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3/19/2020

Statement of Assistant Secretary Marshall Billingslea Before the U.S. House Financial Services Subcommittee on Monetary Policy and Tr…

Statement of Assistant Secretary Marshall Billingslea Before the
U.S. House Financial Services Subcommittee on Monetary Policy
and Trade
September 26, 2018

Chairman Barr, Vice Chairman Williams, Ranking Member Moore, and distinguished Members of
the Subcommittee, I am pleased to appear before the Committee today to discuss how the
Treasury Department is using the full range of its authorities and tools to address three unique—
yet in many ways related—challenges in Iran, Russia, and North Korea.
Each of these countries poses its own particular challenge to the United States, our allies, and
the international order, yet there are common threads linking them together. Iran, the world’s
leading state sponsor of terrorism, continues to squander its wealth through corruption and
terrorism instead of prioritizing the Iranian people, whom the United States seeks to help.
Russia provides weaponry and defense materiel to Iran, and extensive support to the Syrian
regime enabling Assad’s brutal targeting of his own citizens. Furthermore, Russia continues its
occupation of Ukraine and Crimea and subversion of Western democracies, and remains a
permissive environment for North Korean procurement e orts and circumvention of
prohibitions under United Nations (UN) Security Council resolutions. Finally, North Korea
continues to deliberately evade domestic and international sanctions and has not yet
abandoned its weapons of mass destruction and missiles programs.
On the one hand, all three countries use some similar tactics to exploit the global financial
system, particularly by establishing and employing front and shell companies to mask the origin
and beneficial ownership of illicit financial flows, to disguise the nature of—and intent behind—
transactions. But on the other hand, these three countries di er in terms of the size of their
respective economies, the extent to which they have businesses intertwined within global
supply chains, and in the degree to which their financial sectors are connected to the global
system.
For these various reasons, our Iran, Russia, and North Korea sanctions programs are among our
most active and complex. Under the leadership of Secretary Mnuchin and Under Secretary
Mandelker, we have developed tailored strategies to employ the full suite of Treasury’s powerful
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tools and authorities to maximum e ect. This also means that in every case, we must closely
examine and take into account each country’s distinct economic characteristics in addition to
our broader foreign policy and national security objectives to ensure that the financial impact
we seek is achieved, our national security objectives served, and disruption to the supply chains
of friendly nations is minimized and international cohesion is maintained to the maximum
extent practicable.
Beyond sanctions, Treasury possesses multiple other tools and authorities that are used in
conjunction with sanctions actions by the O ice of Foreign Assets Control (OFAC). These
include reporting and analysis of financial intelligence provided by U.S. financial institutions to
the Financial Crimes Enforcement Network (FinCEN), FinCEN’s authorities under the Bank
Secrecy Act and USA PATRIOT Act, extensive private sector engagement both at home and
abroad, and financial diplomacy conducted globally by our international financial attachés and
the O ice of Terrorist Financing and Financial Crimes. On a daily basis, we work bilaterally and
multilaterally to strengthen the anti-money laundering/countering the financing of terrorism
(AML/CFT) regimes worldwide, including with those countries exposed to Iranian, Russian, and
North Korean illicit financial flows.
Today, I will share with you a brief overview of the steps Treasury has taken to counter each
challenge. Across all of our e orts, we have been clear and consistent in our message; we have
le no doubt as to why we are imposing sanctions, and what changes we expect. These are all
complex and highly dynamic issues, and we continuously refine and adapt our approach to each
problem against the ever-evolving nature and manifestation of the threat. As we have
demonstrated, we will continue to tailor the use of our financial tools as necessary, in close
coordination with all of our interagency partners.

IRAN
The President’s decision on May 8 has now set in motion the reimposition of a wide range of
sanctions. These measures are designed to greatly reduce Iran’s capacity to continue its malign
activities, including its support for terrorism, its human rights abuses, its aggressive
development of ballistic missiles and proliferation of missiles to militant groups such as
Hizballah and the Houthis in Yemen. As Secretary of State Pompeo has made clear, we seek to
negotiate a new more comprehensive deal to replace the fatally flawed Joint Comprehensive
Plan of Action (JCPOA).

