Megan Gajewski Barnhill is a member of the International Trade practice at Bryan Cave Leighton Paisner LLP. Ms. Barnhill counsels foreign and domestic clients on regulatory matters related to international business transactions. Specifically, Ms. Barnhill advises clients on regulatory issues related to international trade, including U.S. export controls, trade sanctions, anti-boycott, and registration and reporting under the Foreign Agents Registration Act (FARA).
Ms. Barnhill regularly advises clients on issues related to U.S. export controls administered by the Department of State, Directorate of Defense Trade Controls, and the Department of Commerce, Bureau of Industry and Security. Ms. Barnhill has experience conducting due diligence reviews and compliance audits; developing compliance programs; preparing registrations, commodity jurisdiction and classification requests, notifications, and license applications; responding to government requests for information and administrative subpoenas; and assisting in day-to-day compliance on matters involving the International Traffic in Arms Regulations (ITAR) and Export Administration Regulations (EAR).
In addition, Ms. Barnhill counsels clients on issues related to trade sanctions administered by the Department of the Treasury, Office of Foreign Assets Control (OFAC), including sanctions programs related to countries (e.g., Iran, Syria and Cuba) and against individuals and entities. Ms. Barnhill has assisted clients in preparing license applications and in responding to administrative subpoenas related to trade sanctions issues. She also advises clients on compliance with the anti-boycott provisions administered by the Department of Commerce and the Department of the Treasury and on companies’ and individuals’ registration and reporting obligations under the FARA.
Megan was admitted to the Virginia bar in 2008 and the District of Columbia bar in 2009.
Education: Megan holds a J.D. from American University, Washington College of Law (Washington, DC, United States, 2008).
90-Day Wind Down Period Expires; First Wave of US Secondary Sanctions Against Iran Re-Imposed
Export Control Considerations: Beyond the Authorization
Trump Administration Unveils Strategy on Iran
Applicability of U.S. Export Controls on Emerging Technology
Despite Changes to Iran Sanctions in 2016, U.S. Reporting Requirements Related to Iran Activities Remain in Place
While US Continues to Expand Russia Sanctions, EU companies could be affected by the fallout
US Visa Waiver Program: Considerations for Non-US Persons Traveling to the United States
Despite Iran sanctions relief, limitations remain on non- US companies owned or controlled by US persons
Snapback and the potential for re-imposing the sanctions against Iran
Megan Gajewski Barnhill