Jamaica

Compliance/Financial Considerations

If you intend to do any of the following in Jamaica, please contact Risk Services at risk@berkeley.edu or 642-5141:

  • Hire a local to work for you as an employee
  • Purchase or lease office or research space
  • Purchase or lease an automobile
  • Establish a long-term (over 90 days) or ongoing project
  • Conduct a clinical trial 

U.S. GOVERNMENT COMPLIANCE CONSIDERATIONS 

Foreign activities may trigger many U.S. laws, including:

  • Import Controls
  • Export Controls
  • Tax Reporting
  • Foreign Bank Account Reporting
  • Country Embargoes and Targeted Sanctions
  • Foreign Corrupt Practices Act
  • Anti-Boycott Laws 

Import Controls. UC employees must adhere to U.S. import requirements, and may need to enlist the services of a customs broker, especially for shipments arriving by sea and subject to the Importer Security Filing 71730, also known as ISF 10+2. 

Export Controls. Export controls may apply to advanced software and technology, research data, and other sensitive assets. UC’s Export Compliance FAQ contains useful information and can be found here.  Go here for the University of California plan for compliance with federal export controls. If you plan on taking or sending potentially export-controlled materials to Jamaica, consult the campus Research Administration Compliance Office at 642-0120. 

Tax Reporting. The University and its employees may be taxed in foreign countries. The tax implications for operating in Jamaica may be found at the Internal Revenue Service’s United States-Jamaica Income Tax Convention. For further clarification, contact the Controller’s Office at:

Foreign Bank Account Reporting. The U.S. Treasury Department requires U.S. citizens with a financial interest in or signatory authority over a financial account in a foreign country, where accounts exceed $10,000 at any point during a calendar year, to report such accounts on a Report of Foreign Bank and Financial Accounts (FinCen Report 114). Those needing to complete the form should contact the Controller’s Office at cashiers@berkeley.edu or 643-9803 for assistance. An IRS 1040 Schedule B form (Part III–Foreign Accounts and Trusts) must be filed by the signatory for any foreign bank account, regardless of the account balance. 

Country Embargoes and Targeted Sanctions. In general, collaborations between University personnel and scholars at foreign institutions or organizations do not require export licenses unless they involve export-controlled or -restricted research or involve scholars in sanctioned countries. Before engaging in an international collaboration, the University needs to determine whether export licenses are required and to verify that the foreign collaborator is not blocked or sanctioned. The Office of Foreign Assets Control (OFAC) is responsible for enforcing all U.S. embargoes and sanctions. Depending on each country’s embargo or sanction program, activities may be prohibited without specific authorization or license. UC’s International Collaborations webpage contains additional information on this topic.   

The Foreign Corrupt Practices Act (FCPA) is intended to stop bribery. It prohibits offering to pay, paying, promising to pay, or authorizing the payment of money or anything of value to a foreign official. The term “foreign official” generally includes any employee or contractor of a foreign government, and may include individuals employed by foreign universities. It is also unlawful to make a payment to a third party knowing that all or part of the payment will go to a foreign official. For more information, review the federal government’s Resource Guide to the U.S. Foreign Corrupt Practices Act. If you need further clarification, contact the UC Berkeley Office of Legal Affairs at 642-7122.   Transparency International’s 2018 survey of perceived public sector corruption rated Jamaica at 44 out of 100 (70th out of 180 countries reviewed, i.e.  somewhat corrupt).

Anti-Boycott Laws.  The U.S. Department of Commerce is responsible for oversight of laws prohibiting individuals and entities from participating in boycotts not approved or sanctioned by the U.S. government. The Export Administration Act requires that requests to participate in such boycotts or to conduct activities in any of the boycotting countries be formally reported to the Department of Commerce and/or IRS.

For other compliance-related issues, refer to UC’s International Compliance webpage.   

ADDITIONAL CONSIDERATIONS FOR DOING BUSINESS INTERNATIONALLY

Foreign Bank Accounts. Employees wishing to open a foreign bank account should contact the Controller’s Office at cashiers@berkeley.edu or 643-9803. Requests to open accounts must be made through the Office of the President’s Banking and Treasury Services Group by the Chancellor or the Chancellor’s designee. 

Real Estate Agreements. Only employees with delegated authority to sign contracts on behalf of The Regents may enter into agreements, leases, or other contracts.  Foreign affiliates or operations must submit to the Real Estate Services Office property management agreements, personal property leases, or contracts with a term longer than one year or in an amount greater than $25,000 per year. The campus then seeks approval from the University president or designee. For more information, consult the Guidelines for the Establishment and Operation of Foreign Affiliate Organizations and Foreign Operations

Articles

The US State Department's page on JAMAICA may be found HERE.