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The U.S. nuclear-related secondary sanctions on the Iranian regime that were relieved under the
JCPOA are being reimposed in two phases. We structured this process to occur in two phases,
over a 180-day period, to allow the global business community to wind down any transactions
initiated before our withdrawal from the JCPOA that would be o limits a er the reimposition of
sanctions. On August 6, the first phase of sanctions reimposition occurred, and the President
issued Executive Order (E.O.) 13846 which reinstated relevant provisions of the E.O.s that were
revoked or amended on JCPOA Implementation Day in January 2016.
As of August 7, U.S. sanctions came back into full e ect on:
i. the acquisition of U.S. dollar banknotes by the Government of Iran;
ii. Iran’s trade in gold and precious metals;
iii. the provision of graphite, raw or semi-finished metals, and so ware for integrating
industrial processes;
iv. transactions related to the Iranian rial;
v. activities related to the issuance of Iranian sovereign debt; and
vi. Iran’s automotive sector.
Once the second phase ends on November 4, 2018, we will reimpose the remaining sanctions
that were li ed under the JCPOA. These sanctions include far-reaching sanctions on Iran’s
energy and shipping sectors, and on foreign financial institutions conducting certain
transactions with the Central Bank of Iran and designated Iranian banks. We will aggressively
enforce these authorities. We intend to hold Iran accountable for its lethal and destabilizing
actions, and to leave no doubt that it must return to the negotiating table.
In addition to these actions, under this Administration Treasury has issued 18 rounds of
sanctions, designating 146 Iran-related persons for a range of activities related to terrorism,
proliferation, and human rights abuses, and to thwart Iran’s exploitation of the global financial
system.
For instance, a major focus of our e orts is Mahan Air, an airline that provides material support
to the Islamic Revolutionary Guard Corps-Qods Force (IRGC-QF), which was designated under
our counter-terrorism authorities. Via this airline, the Iranian regime attempts to covertly move
weapons and explosives, terrorists and other fighters, and cash in support of regional malign
activities. These activities have fueled Iran’s proxies, such as Hizballah, and have given
additional aid to the murderous Assad regime in Syria. In July, we designated Mahan Travel and
Tourism, a Malaysia-based General Sales Agent (GSA), which is Mahan Air’s sole GSA in Kuala
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Lumpur, Malaysia, and provides reservation and ticketing services for Mahan Air. Earlier this
month, we designated My Aviation Company Limited, a Thailand-based GSA, for acting on or
behalf of Mahan Air. We will continue targeting individuals and entities supporting Mahan Air,
and we are warning airport operators and GSAs, whether in Europe, Asia, or the Middle East,
that if they continue to transact with Mahan Air, they are at risk of our sanctions.
We are also working to disrupt and expose Iran’s abuse of the international financial system. In
May, for example, we sanctioned the then-Governor of the Central Bank of Iran (CBI) and the
assistant director of the CBI’s International Department for conspiring with the IRGC-QF to
conceal the movement of millions of dollars to enrich and support Hizballah. Likewise, we
targeted a currency exchange network that Iran was using in Iran and the UAE to procure and
transfer millions of U.S. dollars to the IRGC-QF, again facilitated by the CBI. We simultaneously
worked with the Government of Iraq to take action against the operations of a major bank that
was deeply involved in routing money on behalf of the IRGC-QF to terror networks. This is just
one example of how Treasury used a combination of sanctions and financial diplomacy to
disrupt a significant terror financing network through close collaboration with partner nations.
We are also wielding our authorities to go a er Iran’s human rights abuses and censorship.
