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VZCZCXYZ0005 OO RUEHWEB DE RUEHC #8877 3431741 ZNY SSSSS ZZH O 081733Z DEC 08 FM SECSTATE WASHDC TO AMEMBASSY RIYADH IMMEDIATE 0000
S E C R E T STATE 128877 SIPDIS SECRET//REL SAU E.O. 12958: DECL: 12/08/2018 TAGS: EFIN IR KNNP PARM PINR PREL SUBJECT: RESPONSE TO SAUDI REQUEST FOR RECOMMENDATIONS ON HOW TO INCREASE THE PRESSURE ON IRAN REF: A. RIYADH 1667 ¶ B. STATE 115523 Classified By: ISN PATRICIA A. MCNERNEY, REASONS 1.4(b) AND (d) ¶ 1. (U) This is an action request. Please see paragraph 4. ------- SUMMARY ------- ¶ 2. (S//REL SAU) During the week of 13 October and in response to ISN Acting Assistant Secretary Patricia McNerney's encouragement to help increase pressure on Iran to change course, Saudi MFA Undersecretary for Multilateral Affairs, Prince Turki Bin Mohamed Bin Saud Al-Kabeer requested U.S. recommendations on specific actions Saudi Arabia could take (REF A). Washington would like to provide the following non-paper to the Kingdom of Saudi Arabia (KSA), which contains suggestions on how to further enhance Saudi Arabia,s non-proliferation efforts with regard to Iran. ¶ 3. On October 16, 2008, the Financial Action Task Force (FATF) issued its fourth warning of the serious threat posed by Iran's lack of a sufficient anti-money laundering and counterterrorist financing regime (REF B). During the same plenary meeting, FATF also separately issued guidance on the steps that countries should take to implement UNSCR 1803's call for vigilance over the activities of financial institutions in their territories with all banks domiciled in Iran, in order to avoid such activities contributing to proliferation sensitive nuclear activities or to the development of nuclear weapon delivery systems. These two actions by the FATF, combined with the already widely held view that Iranian financial institutions play a key role in Iran's proliferation efforts, merit immediate action by countries to mitigate these illicit finance risks. ---------- OBJECTIVES ---------- ¶ 4. (S//REL SAU) Washington requests Embassy Riyadh approach Prince Turki, or other appropriate senior KSA officials, to discuss this issue and provide U.S. recommendations. Post should pursue the following objectives: -- Present the non-paper at paragraph 5 to KSA officials. -- Urge host government to issue a public statement that advances the October 2008 FATF statement on Iran, and encourage all regional partners to do the same. -- Encourage host government to carefully monitor any financial and commercial activity with Iran within KSA to ensure that Iran does not pursue illicit transactions via the KSA. -- Encourage host government to use its influence in the GCC to invigorate further actions by regional partners to enhance vigilance over financial and commercial activity with Iran, as is called for by the Financial Action Task Force and UNSCRs 1737, 1747, and 1803. -------- NONPAPER -------- ¶ 5. (S//REL SAU) BEGIN NON-PAPER FOR SAUDI ARABIA During Acting Assistant Secretary Patricia McNerney's visit to Saudi Arabia on 15 October 2008, she raised the issue of Iran's nuclear program and the need to increase pressure on the Iranian regime to address international concerns surrounding its nuclear activities. Undersecretary for Multilateral Affairs Prince Turki Bin Mohamed Bin Saud Al-Kabeer requested suggestions on steps the Kingdom of Saudi Arabia could take in this regard. We believe your government should consider taking action on the following key priorities: -- National Financial Measures -- Export Control Implementation -- Express Resolve on the Iranian Threat, and -- Full Implementation of UNSCRs, particularly 1803. Your vigilance thus far demonstrates your government,s recognition that real action must be taken to protect the region,s security by preventing Iranian proliferation. We believe that if your government implemented the actions suggested in this paper, it would not only allow you to exercise influential leadership with regional neighbors, it would significantly increase the pressure on Iran to cooperate with the international community and address its concerns. We would like to present to you the following recommendations and the United States is prepared to work with the KSA to assist with the incorporation of these measures into Saudi Arabia's nonproliferation system. National Financial Measures: -- We urge the Saudi Government to issue a public statement that advances the October 2008 Financial Action Task Force (FATF) statement on Iran. The Saudi statement should recommend heightened vigilance and the implementation of preventive measures, per FATF,s October statements, by all countries with respect to the financial transactions with Iran given the significant