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Tuesday, 03/06/2012 3:04:55 PM

Tuesday, March 06, 2012 3:04:55 PM

Post# of 27968
Just a reminder that OPIC has to do business with either U.S. citizens or U.S. companies - so there still is a possibility that the new owner of SNRY just may be Global Sun Partners.

That would be great.

http://www.aravapower.com/Company%20Profile

Company Profile

Arava Power Company is Israel’s leading solar developer and a pioneer in mid-size and large-size solar fields using photovoltaic technology. Founded in 2006, Arava Power seeks to supply 10% of Israel's electricity needs through alliances with kibbutzim, Negev Bedouin and other land owners, especially in the south of the country. In 2009, Siemens partnered with Arava Power and invested $15 million to acquire a 40 percent stake in the company. JNF-KKL is also an investor.
On June 5, 2011, Arava Power Company launched Israel's first commercial solar field at Kibbutz Ketura – a 100 million NIS installation financed by Bank HaPoalim - and announced their planned pipeline of over 400 megawatts, comprising an investment of approximately $1.5 billion. On February 7, 2012, Arava Power announced that they had received a license for the Tarabin Solar Field, the first solar field for the Bedouin community. Financing for the $30 million Tarabin installation is to be provided by OPIC – the Overseas Private Investment Corporation of the United States Government.



http://www.opic.gov/doing-business/investor-screener

This page is designed to provide a preliminary assessment of whether OPIC services are available for your company. OPIC has some restrictions regarding the countries and types of industries in which we can work. The following will help determine if your proposed overseas project may qualify (click the question for a description/answer):

Are you a U.S. business or a U.S. citizen?
Is your project in a country in which OPIC can do business?
Have you contacted the private sector for involvement in your project?
Does your project fall within one of our categorically prohibited sectors?
Would your project result in the closing of a U.S. operation or a reduction of your U.S. workforce?
Does your project fall within a sector that has experienced significant job loss in the U.S. within the past decade?
Will your project uphold International Labor Organization worker rights standards?


We welcome you to our agency and look forward to working with you. Before you move on, please visit the Office of Investment Policy to learn about how the policies that govern OPIC will affect your project from initiation through the completion of OPIC support.

If yes, then OPIC may be able to work with you.

For financing, OPIC expects a U.S. equity or debt investor to assume a meaningful share of the risk, generally in the range of 25 percent of the project cost. Exceptions to the amount of investment requirement may be made in cases where U.S. brand-name franchisors, operators or contractors are significantly involved in the project on a long-term basis.

OPIC insurance is available to:

U.S. citizens;
corporations, partnerships or other associations created under the laws of the United States, its states or territories, and beneficially owned by U.S. citizens;*
foreign corporations that are more than 95 percent owned by investors eligible under the above criteria; and
other foreign entities that are 100 percent U.S.-owned.
* OPIC deems a corporation organized under the laws of the United States or its states and territories to be beneficially owned by U.S. citizens if more than 50 percent of each class of its issued and outstanding stock is owned by U.S. citizens either directly or beneficially. Where shares of stock of a corporation with widely dispersed public ownership are held in the names of trustees or nominees (including stock brokerage firms) with addresses in the United States, such shares may be deemed to be owned by U.S. citizens unless the investor has knowledge to the contrary. OPIC also permits the beneficial ownership of U.S. corporations to be determined by tracing back through any foreign ownership of their shares to the ultimate beneficial owners.

If yes, then OPIC may be able to support your project. Where we work:

Africa & the Middle East

Algeria
Angola
Bahrain
Benin
Botswana
Burkina Faso
Burundi
Cameroon
Cape Verde
Central African Republic
Chad
Comoros
Congo
Congo, Democratic Republic of
Côte d’Ivoire
Djibouti
Egypt
Equatorial Guinea
Eritrea
Ethiopia
Gabon
Gambia
Ghana
Guinea
Guinea-Bissau
Iraq
Israel
Jordan
Kenya
Kuwait
Lebanon
Lesotho
Liberia
Madagascar
Malawi
Mali
Mauritania
Mauritius
Morocco
Mozambique
Namibia
Niger
Nigeria
Oman
Rwanda
São Tomé and Príncipe
Senegal
Sierra Leone
Somalia
South Africa
Swaziland
Tanzania
Togo
Tunisia
Uganda
West Bank and Gaza
Yemen
Zambia
Zimbabwe
Asia & the Pacific

Afghanistan
Bangladesh
Cambodia
Cook Islands
Fiji
India
Indonesia
Kiribati
Laos
Malaysia
Maldives
Marshall Islands
Micronesia, Federated States of
Mongolia
Nepal
Pakistan
Palau
Papua New Guinea
Philippines
Samoa
Singapore
South Korea
Sri Lanka
Taiwan
Thailand
Timor-Leste
Tonga
Vietnam
Europe & Eurasia

Albania
Armenia
Azerbaijan
Bosnia and Herzegovina
Bulgaria
Croatia
Cyprus
Czech Republic
Estonia
Georgia
Greece
Hungary
Ireland
Kazakhstan
Kosovo
Kyrgyzstan
Latvia
Lithuania
Macedonia
Malta
Moldova
Montenegro
Northern Ireland
Poland
Portugal
Romania
Russia
Serbia
Slovakia
Slovenia
Tajikistan
Turkey
Turkmenistan
Ukraine
Uzbekistan
Latin America & the Caribbean

Anguilla
Antigua and Barbuda
Argentina
Aruba
Bahamas
Barbados
Belize
Bolivia
Brazil
Chile
Colombia
Costa Rica
Curacau
Dominica
Dominican Republic
Ecuador
El Salvador
French Guiana
Grenada
Guatemala
Guyana
Haiti
Honduras
Jamaica
Mexico
Nicaragua
Panama
Paraguay
Peru
St. Kitts and Nevis
St. Lucia
St. Maarten
St. Vincent and the Grenadines
Suriname
Trinidad and Tobago
Turks and Caicos
Uruguay


If not, then you should consider contacting private banks and insurers to gauge their willingness to participate in your project. If yes, and if private sector banks and insurers have expressed unwillingness to work with you, then OPIC may be able to support your project.

