Currently released so far... 4040 / 251,287
Articles
Browse latest releases
2010/12/01
2010/12/02
2010/12/03
2010/12/04
2010/12/05
2010/12/06
2010/12/07
2010/12/08
2010/12/09
2010/12/10
2010/12/11
2010/12/12
2010/12/13
2010/12/14
2010/12/15
2010/12/16
2010/12/17
2010/12/18
2010/12/19
2010/12/20
2010/12/21
2010/12/22
2010/12/23
2010/12/24
2010/12/25
2010/12/26
2010/12/27
2010/12/28
2010/12/29
2010/12/30
2011/01/01
2011/01/02
2011/01/04
2011/01/05
2011/01/07
2011/01/09
2011/01/10
2011/01/11
2011/01/12
2011/01/13
2011/01/14
2011/01/15
2011/01/16
2011/01/17
2011/01/18
2011/01/19
2011/01/20
2011/01/21
2011/01/22
2011/01/23
2011/01/24
2011/01/25
2011/01/26
2011/01/27
2011/01/28
2011/01/29
2011/01/30
2011/01/31
2011/02/01
2011/02/02
2011/02/03
2011/02/04
2011/02/05
2011/02/06
2011/02/07
2011/02/08
2011/02/09
2011/02/10
2011/02/11
2011/02/12
2011/02/13
Browse by creation date
Browse by origin
Embassy Athens
Embassy Asuncion
Embassy Astana
Embassy Asmara
Embassy Ashgabat
Embassy Ankara
Embassy Amman
Embassy Algiers
Embassy Addis Ababa
Embassy Accra
Embassy Abuja
Embassy Abu Dhabi
Embassy Abidjan
Consulate Amsterdam
American Institute Taiwan, Taipei
Embassy Bujumbura
Embassy Buenos Aires
Embassy Budapest
Embassy Bucharest
Embassy Brussels
Embassy Bridgetown
Embassy Bratislava
Embassy Brasilia
Embassy Bogota
Embassy Bishkek
Embassy Bern
Embassy Berlin
Embassy Belgrade
Embassy Beirut
Embassy Beijing
Embassy Banjul
Embassy Bangkok
Embassy Bandar Seri Begawan
Embassy Bamako
Embassy Baku
Embassy Baghdad
Consulate Barcelona
Embassy Copenhagen
Embassy Conakry
Embassy Colombo
Embassy Chisinau
Embassy Caracas
Embassy Canberra
Embassy Cairo
Consulate Curacao
Consulate Casablanca
Consulate Cape Town
Embassy Dushanbe
Embassy Dublin
Embassy Doha
Embassy Djibouti
Embassy Dhaka
Embassy Dar Es Salaam
Embassy Damascus
Embassy Dakar
Consulate Dubai
Embassy Kyiv
Embassy Kuwait
Embassy Kuala Lumpur
Embassy Kinshasa
Embassy Kigali
Embassy Khartoum
Embassy Kampala
Embassy Kabul
Embassy Luxembourg
Embassy Luanda
Embassy London
Embassy Lisbon
Embassy Lima
Embassy Lilongwe
Embassy La Paz
Consulate Lagos
Mission USNATO
Embassy Muscat
Embassy Moscow
Embassy Montevideo
Embassy Monrovia
Embassy Minsk
Embassy Mexico
Embassy Maputo
Embassy Manama
Embassy Managua
Embassy Malabo
Embassy Madrid
Consulate Munich
Consulate Montreal
Consulate Monterrey
Embassy Pristina
Embassy Pretoria
Embassy Prague
Embassy Port Au Prince
Embassy Phnom Penh
Embassy Paris
Embassy Paramaribo
Embassy Panama
Consulate Peshawar
REO Basrah
Embassy Rome
Embassy Riyadh
Embassy Riga
Embassy Reykjavik
Embassy Rangoon
Embassy Rabat
Consulate Rio De Janeiro
Consulate Recife
Secretary of State
Embassy Stockholm
Embassy Sofia
Embassy Skopje
Embassy Singapore
Embassy Seoul
Embassy Sarajevo
Embassy Santo Domingo
Embassy Santiago
Embassy Sanaa
Embassy San Salvador
Embassy San Jose
Consulate Strasbourg
Consulate Shenyang