vulnerability that Iran poses to the international financial system. A statement like this from your government would send a clear message to your GCC partners that the risk arising from Iranian banking transactions is real and that action must be taken to protect the region,s banking system and prevent Iranian proliferation. -- On October 16, the FATF issued its fourth warning of the serious threat posed by Iran's lack of a sufficient anti-money laundering and counterterrorist financing regime. In contrast with prior FATF actions on Iran, this statement marked a significant escalation in concern about the terrorism finance threat emanating from Iran and ratcheted up the call for preventive measures that should be implemented by FATF members and other jurisdictions to protect their financial sectors from this risk. -- During the October plenary meeting, FATF also separately issued guidance on the steps that countries should take to implement United Nations Security Council Resolution (UNSCR) 1803's call for vigilance over the activities of financial institutions in their territories with all banks domiciled in Iran, in order to avoid such activities contributing to proliferation sensitive nuclear activities or to the development of nuclear weapon delivery systems. -- Iran uses deceptive tactics and front companies to disguise its proliferation activities. The U.S. recommends that Saudi Arabia highlight this fact with its domestic businesses and GCC partners. -- We also recommend that you reduce Saudi Arabian Industries Corporation (SABIC) activities in Iran,s petrochemicals market. The U.S. also proposes that Saudi Arabia suspend Iran-GCC free trade area talks until Iran accepts the P5 1 incentives package. -- U.S. Executive Order (E.O.) 13382 is an authority that allows the U.S. to block the assets of WMD proliferators and their supporters and thereby deny them access to the U.S. financial and commercial systems. The U.S. recommends that Saudi Arabia explore the creation of a similar legal authority. Export Control Implementation: -- Saudi Arabia should begin work on drafting a comprehensive export control law and adopt a comprehensive control list that meets international standards, including the standards set by the four multilateral export control regimes (Australia Group, Missile Technology Control Regime, Nuclear Suppliers Group, and Wassenaar Group). -- A comprehensive export control system will give Saudi Arabia the ability to ensure that its trade is secure and will encourage high technology investment. -- The United States is prepared to support Saudi Arabia in this regard, including through our Export Control and Related Border Security (EXBS) Program. Express Resolve on the Iranian Threat: -- Saudi Arabia should exercise leadership with neighbors in the region and publicly by expressing concerns about Iran,s continued pursuit of a nuclear weapons capability and destabilizing activities in the region. -- We would appreciate public expressions of support for the P5 1 dual track process including encouragement for Iran to accept the incentives package. -- Saudi Arabia should exercise its influence with China, in particular, to persuade China to reduce its growing energy/economic cooperation and weapons purchases. Such efforts by China run contrary to the spirit of the UNSCRs and the P5 1 dual track strategy. A high level Saudi delegation could communicate to China Saudi concerns about the threat posed by Iran,s actions. Full Implementation of UNSCRs: -- Full implementation of UNSCRs 1737 (2006), 1747 (2007), and 1803 (2008), through vigilance and action against Iran,s efforts to circumvent sanctions are key components to maintaining pressure on Iran. -- A useful step would be for KSA to vigorously implement UNSCR provisions such as freezing financial assets and imposing travel restrictions on designated entities and individuals, prohibit dual-use exports, call for inspections of IRISL and Iran Air Cargo shipment, and exercise vigilance over any activities of financial institutions in KSA with Iranian domiciled banks. -- As a reference, the U.S. 60-day report on implementation of UNSCR 1803 can be found at: www.un.org/sc/committees/1737/memberstatesrep orts.shtml END NONPAPER FOR SAUDI ARABIA ------------------ REPORTING DEADLINE ------------------ ¶ 6. (U) Post should report results within seven business days of receipt of this cable. Please address replies for ISN, IO, T, TREASURY, and NEA/IR. Please include SIPDIS in all replies. ---------------- POINT OF CONTACT ---------------- ¶ 7. (U) Washington point of contact for follow-up information is Nicole Menkhoff, ISN/RA, 202-736-4277, MenkhoffN@state.sgov.gov and Kevin McGeehan, ISN/CPI, 202-647-5408, McGeehanKJ@state.sgov.gov. RICE