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Julia Banegas

Julia is an associate in the Washington, DC office of Husch Blackwell. She advises clients doing business in the heavily-regulated Government Contracts and International Trade sectors.

As previously reported here, on April 10, 2010, the US Federal Emergency Management Agency (FEMA) issued a temporary final rule restricting the export of certain types of personal protective equipment (PPE).  The temporary rule required FEMA approval before certain kinds of PPE could be exported from the United States.

On April 21, 2020, FEMA

The United States Department of the Treasury’s Office of Foreign Assets Control (OFAC) released a fact sheet that outlines exemptions, exceptions, and authorizations for humanitarian assistance and trade under the sanctions programs for Iran, Venezuela, North Korea, Syria, Cuba, and Ukraine/Russia. The fact sheet can assist with questions about exporting Personal Protective Equipment (PPE) and

U.S. Supply Chain

The Federal Emergency Management Agency (FEMA) issued a temporary final rule requiring FEMA approval before certain kinds of personal protective equipment (PPE) can be exported from the United States.  The temporary rule is being issued pursuant to, among other authorities, the Defense Production Act of 1950 and a series of Executive Orders.  Based on these

In Husch Blackwell’s March 2020 Trade Law Newsletter, you’ll learn about the following updates in international trade and supply chain law:

  • CBP Changes Course: No Longer Accepting Requests to Defer Duty Payments
  • CBP Announces that Importers of Garlic and Pipe Fittings are Evading AD and CVD Duties
  • Court of International Trade Assigns 3-Judge Panel

On Friday, March 20, 2020 Customs announced that it was accepting requests for short-term relief from payment of estimated duties, taxes and fees due to the COVID-19 emergency, as discussed here.

Nevertheless, on March 26, 2020, Customs issued “Additional Guidance for Entry Summary Payments Impacted by COVID-19” that revised the information and

On March 25, 2020, the United States Trade Representative (“USTR”) issued new product exclusions pertaining to the 7.5% Section 301 List 4A Tariffs.  The new list of exclusions includes five 10-digit HTS subheadings and seven specially prepared product descriptions that cover 36 separate exclusion requests.  The full list of excluded products is available here

On March 24, 2020 the New York Field Office of Customs and Border Protection (CBP) issued Informational Pipeline  20-001-NYFO concerning Imports of Pandemic Response Materials in response to increased COVID-19 cases in the greater New York City area and across the nation. The Pipeline indicated that many of these shipments are legitimate, but also noted

The Court of International Trade (CIT) issued a decision in TR International Trading Co. v. United States (Slip Op. 20-34) on March 16, 2020, stating that if a company wishes to file an appeal under the Court’s residual jurisdiction under 19 U.S.C. §1581(i), then it must first ensure that it has either filed

UPDATED: March 25, 2020 – Several U.S. executive branch agencies along with federal courts are instituting significant operational changes.  These changes have either already been implemented or are anticipated at the U.S. government agencies and courts which manage international trade-related concerns in the coming weeks due to personnel and public safety concerns over the COVID-19

The U.S. Treasury’s Office of Foreign Assets Control (“OFAC”) has recently issued two new General Licenses to extend pre-existing authorizations for transactions with GAZ Group that would otherwise be prohibited under OFAC’s Ukraine- and Russia-related sanctions. General License 15H (“GL 15H”) authorizes certain activities necessary to maintenance or wind down of operations or existing contracts