1. RIGHTS-BASED SANCTIONS PROCEDURES.
- Author
-
LeClercq, Desiree
- Subjects
Strict liability -- Remedies -- Laws, regulations and rules ,Commercial policy -- Evaluation ,National security -- Management -- Laws, regulations and rules ,Labor law -- Evaluation ,Commercial treaties -- Interpretation and construction ,Public notice (Law) -- Laws, regulations and rules ,Alien labor -- Management -- Laws, regulations and rules ,Administrative discretion -- Management -- Laws, regulations and rules ,Sanctions (International law) -- Laws, regulations and rules ,United States. Office of the United States Trade Representative -- Analysis ,United States. Office of Foreign Assets Control -- Analysis ,Government regulation ,Company business management ,Trade Act of 2002 ,Declaration on Fundamental Principles and Rights at Work, 1998 ,International Emergency Economic Powers Act ,Administrative Procedure Act ,PATRIOT Act of 2001 ,United States Constitution (U.S. Const. art. 1-2) - Abstract
INTRODUCTION I. THE GENEALOGY OF SOCIAL SANCTIONS PROGRAMS A. The National Security Origins of Sanctions B. The Office of Financial Asset Control (OFAC) C. Criticism of OFAC' Procedures 1. OFA [...], Federal agencies are increasingly interpreting international labor rights and imposing a wide array of economic and financial penalties, or "rights-based sanctions," under various laws and regulations. Congress recently vested the Office of the United States Trade Representative (USTR) with authority to impose targeted rights-based sanctions on foreign factories. USTR has begun administering its new authority with vigor. Policymakers and rights advocates hope that USTR's enforcement activities will strengthen the protection of workers abroad. Hidden from view, and thus largely overlooked, are the exclusory procedures that agencies follow when they administer rights-based sanctions. The Treasury Department's Office of Financial Asset Control (OFAC) has investigated and enforced rights-based sanctions against governments andforeign targets under national security legislation for decades. Its programs show how exclusory procedures harm vulnerable communities and undermine rights protections. Yet, like OFAC, USTR investigates and decides enforcement actions behind closed doors and without always consulting regulated communities. Under its newfound authority, USTR also imposes financial penalties on foreign entities without offering advanced notice, a public hearing, or meaningful judicial review. The Biden Administration has launched a "worker-centered" trade policy to protect workers abroad. If it hopes to achieve those cosmopolitan objectives, USTR's procedures must draw lessons from OFAC's harmful model. By reframing labor rights as participatory processes, this Article advances a frameworkfor rights-based sanctions procedures capable of achieving the Administration's rights-based objectives.
- Published
- 2023