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Screening Customers Against OFAC Sanctions Lists

Screening Customers Against OFAC Sanctions Lists

When running a business in the United States, it is important to screen customers against sanctions lists published by the Office of Foreign Assets Control (OFAC). Failure to comply with OFAC regulations can result in hefty fines or even criminal penalties. This article will explain what OFAC is, provide an overview of OFAC sanctions lists, discuss best practices for screening customers, and outline potential penalties for non-compliance.

What is OFAC?

OFAC is an office within the United States Department of the Treasury that administers and enforces economic and trade sanctions. OFAC acts under presidential national emergency powers and various legislation to impose controls on transactions and freeze assets under U.S. jurisdiction. Most OFAC sanctions are based on U.S. foreign policy and national security goals against targeted foreign countries, terrorists, international narcotics traffickers, and those engaged in activities related to the proliferation of weapons of mass destruction. OFAC sanctions can also be used to comply with United Nations Security Council Resolutions.

OFAC publishes a number of different sanctions lists that businesses should screen customers against to ensure compliance. Failing to comply with OFAC regulations can bring severe consequences, including civil penalties and criminal prosecution.

OFAC Sanctions Lists

There are several different OFAC sanctions lists that businesses should be aware of:

  • Specially Designated Nationals (SDN) List: This list includes individuals and companies owned or controlled by, or acting for or on behalf of, targeted countries. It also lists individuals, groups, and entities, such as terrorists and narcotics traffickers designated under programs that are not country-specific.
  • Sectoral Sanctions Identifications (SSI) List: This list includes individuals and companies operating in the Russian economy identified by OFAC as subject to limited sanctions.
  • Foreign Sanctions Evaders (FSE) List: This list includes foreign individuals and entities determined to have violated, attempted to violate, conspired to violate, or caused a violation of U.S. sanctions on Syria or Iran.
  • Non-SDN Lists: These lists include individuals and entities subject to limited sanctions, such as the Cuban Restricted List and Non-SDN Palestinian Legislative Council List.
  • Consolidated Sanctions List: A compilation of all individuals and companies subject to U.S. financial sanctions.

Screening customers against these lists is not optional – it is required by U.S. law. Any U.S. citizens, banks, or companies found to be doing business with individuals or entities on these lists can face civil or criminal penalties.

Best Practices for OFAC Screening

Here are some best practices businesses should follow when screening customers against OFAC lists:

  • Screen customers against OFAC lists at onboarding and periodically afterwards. Do not wait until a transaction occurs to screen.
  • Use OFAC’s free Sanctions List Search tool or invest in software to automate screening.
  • Screen customer names in all relevant formats – for example, for individuals screen against first/last, last/first, and full name.
  • Screen customers against OFAC’s lists of blocked countries and regions.
  • Investigate potential name matches thoroughly before determining a customer to be a positive match.
  • Document all screening procedures and results.
  • Implement a risk-based approach, with extra precautions for high-risk customers.
  • Train staff regularly on OFAC compliance procedures.
  • Implement an audit process to check OFAC compliance procedures are being followed.

Automating the screening process through the use of software is highly recommended, as it makes screening more efficient and reduces the risk of human error. OFAC specifically states that its free Sanctions List Search tool should only be used for manual searches, not automated screening.

