OFAC FAQ #632 · Iran Sanctions
Will the U.S. government provide assurances beyond the guidance described in 631 and 634 that receipt of payment by non-U.S., non-Iranian persons is not sanctionable?
OFAC's answer
OFAC encourages non-U.S., non-Iranian persons to rely on the guidance provided in FAQs 631 and 634. Non-U.S., non-Iranian persons can seek guidance from OFAC or the State Department, as appropriate, prior to the receipt of payment, if they would like to confirm that the payments would meet the criteria set forth in [FAQ 631](https://ofac.treasury.gov/faqs/631) and [FAQ 634](https://ofac.treasury.gov/faqs/634) and would not be subject to U.S. sanctions.
Related programs
Related FAQs
- #631I was not able to receive payment for goods or services fully provided or delivered prior to the end of the wind-down period.How should I proceed?
- #634Can I, as a non-U.S., non-Iranian person, receive payments after the relevant wind-down period ends for goods or services that were fully provided or delivered during the relevant wind-down period pursuant to contracts entered into prior to May 8, 2018?