Erik Woodhouse
Overview
Erik Woodhouse is a partner in Crowell & Moring’s Washington, D.C. office and a member of the firm's International Trade and Financial Services groups, where he provides in-depth experience and practical solutions on sensitive economic sanctions and anti-money laundering matters, informed by his experience in private practice and in government at the Department of the Treasury and the Department of State.
Career & Education
- Department of State
 Deputy Assistant Secretary, Division for Counter Threat Finance and Sanctions, Bureau of Economic & Business Affairs, 2021–2024
 Attorney-Adviser, Treaty Affairs, Office of the Legal Adviser, 2012–2014
 Attorney-Adviser, Human Rights and Refugee Affairs, Office of the Legal Adviser, 2009–2012
- Department of the Treasury
 Counselor, Office of International Affairs, 2016–2017
 Senior Advisor to Under Secretary for International Affairs, Office of International Affairs, 2014–2016
 
- Department of State
- The George Washington University School of Law, Professional Lecturer in Law. Course: International Litigation, Spring 2019 and Spring 2020 - Stanford University, Program on Energy & Sustainable Development, Post-Doctoral Fellow, 2004-2005 
- Stanford Law School, J.D., with distinction, 2004
- Emory University, B.A., 2000
 
- District of Columbia
- New York
 
- U.S. Court of Appeals for the Ninth Circuit
- Clerk to Circuit Judge M. Margaret McKeown, 2005
- Clerk to Circuit Judge M. Margaret McKeown, 2006
 
Erik's Insights
Client Alert | 9 min read | 10.28.25
Key Takeaways from a Consequential Month of Russia-Related Sanctions
The United States, European Union, and United Kingdom have significantly escalated Russia-related sanctions the past month, including the Trump Administration’s first sanctions directly imposed on Russia. These coordinated actions—which particularly target the Russian energy sector—indicate that Russia sanctions remain on the geopolitical agenda and require multinational companies to remain vigilant in their compliance with those sanctions.
- Client Alert | 7 min read | 09.23.25 
- Client Alert | 9 min read | 09.22.25 - From Deepfakes to Sanctions Violations: The Rise of North Korean Remote IT Worker Schemes 
- Client Alert | 4 min read | 08.06.25 - FinCEN Delays Implementation Date and Reopens AML/CFT Rule for Investment Advisers 
Representative Matters
- Advised major U.S. multinational company in responding to OFAC investigation and directly managed the internal investigation and team of associates that supported the client’s response.
- Advised U.S., European and Latin American multinational companies, financial institutions, and insurers on U.S. sanctions rules.
- Prepared and submitted voluntary self-disclosures and license requests to OFAC.
- Advised major U.S./European banks, companies, and fintech clients on Bank Secrecy Act compliance, including customer due diligence rule and application of Bank Secrecy Act rules to money services businesses.
Erik's Insights
Client Alert | 9 min read | 10.28.25
Key Takeaways from a Consequential Month of Russia-Related Sanctions
The United States, European Union, and United Kingdom have significantly escalated Russia-related sanctions the past month, including the Trump Administration’s first sanctions directly imposed on Russia. These coordinated actions—which particularly target the Russian energy sector—indicate that Russia sanctions remain on the geopolitical agenda and require multinational companies to remain vigilant in their compliance with those sanctions.
- Client Alert | 7 min read | 09.23.25 
- Client Alert | 9 min read | 09.22.25 - From Deepfakes to Sanctions Violations: The Rise of North Korean Remote IT Worker Schemes 
- Client Alert | 4 min read | 08.06.25 - FinCEN Delays Implementation Date and Reopens AML/CFT Rule for Investment Advisers 
Insights
- Outgoing Official: Biden Administration Will Leave Legacy Of International Sanctions Cooperation |- 11.18.24 - Global Investigation Review 
 
- |07.07.25 Crowell & Moring’s International Trade Law 
- The Maximum Pressure Campaign Escalates: OFAC Designates a Chinese Refiner of Iranian Crude |- 03.20.25 - Crowell & Moring’s International Trade Law 
- President Trump’s Executive Orders & Actions – Sanctions |- 01.23.25 - Crowell & Moring’s International Trade Law 
- Parting Shots by Biden Administration in the Form of Sweeping New Russia Sanctions |- 01.21.25 - Crowell & Moring’s International Trade Law 
- OFAC Issues New Syria General License and Updates FAQs |- 01.09.25 - Crowell & Moring’s International Trade Law 
 
Erik's Insights
Client Alert | 9 min read | 10.28.25
Key Takeaways from a Consequential Month of Russia-Related Sanctions
The United States, European Union, and United Kingdom have significantly escalated Russia-related sanctions the past month, including the Trump Administration’s first sanctions directly imposed on Russia. These coordinated actions—which particularly target the Russian energy sector—indicate that Russia sanctions remain on the geopolitical agenda and require multinational companies to remain vigilant in their compliance with those sanctions.
- Client Alert | 7 min read | 09.23.25 
- Client Alert | 9 min read | 09.22.25 - From Deepfakes to Sanctions Violations: The Rise of North Korean Remote IT Worker Schemes 
- Client Alert | 4 min read | 08.06.25 - FinCEN Delays Implementation Date and Reopens AML/CFT Rule for Investment Advisers 