If no, then OPIC may be able to provide support for your project.

Categorically Prohibited Sectors:
Projects that involve conversion or degradation of Critical Forest Areas or related Critical Natural Habitats. "Critical Natural Habitats" means (1) existing internationally recognized protected areas, areas initially recognized as protected by traditional local communities (e.g., sacred groves), and sites that maintain conditions vital to the viability of protected areas (as determined by the environmental assessment procedure); and (2) sites identified on supplementary lists by authoritative sources identified by OPIC (such sites may include areas recognized by traditional local communities (e.g., sacred groves), areas with known high suitability for biodiversity conservation and sites that are critical for vulnerable, migratory or endangered species; listings are based on systematic evaluations of such factors as species richness, the degree of endemism, rarity, and vulnerability of component species, representativeness and the integrity of ecosystem processes). "Critical Forest Areas" means a type of natural forest that qualifies as Critical Natural Habitat.
Projects involving the construction of "large dams" that significantly and irreversibly: (A) disrupt natural ecosystems upstream or downstream of the dam, or (B) alter natural hydrology, or (C) inundate large land areas, or (D) impact biodiversity, or (E) displace large numbers of inhabitants (5,000 persons or more) or (F) impact local inhabitants' ability to earn a livelihood.
Projects involving the commercial manufacturing of ozone-depleting substances (ODS) or the production or use of persistent organic pollutants (POPS) that are banned or scheduled to be phased out of production and use by international agreement during the life of the project. A list of these substances and chemicals can be obtained from OPIC on request. The ODS list is defined by the Montreal Protocol as amended and US implementing regulations. The POPs prohibition refers to twelve products whose ban and phase out are provided for under the Rotterdam Convention of 2004. OPIC's prohibition is consistent with the position of the U.S. government in the negotiations that preceded such convention with respect to the various categories of POPs, which include pesticides, industrial chemicals and unintentional by-products.
Projects that require resettlement of 5,000 or more persons.
Projects in or impacting natural World Heritage Sites (areas of significant ecological value that have been internationally recognized as necessary for strict protection by members of the World Heritage Convention).
Projects in or impacting areas on the United Nations List of National Parks and Protected Areas.
Extraction or infrastructure projects in or impacting: protected area Categories I, II, III, and IV (Strict Nature Reserve/Wilderness Areas and National Parks; Natural Monuments and Habitat/Species Management Areas), as defined by the International Union for the Conservation of Nature. Projects in IUCN Categories V (Protected Landscape/Seascape) and VI (Managed Resource Protected Area) must be consistent with IUCN management objectives.
Areas protected by the Ramsar Convention are considered within the appropriate IUCN Category to which they are assigned.
Projects established as a result or in contemplation of reducing or terminating U.S. based operations. Such operations include "runaway plants" as well as outsourcing the provision of goods and services from the United States. Business process outsourcing (BPO), such as software design, customer service and accounting functions, is also included within this prohibition.
Projects involving gambling; tobacco or related products; alcoholic beverages (if contrary to local religious or cultural norms); media communications of an adult or political nature; or military production or sales.
Pharmaceuticals or medical equipment not approved for use by the U.S. Food and Drug Administration or by a public health authority from one of the countries listed under the Drug Export Act of 1986.
If no, then OPIC may be able to provide support for your project.

If no, then OPIC may be able to provide support for your project.

If yes, then OPIC may be able to support your project.

Worker Rights
OPIC's statutory requirements regarding worker rights can be summarized as follows:

OPIC may operate in countries if they currently have, or are taking steps to adopt and implement, laws that extend internationally recognized worker rights.
OPIC cannot provide assistance for any program, project, or activity that contributes to the violation of "internationally recognized workers rights." These "internationally recognized worker rights" include:
The right of association;
The right to organize and bargain collectively;
Prohibition of forced or compulsory labor;
Minimum age for employment; and
Acceptable conditions of work with respect to minimum wages, hours of work, and occupational health and safety.
OPIC must include the following language in every project contract:
"The investor agrees not to take actions to prevent employees of the foreign enterprise from lawfully exercising their right of association and their right to organize and bargain collectively. The investor further agrees to observe applicable laws relating to a minimum age for employment of children, acceptable conditions of work with respect to minimum wages, hours of work and occupational health and safety, and not to use forced labor. The investor is not responsible under this paragraph for the actions of a foreign government."

Every project is reviewed for its compliance with the OPIC statutory worker rights requirements. Each review includes a country-level analysis with respect to labor laws and general country labor conditions, and a project-level analysis with respect to sector and specific project activities, location, size, number of workers, and the nature of work performed.

OPIC supports U.S. investment in emerging markets worldwide, fostering development & the growth of free markets.