain), assuming the IAEA verifies Iran’s compliance with its nuclear-related commitments. The SDNs in Attachment 3 are designated under one or more of the following OFAC programs, with program “tags” indicated in brackets:
- Foreign Sanctions Evaders - Iran [FSE-IR]
- Iran Freedom and Counter-Proliferation Act [IFCA]
- Iranian Financial Sanctions Regulations [IFSR]
- Iranian Transactions and Sanctions Regulations [IRAN]
- Iran Threat Reduction and Syria Human Rights Act [IRAN-TRA]
- Iran Sanctions Act [ISA]
- Weapons of Mass Destruction Proliferators Sanctions Regulations [NPWMD]
- Executive Order 13622 [EO13622]
- Executive Order 13645 [EO13645]