Sign up for South Sudan-related Sanctions e-mail updates.
Frequently Asked Questions
OFAC has compiled hundreds of frequently asked questions (FAQs) about its sanctions programs and related policies. The link below sends the user to the entire list of OFAC's FAQs.
OFAC issues interpretive guidance on specific issues related to the sanctions programs it administers. These interpretations of OFAC policy are sometimes published in response to a public request for guidance or may be released proactively by OFAC in order to address a complex topic.
Applying for a Specific OFAC License
It may be in your and the U.S. government’s interest to authorize particular economic activity related to the South Sudan-related Sanctions. Visit the link below to apply for an OFAC license.
Guidance on OFAC Licensing Policy
Certain activities related to the South Sudan-related Sanctions may be allowed if they are licensed by OFAC. Below OFAC has issued guidance and statements on specific licensing policies as they relate to the South Sudan-related Sanctions.
- Licenses for Legal Fees and Costs - Guidance on the Release of Limited Amounts of Blocked Funds for Payment of Legal Fees and Costs Incurred in Challenging the Blocking of U.S. Persons in Administrative or Civil Proceedings
- Entities Owned By Blocked Persons - Guidance On Entities Owned By Persons Whose Property And Interests In Property Are Blocked
Legal Framework for the South Sudan-related Sanctions
The South Sudan-related sanctions program represents the implementation of multiple legal authorities. Some of these authorities are in the form of an executive order issued by the President. Other authorities are public laws (statutes) passed by The Congress.
- 13664 - Blocking Property of Certain Persons with Respect to South Sudan (April 3, 2014)
Code of Federal Regulations
Federal Register Notices
- 79 FR 37190-14 - Final rule adding the South Sudan Sanctions Regulations