Personal Safety

JAMAICA EXTENDS 2100--500 CURFEW UNTIL DECEMBER 1. OTHER INTERNAL COVID-19 RESTRICTIONS AND ENTRY REQUIREMENTS REMAIN UNCHANGED UNTIL NOVEMBER 30. ALL ARRIVING PASSENGERS WILL BE SUBJECT TO STRICT HEALTH SCREENINGS AND ASSESSMENTS; THE CURRENT MEASURES WILL REMAIN IN EFFECT THROUGH AT LEAST NOVEMBER 30. ALL NONRESIDENT FOREIGN TRAVELERS OVER THE AGE OF 12 ARRIVING FROM THE US, BRAZIL, DOMINICAN REPUBLIC, AND MEXICO ARE REQUIRED TO PRESENT A NEGATIVE COVID-19 PCR OR ANTIGEN TEST UPON ARRIVAL; THE TEST MUST BE TAKEN NO MORE THAN 10 DAYS BEFORE TRAVEL FROM AN ACCREDITED LABORATORY. ALL TRAVELERS FROM THESE LOCATIONS ARE REQUIRED TO SELF-QUARANTINE FOR 14 DAYS, REGARDLESS OF A NEGATIVE COVID-19 TEST RESULT. ALL TRAVELERS ASSESSED TO BE HIGH RISK MAY BE SUBJECT TO ADDITIONAL HEALTH TESTS AT THE AIRPORT. TRAVELERS WITH POSITIVE COVID-19 RESULT WILL BE REQUIRED TO ISOLATE AT HOME OR AN APPROVED GOVERNMENT FACILITY FOR 14 DAYS. AUTHORITIES COULD REIMPOSE, EXTEND, FURTHER EASE, OR OTHERWISE AMEND ANY RESTRICTIONS WITH LITTLE TO NO NOTICE DEPENDING ON DISEASE ACTIVITY. 

Note: this page contains basic risk information. For more details, please contact the Risk Services Office at risk@berkeley.edu.

If you are traveling to Jamaica on University-related business, please sign up for the University’s travel insurance program by going here. For more information on the travel insurance program, please go here.

Because everyone’s health is unique, we suggest seeking the advice of a medical professional before traveling internationally. Members of the campus community interested in protecting their health while abroad may schedule an appointment with the University Health Services International Travel.

Crime generally poses a high threat in Jamaica. Petty crime is an ever-present threat globally, but in Jamaica, other criminal threats include scams, property theft, homicide, rape, assault, gender-based violence and discrimination, and highway robbery and banditry. Criminal activity is most prevalent in Kingston. 

The trustworthiness, capabilities, and responsiveness of security services in Jamaica are generally poor. It is better to report crimes to your local embassy than local law enforcement. Police officers, especially tourist police, are typically able to speak foreign languages, including Spanish. 

The prevalence of demonstrations and/or anti-foreign sentiment in Jamaica is moderate. Potentially dangerous protests or endemic civil strife are most common in Kingston and areas away from tourist destinations. 

The threat of terrorism is minimal in Jamaica. No specific threats exist, and Jamaica may not currently be considered a potential target. 

For most foreign nationals, the threat of kidnapping in Jamaica is generally moderate; kidnappers are more likely to target locals. Victims may be held for long periods of time without any guarantee of safe release. 

Legal/Political

Criminal Penalties: You are subject to local laws. If you violate local laws, even unknowingly, you may be expelled, arrested, or imprisoned. Some laws are also prosecutable in the United States, regardless of local law. 

Arrest Notification: If you are arrested or detained, ask police or prison officials to notify the U.S. Embassy immediately. 

Firearms: Jamaica strictly forbids importing or possessing firearms in Jamaica without prior authorization of the Firearms Licensing Authority of Jamaica. A U.S. concealed carry permit does not allow you to bring a firearm or ammunition into Jamaica.

If you bring a firearm, firearm components, firearm parts, or ammunition (even a single bullet) to Jamaica, you will be arrested and prosecuted. This will result in a large fine and/or incarceration for an unspecified amount of time. Bringing mace, pepper spray, or knives into Jamaica without authorization will also lead to arrest.

LGBTI Travelers: Jamaican law contains specific prohibitions on “acts of gross indecency” – generally interpreted as any kind of physical intimacy – between persons of the same sex, in public or in private, and provides punishment of up to 10 years in prison. There is also a law that specifically prohibits even consensual same-sex sexual conduct between men.

Negative attitudes towards LGBTI issues are widespread in Jamaica. There are continued reports of serious discrimination and abuse against LGBTI individuals, including:

  • Assault
  • “Corrective rape” of women accused of being lesbians
  • Arbitrary detention
  • Mob attacks
  • Stabbings
  • Harassment of LGBTI patients by hospital and prison staff
  • Blackmail