On June 11, 2026, OFAC released a list of the medical devices that do not require a specific license to be exported to North Korea (i.e., items that are covered by the Feb. 2024 general license incorporated directly into the North Korea Sanctions Regulations at 31 C.F.R. § 510.521, as long as they also meet the FDA’s definition of a “device”).
You might think this is old news. But it is interesting because the North Korea general license for agricultural commodities, medicine, and medical devices always promised that this particular list would be available on OFAC’s website. It was not. Instead, exporters of medical devices had to infer coverage based on the 2017 list of items that do not require a specific license to be exported to Iran.
Disclaimer: Our practice focuses on U.S. trade regulations (and related federal regulations, like ICTS, as they emerge). We do not advise on state laws or on the laws of any other country.