We’ve designated Iran’s Supreme Council of Cyberspace, which has been involved in blocking of
social media in Iran; the head of Iran’s judiciary, who facilitated torture and cruel and inhumane
treatment of prisoners; and, human rights abusers at Evin Prison, where prisoners are subject to
brutal tactics inflicted by prison authorities.
To continue to galvanize international e orts to constrain Iran, the Treasury and State
Departments have deployed delegations around the world. We have visited over 30 countries
for the express purpose of highlighting Iran’s malign activities and to explain the rationale for
reimposing sanctions; I personally have been to 13 countries as part of this e ort, and Treasury
leadership has had countless additional conversations with our foreign counterparts on this
topic.
In addition to talking with governments, during these engagements we also delivered direct
messages to the private sector detailing how Iran is involved in extensive illicit business
activities, including using front and shell companies, counterfeiting currency, and cyberattacks
to fund their support for terrorism. We continue to urge companies around the globe to
toughen their financial networks and conduct the necessary due diligence to prevent them from
being caught in Iran’s deceitful web.

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Treasury’s e orts are already generating results. In recent months, we have seen evidence of
our economic pressure taking hold. Since April, the Iranian rial has lost more than two-thirds of
its value. While the Iranian regime continues to maintain an o icial exchange rate of 42,000 rials
per U.S. dollar, the true market rate is closer to 143,000 (as of September 18, 2018), and we see it
continue to drop on a near daily basis. We’ve welcomed our partners’ e orts to wind down
imports of Iranian crude oil ahead of the November deadline and encourage others to follow
suit. Foreign direct investment and business activity within Iran is also decreasing as the private
sector recognizes the risk of doing business with Iran. Approximately 100 international
companies have indicated they will leave Iran, and we expect to see more follow in their
footsteps.
However, let me be clear: Iran’s own economic mismanagement is also responsible for its
economic situation, as it is busy squandering its wealth through corruption and terrorism
instead of prioritizing the Iranian people. Last month, the Supreme Leader even admitted that
“the main source of the current economic problems can be traced back to internal
mismanagement and actions.” In addition to rial devaluation, we are seeing indicators that
show the Iranian regime’s economic strategy continues to fail its people. Unemployment
remains at over 12 percent, with youth unemployment at over double this rate, as of March
2018. The International Monetary Fund is forecasting a decrease in GDP growth for Iran in 2018,
decreasing from 4.3% in 2017 to 4% this year. Likewise, the inflation rate is now squarely in the
double digits at 11.5%, according to the CBI.
The disastrous state of the Iranian economy has led to the firing of the finance and labor
ministers, the arrest of a Central Bank deputy governor, as well as the firing CBI Governor, whose
designation I discussed earlier for facilitating the transfer of millions of dollars to Hizballah on
behalf of the IRGC-QF. The regime has done the Iranian people no favors by making Abdolnaser
Hemmati the new CBI Governor, given his leadership at banks previously sanctioned by the U.S.
and European Union for facilitating terrorism and weapons of mass destruction proliferation.
For only the second time in the regime’s nearly 40-year history, the Iranian President was called
before the Iranian Parliament, the Majlis, to answer for the failure of the regime’s economic
policies. While President Rouhani sought to blame the United States for his country’s own
economic problems, the Majlis rejected the vast majority of his explanations.
Instead of investing money wisely, the Iranian regime allows Commander of the IRGC-QF, Qasem
Soleimani to travel far and wide, despite his being subject to a United Nations travel ban, and to
spend extravagant amounts to fuel terrorism. Instead of keeping money at home, the regime is
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sending $100 million per year to Palestinian terrorist groups like Hamas. This is nothing in
comparison to the $700 million provided to Lebanese Hizballah each year, which is a fraction of
the staggering $16 billion Iran has spent on its terrorist proxies in Iraq, Syria, and Yemen.
