ARTICLE
13 January 2022

OFAC Provides Sanctions Guidance On Modifications Of Agreements Referencing LIBOR

CW
Cadwalader, Wickersham & Taft LLP

Contributor

Cadwalader, established in 1792, serves a diverse client base, including many of the world's leading financial institutions, funds and corporations. With offices in the United States and Europe, Cadwalader offers legal representation in antitrust, banking, corporate finance, corporate governance, executive compensation, financial restructuring, intellectual property, litigation, mergers and acquisitions, private equity, private wealth, real estate, regulation, securitization, structured finance, tax and white collar defense.
Such benchmark modifications will not be treated as "new debt" for OFAC sanctions purposes.
United States Finance and Banking
To print this article, all you need is to be registered or login on Mondaq.com.

OFAC issued an FAQ clarifying that "loans, contracts, or other agreements that use LIBOR as a reference rate that are modified to replace such benchmark reference rate will not be treated as new debt for OFAC sanctions purposes, so long as no other material terms of the loan, contract, or agreement are modified."

In new FAQ 956, OFAC noted that in previous guidance it had advised that certain changes to preexisting loan facilities and other agreements may act to convert an existing, permissible debt into a "new debt" that is prohibited under sanctions (see FAQ 947 ("Belarus Sanctions"), FAQ 553 ("Venezuela Sanctions") and FAQ 394 ("Ukraine-/Russia-Related Sanctions")). In FAQ 956, OFAC clarified that LIBOR reference rate terms in preexisting agreements may be modified and replaced without triggering relevant sanctions prohibitions, so long as no other material terms of the loan, contract or agreement are modified. Such benchmark modifications will not be treated as "new debt" for OFAC sanctions purposes.

Primary Sources

  1. OFAC Press Release: Issuance of New Frequently Asked Question
  2. OFAC FAQ: Belarus Sanctions - 956
  3. OFAC FAQ: Belarus Sanctions - 947
  4. OFAC FAQ: Venezuela Sanctions - 553
  5. OFAC FAQ: Ukraine-/Russia-Related Sanctions - 394

The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.

Mondaq uses cookies on this website. By using our website you agree to our use of cookies as set out in our Privacy Policy.

Learn More