Author: Morrison & Foerster
Published: December 30th, 2020
CGCC member company Morrison & Foerster recently
released a new client alert titled “New OFAC FAQS Clarifying and Broadening
Sanctions on Chinese Military Companies,” providing readers with key takeaways
from the U.S. Treasury Deparment’s Office of Foreign Assets Control (“OFAC”)
addition of five new “frequently asked questions” relating to the scope of Executive Order (“E.O”) 13959, the basis for
OFAC’s new Chinese Military Companies sanctions program.
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HERE to read the full client alert
For any questions regarding this resource, kindly contact Jiang
Liu JiangLiu@mofo.com