Elements of the regime are continuously conspiring to defraud not only people in Iran, but also
foreign companies and countries. For instance, in November 2017, Treasury designated a largescale IRGC-QF ring working to counterfeit currency to support its destabilizing activities in
Yemen. Using deceitful tactics, this ring created front companies in Europe to skirt European
export control restrictions and acquire sophisticated equipment and materials from European
suppliers to print counterfeit Yemeni bank notes potentially worth hundreds of millions of
dollars for the IRGC-QF. Such nefarious activity depicts the depths the Iranian regime is
prepared to sink to advance its malevolent goals, and should motivate all those seeking to
maintain the integrity of the global financial system to act to hold Iran accountable.
These examples of the Iranian regime’s engagement in corrupt activity show that the Iranian
people deserve better. Treasury will continue to target the entire spectrum of the regime’s
malign activity to change its behavior, and we urge the world to work with us to seek a better
future for the Iranian people.

RUSSIA
The Treasury Department has a clear understanding of the continued threat posed by Russia’s
wide-ranging malign activities. Russia’s continuing occupation of Crimea, human rights abuses,
malicious cyberattacks, illicit procurement of sensitive defense and intelligence technologies,
election interference and other influence e orts, as well as its support to the Assad regime’s
massacre of its own citizens, are unacceptable, and demonstrate Russia’s complete disregard for
acting as a responsible member of the international community. Countering these threats is
one of Treasury’s top priorities, which is clearly evidenced by the actions we have taken to
impose an unprecedented level of financial pressure against those working on behalf of the
Kremlin and in key sectors of the Russian economy targeted by U.S. sanctions.
Russia stands apart from other countries subject to broad U.S. sanctions in several important
ways, and we have tailored our approach accordingly. We cannot, for example, counter Russian
aggression in the same way we approach countries like North Korea or Iran. Russia’s economy is
large and well-integrated into the global economy, international financial system, and global
supply chains. North Korea and Iran, on the other hand, have been largely or almost entirely
isolated from the global financial system for decades. Accounting for this stark contrast, we’ve
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surgically deployed Treasury tools to maximize pressure on Russia while minimizing
unintentional spillovers to the United States, our European allies, and the global economy.
To discuss one particularly insightful example, a number of Russia’s state-owned entities and
oligarch-owned businesses are intricately integrated into global economies and supply chains,
including those of some of our closest NATO allies. Despite these challenges, on April 6, we
designated the Russian oligarch Oleg Deripaska. As a result of his designation, we also
designated several companies he owns or controls, to include RUSAL, the second-largest
producer and supplier of aluminum in the world, and EN+, a vertically integrated aluminum and
power producer. As a result of our designations, Deripaska’s estimated net worth has dropped
by more than 50%, and the share price of EN+ on the London Stock Exchange plummeted. On
the same day, we also designated the oligarch Viktor Vekselberg, as well as multiple companies
he owns or controls. As a result, Viktor Vekselberg’s net worth has dropped an estimated $3
billion, foreign governments have launched investigations in response to his designation, and
he has had assets frozen across multiple jurisdictions. Furthermore, Vekselberg’s Renova Group
was forced to divest from ventures in Switzerland and Italy.
Since January 2017, the Administration has sanctioned 232 Russia-related individuals and
entities, 215 under Treasury authorities. 136 were designated under Ukraine/Russia-related
sanctions authorities codified by the Countering America’s Adversaries Through Sanctions Act,
or CAATSA. We have aggressively targeted key sectors of the Russian economy. Since 2014,
Treasury has imposed blocking sanctions on 14 financial institutions and sectoral sanctions on
124 financial institutions and 50% or more-owned subsidiaries; in the energy sector, Treasury
has imposed blocking sanctions on 20 Russian firms and sectoral sanctions on an additional 80
Russian entities.