Christine Twomey
Christine Twomey
2024-03-21
Just had my Divorce case settled 2 months ago after having a horrible experience with another firm. I couldn’t be happier with Claire Banks and Elizabeth Garvey with their outstanding professionalism in doing so with Spodek Law Group. Any time I needed questions answered they were always prompt in doing so with all my uncertainties after 30 yrs of marriage.I feel from the bottom of my heart you will NOT be disappointed with either one. Thanks a million.
Brendan huisman
Brendan huisman
2024-03-18
Alex Zhik contacted me almost immediately when I reached out to Spodek for a consultation and was able to effectively communicate the path forward/consequences of my legal issue. I immediately agreed to hire Alex for his services and did not regret my choice. He was able to cover my case in court (with 1 day notice) and not only was he able to push my case down, he carefully negotiated a dismissal of the charge altogether. I highly recommend Spodek, and more specifically, Alex Zhik for all of your legal issues. Thanks guys!
Guerline Menard
Guerline Menard
2024-03-18
Thanks again Spodek law firm, particularly Esq Claire Banks who stood right there with us up to the finish line. Attached photos taken right outside of the court building and the smile on our faces represented victory, a breath of fresh air and satisfaction. We are very happy that this is over and we can move on with our lives. Thanks Spodek law 🙏🏼🙏🏼🙏🏼🙏🏼🙌🏼❤️
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Keisha Parris
2024-03-15
Believe every single review here about Alex Z!! From our initial consultation, it was evident that Alex possessed a profound understanding of criminal law and a fierce dedication to his clients rights. Throughout the entirety of my case, Alex exhibited unparalleled professionalism and unwavering commitment. What sets Alex apart is not only his legal expertise but also his genuine compassion for his clients. He took the time to thoroughly explain my case, alleviating any concerns I had along the way. His exact words were “I’m not worried about it”. His unwavering support and guidance were invaluable throughout the entire process. I am immensely grateful for Alex's exceptional legal representation and wholeheartedly recommend his services to anyone in need of a skilled criminal defense attorney. Alex Z is not just a lawyer; he is a beacon of hope for those navigating the complexities of the legal system. If you find yourself in need of a dedicated and competent legal advocate, look no further than Alex Z.
Taïko Beauty
Taïko Beauty
2024-03-15
I don’t know where to start, I can write a novel about this firm, but one thing I will say is that having my best interest was their main priority since the beginning of my case which was back in Winter 2019. Miss Claire Banks, one of the best Attorneys in the firm represented me very well and was very professional, respectful, and truthful. Not once did she leave me in the dark, in fact she presented all options and routes that could possibly be considered for my case and she reinsured me that no matter what I decided to do, her and the team will have my back and that’s exactly what happened. Not only will I be liberated from this case, also, I will enjoy my freedom and continue to be a mother to my first born son and will have no restrictions with accomplishing my goals in life. Now that’s what I call victory!! I thank the Lord, My mother, Claire, and the Spodek team for standing by me and fighting with me. Words can’t describe how grateful I am to have the opportunity to work with this team. I’m very satisfied, very pleased with their performance, their hard work, and their diligence. Thank you team!
Anthony Williams
Anthony Williams
2024-03-12
Hey, how you guys doing? Good afternoon my name is Anthony Williams I just want to give a great shout out to the team of. Spodek law group. It is such a honor to use them and to use their assistance through this whole case from start to finish. They did everything that they said they was gonna do and if it ever comes down to it, if I ever have to use them again, hands-down they will be the first law office at the top of my list, thank you guys so much. It was a pleasure having you guys by my side so if you guys ever need them, do not hesitate to pick up the phone and give them a call.
Loveth Okpedo
Loveth Okpedo
2024-03-12
Very professional, very transparent, over all a great experience
Bee L
Bee L
2024-02-28
Amazing experience with Spodek! Very professional lawyers who take your case seriously. They treated me with respect, were always available, and answered any and all questions. They were able to help me very successfully and removed a huge stress. Highly recommend.
divesh patel
divesh patel
2024-02-24
I can't recommend Alex Zhik and Spodek Law Firm highly enough for their exceptional legal representation and personal mentorship. From the moment I engaged their services in October 2022, Alex took the time to understand my case thoroughly and provided guidance every step of the way. Alex's dedication to my case went above and beyond my expectations. His expertise, attention to detail, and commitment to achieving the best possible outcome were evident throughout the entire process. He took the time to mentor me, ensuring I understood the legal complexities involved to make informed decisions. Alex is the kind of guy you would want to have a beer with and has made a meaningful impact on me. I also want to acknowledge Todd Spodek, the leader of the firm, who played a crucial role in my case. His leadership and support bolstered the efforts of Alex, and his involvement highlighted the firm's commitment to excellence. Thanks to Alex Zhik and Todd Spodek, I achieved the outcome I desired, and I am incredibly grateful for their professionalism, expertise, and genuine care. If you're in need of legal representation, look no further than this outstanding team.

Penalties for OFAC Non-Compliance

The penalties for violating OFAC sanctions can be severe:

  • Civil Penalties: Can range up to $307,922 per violation or twice the value of the transaction.
  • Criminal Fines: Individuals may face up to $1 million in fines and up to 30 years in prison. Businesses may be fined up to $100 million.
  • Denial of Export Privileges: Violators may be prohibited from participating in transactions involving items exported from the U.S.

In addition to financial penalties, a company can suffer reputational damage from public enforcement actions for OFAC violations. Negligence is not a defense when it comes to OFAC compliance – companies are expected to have appropriate screening procedures in place.

OFAC Compliance Program

To properly comply with OFAC regulations, businesses should implement a formal OFAC compliance program. This program should contain the following elements:

  • Management Commitment: Senior management should establish clear responsibility for OFAC compliance and commit sufficient resources.
  • Risk Assessment: Identify higher risk products, services, customers, and geographic locations.
  • Internal Controls: Implement written OFAC policies and procedures, training programs, and audit procedures.
  • Testing & Auditing: Conduct periodic audits to check OFAC compliance procedures are followed and effective.
  • Training: Educate staff on OFAC regulations, sanctions lists, and the company’s compliance procedures.

The cornerstones of any OFAC compliance program is screening customers against the various sanctions lists. Putting in place appropriate policies, procedures, and technology to conduct this screening is critical for any U.S. business.

Third Party Screening Tools

There are a number of third party software tools available to assist with OFAC screening. Some options include:

    • Sanctions.io – Offers OFAC screening via API integration or batch screening services.
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