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Posted June 17, 2007 by publisher in OFAC

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DEPARTMENT OF THE TREASURY OFFICE OF FOREIGN ASSETS CONTROL
ENFORCEMENT INFORMATION FOR June 1, 2007


ENTITIES - 31 CFR 501.805 (d)(1)(i)

ACME Furniture Industry, Inc. settles Cuban Embargo Allegations:

ACME Furniture Industry, Inc., City of Industry, CA 91748 (“ACME”), has remitted $31,336 to settle allegations of violations of the Cuban Assets Control Regulations occurring between February 20, 2004 and February 20, 2005. OFAC alleged that ACME shipped merchandise from China to Cuba. ACME did not voluntarily disclose this matter to OFAC.

EPMedsystems, Inc. settles OFAC Civil Penalties Division Case:

EPMedsystems, Inc., West Berlin, NJ (“EPMedsystems”) has remitted $33,000 to settle allegations of violations of the Iranian Transactions Regulations occurring between October 1999 and March 2004. EPMedsystems voluntarily disclosed this matter to OFAC.

INDIVIDUALS—31 C FR 501.801 (d)(I)(ii)

One individual has agreed to a settlement totaling $2,304.00 for allegedly dealing in property in which Cuba or a Cuban national had an interest: In January, March, April, June, November, December 2005 and March 2006, the individual purchased Cuban-origin cigars offered for sale on the Internet. The individual did not voluntarily disclose this matter to OFAC.

One individual has agreed to a settlement totaling $1,311.00 for allegedly dealing in property in which Cuba or a Cuban national had an interest: In December 2004, the individual purchased Cuban-origin cigars offered for sale on the Internet. The individual did not voluntarily disclose this matter to OFAC.

One individual was assessed a penalty totaling $856.00 for allegedly dealing in property in which Cuba or a Cuban national had an interest. On or about October 4, 2002, July 10, and November 3, 2003, the individual purchased Cuban-origin cigars offered for sale on the Internet. The individual did not voluntarily disclose this matter to OFAC.

Legal Note:

Information concerning the civil penalty process is discussed in OFAC regulations governing the various sanctions programs or, in the case of sanctions regulations issued pursuant to the Trading with the Enemy Act, in 31 CFR part 501. Civil penalty procedures are also discussed in OFAC’s proposed Enforcement Guidelines, 68 FR 4422 - 4429 (January 29, 2003).

Read the Cuba Sanctions page from the US Treasury’s Office of Foreign Assets Control

  1. Follow up post #1 added on June 17, 2007 by Curt

    Those companies or individuals who paid those fines are a BUNCH OF SISSIES WHO ARE AFRAID TO FIGHT FOR WHAT THEY BELIEVE IN.


  2. Follow up post #2 added on June 18, 2007 by J. Perez

    You are absolutely right Curt, the problem is that one has to spend monies in legal fees to fight the fines and these guys from OFAC have nothing better to do than to go after cigar smokers. Hard to believe but true.


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