Additionally, on September 20, President Trump issued an Executive Order to further the
implementation of Title II of CAATSA and the Ukraine Freedom Support Act of 2014, as
amended. This E.O. provides the Secretary of the Treasury the authority to take certain actions
with respect to those sanctions and directs departments and agencies to take all appropriate
measures within their authority to ensure the full implementation of those sanctions. Pursuant
to this E.O. and also on September 20, the State Department added 33 entities and individuals
to the CAATSA section 231 List of Specified Persons (LSP) for being a part of, or operating for or
on behalf of, the defense or intelligence sectors of the Government of the Russian Federation.
State, in consultation with Treasury, imposed sanctions pursuant to section 231 of CAATSA on
the Chinese entity Equipment Development Department (EDD) and its director, Li Shangfu, for
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engaging in significant transactions with Rosoboronexport, Russia’s main arms export entity,
which is on the LSP. These significant transactions involved Russia’s delivery to China of Su-35
combat aircra in 2017 and S-400 surface-to-air missile system-related equipment in 2018.
While our Russia sanctions program is among our most active, sanctions are not and cannot be
the only tool on which we rely. The scale and sophistication of Russian malign activity is far
more advanced than that of other states currently subject to broad U.S. sanctions. Accordingly,
in certain circumstances, other tools will either complement or far more e ectively advance our
national security interests in countering Russian aggression.
As an example, as Treasury works aggressively to deter and prevent illicit Russian financial
activity abroad, we are simultaneously protecting the U.S. financial system. On February 13,
2018, Treasury’s FinCEN issued a notice of proposed rulemaking pursuant to Section 311 of the
USA PATRIOT Act that Latvia-based ABLV Bank AS (ABLV) was a financial institution of primary
money laundering concern. In its public notice, FinCEN cited multiple instances of
institutionalized money laundering in which ABLV management solicited high-risk shell
company activity that enabled the bank and its customers to launder funds. ABLV’s facilitation
of shell company activity typically benefitted illicit actors engaged in an array of illicit conduct,
including transnational organized criminal activity, corruption, and sanctions evasion,
emanating mostly from Russia and Commonwealth of Independent States, but notably also for
the benefit of the North Korean regime. Pursuant to this finding, FinCEN proposed the
imposition of a prohibition on U.S. financial institutions from opening or maintaining
correspondent accounts for, or on behalf of, ABLV. The reporting of U.S. financial institutions of
suspicious activity involving ABLV was important to FinCEN’s understanding of the bank’s AML
and customer due diligence failures. This action not only safeguards U.S. financial institutions,
but e ectively shuttered a key access point being exploited by illicit Russian actors to access the
European and international banking system.

NORTH KOREA
In Singapore, President Trump and Chairman Kim Jong Un committed to complete
denuclearization of the Korean Peninsula. Treasury is supporting President Trump’s goal of the
final, fully verified denuclearization of North Korea, as agreed to by Chairman Kim Jong Un.
Treasury coordinates closely with the State Department to ensure our actions support the
broader diplomatic e ort.

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We are supporting the denuclearization process by maintaining pressure on North Korea’s
finances and economy and we continue to target its ability to earn and spend revenue in
furtherance of its illicit weapons programs. It is clear that these e orts are having the desired
e ect. The President’s Maximum Pressure Campaign created the conditions necessary for the
historic Singapore Summit, and it is continued pressure that will avoid the mistakes of the past.
As the President has said, implementation of existing sanctions will continue until North Korea
denuclearizes. Our continued designations demonstrate our commitment to implementing
North Korea-related UN Security Council resolutions, and holding other countries accountable
where they have fallen short on their UN obligations. We will continue to hold third-country
individuals and entities accountable through our sanctions programs where they flout UN
Security Council prohibitions and continue to facilitate the DPRK’s illicit activities. Sustained
pressure and sanctions implementation are crucial to achieving our objective of
denuclearization.
Treasury is deploying all of our authorities—including sanctions, AML/CFT measures and
reporting requirements, enforcement actions, regulatory actions under Section 311 of the USA
PATRIOT Act, foreign engagement, and private sector partnerships—to identify and disrupt
North Korea’s ability to generate revenue and move funds in support of its weapons programs.
