Sanctions & Embargoes
Libya, Somalia, Sudan and Yemen
The U.S. government does not currently maintain comprehensive sanctions against Libya, Somalia, Sudan, and Yemen; however, certain limited restrictions apply, administered by the U.S. Department of Treasury, Office of Foreign Asset Controls (OFAC). There are serious penalties for violations. The University has a strong commitment to its academic mission, which must be balanced against the obligation to comply with U.S. law. This guide outlines activities that can be lawfully conducted in the context of academic collaboration with citizens of Libya, Somalia, Sudan, and Yemen.
This guidance is intended to provide faculty with a framework for lawful and unlawful activities when a citizen of Libya, Somalia, Sudan, or Yemen (including dual-citizens) is in one of three travel categories, as follows:
- Libyan, Somalian, Sudanese, or Yemeni person is temporarily traveling outside the
                  United States, but holds a valid U.S. visa with currently-valid authorization to enter
                  the United States;
- Libyan, Somalian, Sudanese, or Yemeni person located in a country other than Libya,
                  Somalia, Sudan, or Yemen, outside the United States, with no currently-valid authorization
                  to enter the United States;
- Libyan, Somalian, Sudanese, or Yemeni person located in Libya, Somalia, Sudan, or Yemen either temporarily or indefinitely with or without a valid U.S. entry.
Activities and Applicable Laws
1) All educational services and activities with students
STATUS: Always permitted
APPLICABLE LAW
The University is not prohibited from conducting any educational services and activities
               with students in any of the three travel categories who are citizens from Libya, Somalia,
               Sudan, and Yemen. You may provide all academic services, including teaching and academic
               advice, preparing, defending, or advising on a dissertation or academic thesis, research
               activities, and other educational services. You are always permitted to engage in
               publishing and marketing of manuscripts, books, journals, newspapers, and other written
               materials; collaborating on the creation and enhancement of written publications;
               substantive editing of written publications; sending and receiving related communications;
               and financial transactions related to such activities.
2) Transactions with Specially Designated Nationals (SDLs)
STATUS: Prohibited
APPLICABLE LAW
The University must screen transactions for the involvement of Specially Designated
               Nationals (SDNs). OFAC's SDN List designates several individuals and entities from
               Libya, Somalia, Sudan, and Yemen. Those individuals and entities are subject to an
               asset freeze. In addition, several individuals and entities from Libya are subject
               to a travel ban pursuant to designation on the SDN List.
While there are no comprehensive sanctions against Libya, Somalia, Sudan, or Yemen,
               certain export controls apply to the export of technology and technical information,
               software, and commodities. The Departments of State and Commerce impose export control
               restrictions on Libya, Somalia, Sudan, and Yemen. The Department of Commerce, Bureau
               of Industry (BIS) restricts certain exports for reasons relating to chemical and biological
               weapons, nuclear proliferation, national security, missile tech, regional stability,
               and crime control. When exporting information or commodities that may be controlled,
               the University should analyze whether such exports are exempt (for example, due to
               the fundamental research exemption) or whether authorization from the State Department
               or Commerce Department must be secured.