View original document

The full text on this page is automatically extracted from the file linked above and may contain errors and inconsistencies.

3/19/2020

Testimony of Assistant Secretary for Terrorist Financing Marshall Billingslea House Committee on Financial Services Subcommittee on M…

Testimony of Assistant Secretary for Terrorist Financing
Marshall Billingslea House Committee on Financial Services
Subcommittee on Monetary Policy and Trade November 30, 2017
November 30, 2017

Chairman Barr, Vice Chairman Williams, Ranking Member Moore, and distinguished members of
the Committee, as Treasury’s Assistant Secretary for Terrorist Financing, thank you for inviting
me here today to o er testimony on the e ectiveness of sanctions, which are an important tool
for safeguarding our security and protecting the U.S. financial system from abuse.
At the Treasury Department, under Secretary Mnuchin and Under Secretary Mandelker’s
leadership, we have deployed our tools and authorities strategically in order to counter the
greatest threats to U.S. and global security. Our sanctions tools range from full trade embargoes
to highly targeted financial measures against named individuals and entities who pose a threat
to U.S. national security and to the U.S. and international financial systems. We target terrorists
associated with al-Qa’ida, Hizballah, ISIS, and the Islamic Revolutionary Guard Corps-Qods
Force (IRGC-QF) to name a few, and entities associated with Iranian and North Korean weapons
of mass destruction and ballistic missile programs, among many others. Other recent examples
include actions against Nicolas Maduro and other members of the dictatorial regime in
Venezuela, drug kingpins, and last week – for instance – a currency counterfeiting ring
associated with the IRGC-QF.
The Treasury Department has pioneered the use of targeted sanctions as a tool of statecra , and
we continually refine how we employ financial pressure. Our approach integrates agencies,
authorities, and partners to ensure maximum economic pressure on sanctions targets and
violators. In recent years, we have developed new methods for targeting malign actors,
including restricting certain classes of business transactions with foreign entities and
jurisdictions, instead of targeting transactions with specific entities. For instance, we have
deployed sectoral sanctions to prohibit the provision of loans to state-run energy companies in
Russia as a consequence of Russian aggression against Ukraine. Recently, we also severely
restricted transactions in new debt or equity issued by the regime in Venezuela. We have found
https://home.treasury.gov/news/press-releases/sm0227

1/6

3/19/2020

Testimony of Assistant Secretary for Terrorist Financing Marshall Billingslea House Committee on Financial Services Subcommittee on M…

these types of targeted, sophisticated actions to be highly e ective at imposing specific,
selective consequences on regimes that pose a threat to international security.
I could name numerous examples in which our sanctions have been e ective. This
Administration has aggressively targeted ISIS leaders and operatives for their financial and
operational support to ISIS around the world, resulting in sanctions against over 70 ISIS senior
leaders, financial facilitators, recruiters, and a iliated money services businesses. U.S. and UN
designations, along with close cooperation between the U.S. and Iraqi authorities, have
e ectively shut down exchange houses that were functioning as key nodes of ISIS’s financial
facilitation networks, both by exposing their ties to the group and freezing millions of dollars in
tainted assets. Separately, we have also continued e orts to financially isolate al-Qa’ida and
other terrorist groups through unilateral and multilateral sanctions. Secretary Mnuchin recently
announced the opening of the Terrorist Financing Targeting Center (TFTC) in Saudi Arabia; in
conjunction with that announcement, the six Gulf Cooperation Council member-states imposed
sanctions on a network of al-Qa’ida in the Arabian Peninsula (AQAP) and ISIS-Yemen (ISIS-Y)
financiers and weapons brokers in Yemen. This Administration has targeted dozens of North
Korean individuals and entities, including coal companies, banks, and individuals who help
North Korea evade international sanctions, in order to constrict North Korea’s revenue sources.
Any revenue that North Korea generates can be used to support, directly or indirectly, its
weapons development programs. Finally, sanctions were the dominant factor in forcing Iran’s
leaders to the negotiating table over their nuclear weapons program. Even Hizballah’s leader,
Hassan Nasrallah, has acknowledged that donors have been scared to continue remitting funds
as a result of U.S. sanctions.
There are several reasons why sanctions are e ective tools. First, we employ these tools against
the backdrop of an international financial system that is increasingly attuned to the threats
posed by illicit finance, and one that is better able to identify and counter illicit activity. Over
the past many years, we have worked tirelessly to bolster the capacity of all countries to
establish and enforce financial transparency obligations. By strengthening anti-money
laundering/combating the financing of terrorism (AML/CFT) regimes across the globe, and by
working with other countries to ensure strict and consistent implementation, we have created
an environment in which UN sanctions have real e ects on the targeted individuals and entities,
rather than simply functioning as a list of bad actors. Separately, financial institutions around
the world routinely voluntarily screen their customers and transactions against the U.S.
sanctions list, which is widely considered to be a key resource for combating illicit finance. The
https://home.treasury.gov/news/press-releases/sm0227

