substantive or artistic alteration or enhancement of the work). You are publishing on behalf of your government agency, where that agency is not primarily an educational or research institution and the editor, reviewer or publisher does not provide substantive editing (i.e. These sanctions may require obtaining OFAC approval before conducting research or other activities in or involving the sanctioned country.You are acting on behalf of your government institution, where the primary function of the institution is education or research or.You are acting in your personal capacity, in other words “not as an official representative or otherwise on behalf of a sanctioned government” or.11/2020 New US Sanctions Targeting Iran 10 January 2020 Executive Order 24 June 2019. If you are an author located in a sanctioned country, and you are not a Specially Designated National, your article may be edited or published in an Elsevier journal if: US Designations in Respect of Iran Sanctions November 2020. Here you can read our Public Release of the guidance and below is a summary of the advice: This advice was confirmed by the guidance from OFAC dated OctoberĢ016. Many economic sanctions statutes, regulations, and executive orders will continue to govern. With the JCPOA and the still-outstanding Joint Plan of Action, the devil is in the details. Elsevier-specific advice from OFAC after acceptance of the manuscriptĪfter a letter from OFAC addressed to Elsevier in October 2015, our guidance for publication of manuscripts by authors from the affected countries has changed. and UN economic sanctions has been in the news since the July 14, 2015, conclusion of the Joint Comprehensive Plan of Action, signed between Iran and the G-5 +1 group.