Anonymous ID: e50cae May 8, 2018, 4:49 p.m. No.1342117   🗄️.is 🔗kun

>>1341636

1.3. Which sanctions will be re-imposed after the 180-day wind-down period ending

on

November 4, 2018?=

Following the 180-day wind-down period ending on November 4, 2018, the U.S.

government will re-impose the following sanctions that were lifted pursuant to the

JCPOA, including sanctions on associated services related to the activities below:

i. Sanctions on Iran’s port operators, and shipping and shipbuilding sectors,

including on the Islamic Republic of Iran Shipping Lines (IRISL), South Shipping

Line Iran, or their affiliates;

ii. Sanctions on petroleum-related transactions with, among others, the National

Iranian Oil Company (NIOC), Naftiran Intertrade Company (NICO), and National

Iranian Tanker Company (NITC), including the purchase of petroleum, petroleum

products, or petrochemical products from Iran;

iii. Sanctions on transactions by foreign financial institutions with the Central Bank

of Iran and designated Iranian financial institutions under Section 1245 of the

National Defense Authorization Act for Fiscal Year 2012 (NDAA);

iv. Sanctions on the provision of specialized financial messaging services to the

Central Bank of Iran and Iranian financial institutions described in Section

104(c)(2)(E)(ii) of the Comprehensive Iran Sanctions and Divestment Act of 2010

(CISADA);

v. Sanctions on the provision of underwriting services, insurance, or reinsurance;

and

vi. Sanctions on Iran’s energy sector.

In addition, effective November 5, 2018, the U.S. government will revoke the

authorization for U.S.-owned or -controlled foreign entities to wind down certain

activities with the Government of Iran or persons subject to the jurisdiction of the

Government of Iran that were previously authorized pursuant to General License H. (See

FAQ 4.4. below).

Furthermore, no later than November 5, 2018, the U.S. government will re-impose, as

appropriate, the sanctions that applied to persons removed from the List of Specially

Designated Nationals and Blocked Persons (SDN List) and/or other lists maintained by

the U.S. government on January 16, 2016.

Persons engaging in the activity listed above undertaken pursuant to the U.S. sanctions

relief provided for in the JCPOA should take the steps necessary to wind down those

activities by November 4, 2018, to avoid exposure to sanctions or an enforcement action

under U.S. law. (See FAQ 2.1. below for a description of activities that would not be

prohibited or sanctionable during the wind-down period.) [05-08-2018]