2/6

3/19/2020

Testimony of Assistant Secretary for Terrorist Financing Marshall Billingslea House Committee on Financial Services Subcommittee on M…

private sector is therefore a critical partner in our e orts to detect and counter illicit activity.
Further, as a preventative measure, our partners frequently address a wide range of threats
before they ever reach the U.S. financial system.
Perhaps the most important intergovernmental partner we have in this endeavor is the
Financial Action Task Force (FATF), the global standard-setting organization for national e orts
to combat money laundering, terrorist financing, and proliferation financing. The FATF holds all
countries accountable for establishing the infrastructure to prevent, detect, and investigate such
activity, as well as to prosecute and punish the perpetrators. To accomplish this, the FATF and
its global network continually evaluate all countries’ AML/CFT regimes – including their laws
and e orts to disrupt terrorist financing, combat corruption, and implement national and
international sanctions – and then leverage the possibility of public identification to pressure
those falling behind to fulfil their commitments. Because the international financial community
closely follows the work conducted by FATF, and makes business decisions accordingly, finance
ministries and central banks around the world take FATF assessments very seriously. The
Treasury Department is a major participant in these assessments, and through the FATF
process, we also build and maintain a network of relationships which are critical to employing
and maintaining financial pressure on dangerous and irresponsible actors.
This leads me to a key reason that the U.S. government is so e ective in countering illicit
finance: “financial diplomacy.” A specific Treasury action is o en preceded by, and almost
always followed up with, engagement by the Treasury and State Departments with our allies
and partners in the public and private sectors. We also use relationships painstakingly built
over many years to coordinate with other countries, or pre-notify them of our actions. As a
general proposition, sanctions can be more e ective when they are implemented multilaterally.
That said, this Administration will not hesitate to take unilateral action, as necessary, to combat
threats to our security or to the integrity of the international financial system. But when and
where possible, we work with friendly nations to amplify our message and drive concerted
action. For instance, Treasury, in coordination with the State Department, shares detailed
information regarding North Korean activities with friends and allies to assist them in disrupting
sanctions evasion and illicit trade. This engagement at multiple levels helps partner nations to
conduct detailed forensic investigation and analysis and target North Korean financial networks
where they exist.
The United States also pursues this financial diplomacy through multilateral organizations. We
https://home.treasury.gov/news/press-releases/sm0227

3/6

3/19/2020

Testimony of Assistant Secretary for Terrorist Financing Marshall Billingslea House Committee on Financial Services Subcommittee on M…

are the leading proponent of sanctions at the UN. This Administration’s leadership at the UN to
combat the threat posed by North Korea, for example, resulted in the unanimous passing of two
UN Security Council resolutions that struck at the core of North Korea’s revenue generation.
These resolutions include embargoes on all importation of North Korean coal, iron, lead,
seafood, and textiles; restrict North Korea’s ability to acquire revenue from overseas laborers;
cut o over 55 percent of refined petroleum products going to North Korea; and ban all joint
ventures with North Korea to cut o foreign investments. These resolutions are central to our
e orts to mobilize the international community and to deny funds to Kim Jong-Un’s weapons
programs.
As I mentioned earlier, we are also a co-chair of the newly-established TFTC in Riyadh, Saudi
Arabia. In addition to the multilateral sanctions imposed on leaders, financiers, and facilitators
of ISIS-Y and AQAP, the TFTC enhances information sharing, institutionalizes capacity-building
to target terrorist financing networks that pose national security threats to the United States
and the Gulf, and deepens existing cooperation by coordinating disruptive action such as
designations. In fact, the United States is the most active sponsor of joint designations, whether
with our allies in the Gulf, the European Union, or with the United Kingdom. And, we have
strongly encouraged our partners to use their own unilateral and multilateral sanctions
authorities when applicable. For instance, the European Union designated Hizballah’s military
wing in 2013, and in March 2016, the Gulf Cooperation Council designated the entire group.
When our allies take leading roles in addressing threats to peace and security, as France recently
did at the UN with respect to Mali, and as Canada has done with sanctions on Venezuela, we
actively support them.
But an additional dimension to our financial diplomacy is that there are certain situations where
an action other than U.S. financial sanctions may do more for our national security. In certain
cases, we work with foreign partners to support their designations and enforcement actions. In
others, while we may have ample grounds to take our own action, from a messaging standpoint
it may prove to be more advantageous for another nation to lead. Or yet in other circumstances,
merely providing financial intelligence to a trusted foreign partner is all it takes to shutter a
terrorist exchange house or freeze a proliferator’s bank account. Finally, there are times and
places where certain individuals, fearing the threat of Treasury action, will voluntarily change
their behavior. In all of these situations, the ability and the willingness of Treasury to impose
financial sanctions is a factor in the deliberations of others. In other words, the e ectiveness of
U.S. sanctions is undeniable, given that even the implied threat of imposition can spur the
https://home.treasury.gov/news/press-releases/sm0227

