
Blocked vs. Rejected Transactions Under OFAC: Key Differences (and Why They Matter)
Many companies (and individuals) believe “blocked” and “rejected” mean the same thing for purposes of transactions potentially subject to U.S. economic sanctions programs administered by the U.S. Department of the Treasury’s Office of Foreign Assets Control (“OFAC”). They do not. Confusing the two concepts can mean the difference between compliance and a violation of U.S. law in a strict liability setting. Depending on the scenario involving a sanctioned target, OFAC’s regulations may require either a blocking action or a rejection of the underlying transaction(s), with distinct legal and reporting obligations—particularly for U.S. persons. While reporting duties generally apply only to U.S. persons, non-U.S. persons should





























