![]() § 615, a registrant shall keep and preserve the following books and records: §§ 5.300-5.307.ĭo I need to contact the FARA Unit to qualify for an exemption? Properly registered parties under the Lobbying Disclosure Act (in no case where a foreign government or a foreign political party is the principal beneficiary will this exemption be recognized).Legal representation of a disclosed foreign principal before any court or law or agency of the United States government.Certain activities relating to the defense of foreign governments vital to the United States defense.Religious, scholastic, academic, fine arts, or scientific pursuits.Bona fide commercial activity and other activity not serving predominantly a foreign interest.citizens and are not public-relations counsels, publicity agents, or information-service employees Certain registered foreign officials who are not U.S.Diplomatic officers and diplomatic staff.An agent of a foreign principal may be exempt from FARA’s registration obligations if the agent’s activities fall within one of the following exemptions: How long should I expect to wait for an Advisory Opinion? If the requester is not an individual, the request must be signed on behalf of each requesting party by an officer, a director, a person performing the functions of an officer or a director of, or an attorney for, the requesting party.Įach person signing the request must certify that it contains a true, correct and complete disclosure with respect to the proposed conduct. ![]() ![]() If the requester is an individual, the request must be signed by the prospective or current agent. Advisory Opinion requests may only be submitted by an actual party to the proposed activities, or the party’s attorney a fee of $96.00 is required. Any request must be specific and contain in detail all relevant and material information, including the names of the potential agents and principals, the nature of their activities, and a copy of any existing or proposed contract. The subject of the request must be an actual event, not a hypothetical situation, and may not involve only past conduct. There are some exemptions to FARA’s registration and labeling requirements for specified categories of agents and activities.Ī request for an Advisory Opinion must be made in writing to the FARA Unit. In addition, FARA requires agents to conspicuously label “informational materials” transmitted in the United States for or in the interest of a foreign principal. FARA requires the registration of, and disclosures by, an “agent of a foreign principal” who, either directly or through another person, within the United States (1) engages in “political activities” on behalf of a foreign principal (2) acts as a foreign principal’s public relations counsel, publicity agent, information-service employee, or political consultant (3) solicits, collects, disburses, or dispenses contributions, loans, money, or other things of value for or in the interest of a foreign principal or (4) represents the interests of the foreign principal before any agency or official of the U.S. FARA is an acronym for the Foreign Agents Registration Act of 1938, as amended, 22 U.S.C.
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