4/6

3/19/2020

Testimony of Assistant Secretary for Terrorist Financing Marshall Billingslea House Committee on Financial Services Subcommittee on M…

results we want.
A third reason our sanctions are so e ective is the clarity and consistency of our message. When
engaging in designations, the U.S. Government leaves no doubt as to why we are imposing
sanctions, and what change we expect. For example, our sanctions on corrupt and dictatorial
Venezuelan o icials, and our refusal to participate in the wholesale looting of the Venezuelan
economy, are clearly aimed at the regime and not the Venezuelan people. We have made clear
that sanctions will be removed once democratic order is restored, but we will not stand by as
the Maduro kleptocracy drives the country into chaos.
A fourth important factor that influences the e ectiveness of sanctions is the extent to which the
target actually uses the international financial system, or has assets under the jurisdiction of the
United States or friendly nations. Of course, even when this is not the case, there can be
important value to a designation, particularly if it inhibits attempted transactions and other
malign activity. However, sanctions cause the most immediate, tangible e ect when they result
in the blocking of attempted transactions and/or the freezing of assets. One could cite a
number of examples of e ectiveness, such as over $30 billion in assets controlled by the regime
of former Libyan dictator Mu’ammar Qadhafi that were frozen, or more recently, the hundreds of
millions that we blocked which were associated with Tareck El Aissami, the Venezuelan Vice
President and a narcotics tra icker. It is standard practice at Treasury to work with our law
enforcement and intelligence partners, both within and outside the U.S. Government, to identify
any assets owned or controlled by designated persons. For example, Treasury just recently
designated a Chinese coal company that was laundering money for North Korea. As part of our
disruptive action, the Department of Justice filed a complaint to seize more than $4 million
related to the company.
A key element of Treasury’s continued success in countering national security challenges is the
collaboration of our various components in order to use our tools and authorities best suited for
each challenge. We use intelligence to inform our strategies, e ectively deploy our tools, ensure
actions are calibrated for maximum impact, and measure e ectiveness and inform follow-on
strategies and actions. We are constantly thinking through which complement of tools is most
e ective to counter national security threats, requiring all of Treasury’s components to work
closely together to achieve strategic objectives. An example of such teamwork was our
determination of the Bank of Dandong as a primary money laundering concern under Section
311 of the USA PATRIOT Act, which clearly explained the threat this bank posed to the U.S.
https://home.treasury.gov/news/press-releases/sm0227

5/6

3/19/2020

Testimony of Assistant Secretary for Terrorist Financing Marshall Billingslea House Committee on Financial Services Subcommittee on M…

financial system. We likewise explained to financial institutions both through formal guidance
and through informal outreach how North Korea launders money and evades sanctions. This
outreach has put financial institutions on notice to North Korea’s illicit activities, and has made
it harder for the Kim regime to raise revenue and move money. The message was clear, to quote
Secretary Mnuchin: foreign financial institutions “can choose to do business with the U.S or
North Korea, but not both.”
In conclusion, Mr. Chairman, I believe it is clear that targeted financial sanctions have been, and
will continue to be, e ective. But their impact derives from a host of other actions that both
precede, and follow upon, the act of designation. Sanctions are at the height of e ectiveness
when they are part of a broader, national security strategy that brings to bear the many di erent
instruments of power available to the U.S. Government, our partners, and key multilateral
organizations and initiatives.
I appreciate the opportunity to testify before the Committee today on this most important topic,
and welcome any questions that you may have.

https://home.treasury.gov/news/press-releases/sm0227

6/6