Under this Administration, Treasury has sanctioned more than 200 individuals, entities, and
vessels related to North Korea. Overall, Treasury has now sanctioned approximately 400
individuals, entities, vessels, and aircra related to North Korea since 2005.
Furthermore, in 2016, Treasury identified North Korea as a jurisdiction of “primary money
laundering concern” under Section 311 of the USA PATRIOT Act, prohibiting U.S. financial
institutions from maintaining correspondent accounts for, or on behalf of, North Korean
financial institutions and requiring them to ensure they do not process North Korea-related
transactions through correspondent banking relationships with other foreign banks. Treasury
took a similar 311 action in 2017 against the China-based Bank of Dandong for serving as a
gateway for North Korea to access the U.S. and international financial systems, despite U.S. and
UN sanctions. This was the Treasury Department’s first action in over a decade that targeted a
non-North Korean bank for facilitating North Korean financial activity. It clearly demonstrates
the Administration’s commitment to protecting the integrity of both the U.S. and international
financial systems.
Reporting from U.S. financial institutions were important sources of information in developing
our understanding of the risk that Bank of Dandong posed to the U.S. financial system. And
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more broadly, the public-private partnership of FinCEN Exchange brings law enforcement,
FinCEN, and financial institutions together to exchange key information on priority illicit threats,
including North Korea. These types of exchanges enable the private sector to better identify
risks and provide FinCEN and law enforcement with critical information to disrupt money
laundering and other financial crimes.
Our e orts to uncover North Korea’s deceptive practices and expose the nature of their financial
networks is imperative given that North Korea does little business in its own true name and
instead uses a network of agents, front and shell companies, and complex ownership structures
to access the international financial system. The UN 1718 Committee Panel of Experts has
portrayed how these North Koreans are based in countries like China and Russia, and they are
the key financial enablers for the Kim regime’s weapons of mass destruction and ballistic missile
development programs. These individuals are important to North Korean networks because
they have expertise that they use to establish front companies, open bank accounts, and
conduct transactions enabling North Korea to launder funds. Since the beginning of this
Administration, we have designated 60 of these operatives acting on behalf of U.S.- and UNdesignated banks and weapons trading companies. As demonstrated by our action in August
against Russia-based Agrosoyuz Commercial Bank, we will not hesitate to use our authorities to
implement UN and U.S. sanctions and shut down illicit revenue streams to North Korea.
We further illuminated the roles of North Korean financial facilitators and associated financial
networks in a comprehensive advisory issued by FinCEN to financial institutions in November
2017. The advisory provided U.S. and financial institutions across the globe with specific
financial red flags of illicit North Korean schemes being used to evade U.S. and UN sanctions,
launder funds, and finance the regime’s weapons of mass destruction and ballistic missile
programs. This includes the use of overseas financial representatives and the use of Chinabased front or shell companies, trading companies, and financial institutions operating in areas
bordering North Korea.
We are very focused on North Korea’s use of deceptive shipping practices to evade sanctions,
including ship-to-ship transfers. On February 23, Treasury issued its largest North Korea-related
sanctions tranche related to shipping, trading companies, and vessels, as well as an advisory to
the maritime sector to highlight sanctions evasion tactics used by North Korea that could
expose businesses to sanctions compliance risks under U.S. and/or UN sanctions authorities. In
recent weeks, we have issued additional designations against shipping companies, a port

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service provider, and vessels for enabling and supporting illicit ship-to-ship transfers on behalf
of North Korea.
Our focus on depriving North Korea of its ability to conduct trade and to earn and move revenue
through the international financial system means that we must work with other countries to
achieve this goal. Not only do we work bilaterally with key partners to coordinate our domestic
sanctions programs, we engage with leaders around the world to stress the importance of
implementing United Nations Security Council resolutions. We also work bilaterally and
multilaterally with like-minded governments to ensure that countries have the regulatory
framework in place to detect and freeze assets linked to North Korea.
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