Consulate Shanghai
Consulate Sao Paulo
Embassy Tunis
Embassy Tripoli
Embassy Tokyo
Embassy The Hague
Embassy Tel Aviv
Embassy Tehran
Embassy Tegucigalpa
Embassy Tbilisi
Embassy Tashkent
Embassy Tallinn
USUN New York
USEU Brussels
US Mission Geneva
US Interests Section Havana
US Delegation, Secretary
UNVIE
Embassy Ulaanbaatar
Browse by tag
AF
AR
ASEC
AEMR
AORC
AJ
AMGT
ACOA
AEC
AO
AE
AU
AFIN
AX
AMED
ADCO
AG
AODE
APER
AFFAIRS
AC
AS
AM
AL
ASIG
ABLD
ABUD
AA
AFU
ASUP
AROC
ATFN
AVERY
AGMT
ATRN
CO
CH
COUNTER
CDG
CI
CU
CVIS
CIS
CA
CBW
CF
CLINTON
CM
CASC
CMGT
CN
CE
CJAN
CONDOLEEZZA
COE
CR
CY
CG
CS
CD
CTM
COUNTRY
CLEARANCE
CPAS
CWC
CT
CKGR
CB
CACS
COM
CJUS
CARSON
COUNTERTERRORISM
CIA
CACM
CDB
CV
CAN
ECON
ETTC
ELN
EPET
ENRG
EFIN
EAID
EINV
EG
EWWT
ELAB
EUN
EU
EAIR
ETRD
ECPS
ER
EINT
EIND
EAGR
EMIN
ELTN
EFIS
EI
EN
ES
EC
EXTERNAL
ECIN
EINVETC
ENVR
ENIV
EZ
EINN
ENGR
EUR
ECA
ET
ESA
ENERG
EK
ELECTIONS
ECUN
EINVEFIN
ECIP
EINDETRD
EUC
EREL
IC
IR
IS
IAEA
IZ
IT
ITPHUM
IV
IPR
IWC
IQ
IN
IO
ID
ICTY
ISRAELI
IRAQI
IIP
ICRC
ICAO
IMO
IF
ILC
IEFIN
INRB
INTELSAT
IL
IA
IBRD
IMF
ITALY
ITALIAN
INTERPOL
IRAJ
INRA
INRO
KNNP
KDEM
KIRF
KWMN
KPAL
KPAO
KGHG
KN
KS
KJUS
KDRG
KSCA
KIPR
KHLS
KGIC
KRAD
KCRM
KCOR
KE
KSPR
KG
KZ
KTFN
KISL
KTIA
KHIV
KWBG
KACT
KPRP
KU
KAWC
KOLY
KCIP
KCFE
KOCI
KV
KMDR
KPKO
KTDB
KMRS
KFRD
KTIP
KLIG
KBCT
KICC
KMCA
KGIT
KSTC
KUNR
KPAK
KNEI
KSEP
KPOA
KFLU
KNUP
KNNPMNUC
KVPR
KOMC
KAWK
KO
KTER
KSUM
KHUM
KRFD
KBIO
KBTR
KDDG
KWWMN
KFLO
KSAF
KBTS
KPRV
KMPI
KHDP
KNPP
KNAR
KWMM
KERG
KFIN
KTBT
KCRS
KRVC
KR
KPWR
KWAC
KMIG
KSEC
KIFR
KDEMAF
KGCC
KPIN
KNUC
KPLS
KIRC
KCOM
KDEV
MOPS
MX
MNUC
MEPP
MARR
MTCRE
MK
MTRE
MASS
MU
MCAP
ML
MO
MP
MA
MY
MIL
MDC
MTCR
MAR
MEPI
MRCRE
MI
MT
MR
MQADHAFI
MD
MAPS
MUCN
MASC
MASSMNUC
MPOS
MZ
MOPPS
MAPP
MG
MCC
OREP
ODIP
OTRA
OVIP
OSCE
OPRC
OAS
OFDP
OIIP
OPIC
OPDC
OEXC
OECD
OPCW
OSCI
OIE
OTR
OVP
OFFICIALS
OSAC
PGOV
PREL
PTER
PINR
PINS
PARM
PHUM
PARMS
PREF
PBTS
PK
PHSA
PROP
PE
PO
PA
PM
PMIL
PL
PTERE
POL
PF
PALESTINIAN
PY
PGGV
PNR
POV
PAK
PAO
PFOR
PHALANAGE
PARTY
PNAT
PROV
PEL
PGOVE
POLINT
PRAM
POLITICS
PEPR
PSI
PINT
PSOE
PU
POLITICAL
PARTIES
PBIO
PECON
POGOV
PINL
PKFK
PGOF
SMIG
SNAR
SOCI
SENV
SO
SP
SW
SHUM
SR
SCUL
SY
SA
SF
SZ
SU
SL
SYR
ST
SANC
SC
SAN
SIPRS
SK
SH
SI
STEINBERG
SN
SG
UK
UNGA
UP
UNSC
UZ
UN
UY
UE
UNESCO
UAE
UNO
UNEP
UG
US
USTR
UNHCR
UNMIK
UNDP
UNHRC
USAID
UNCHS
UNAUS
USUN
USEU
UV
Browse by classification
Community resources
courage is contagious
Viewing cable 10STATE15856, S) TURKISH FIRMS ENGAGED IN MILITARY
If you are new to these pages, please read an introduction on the structure of a cable as well as how to discuss them with others. See also the FAQs
Understanding cables
Every cable message consists of three parts:
- The top box shows each cables unique reference number, when and by whom it originally was sent, and what its initial classification was.
- The middle box contains the header information that is associated with the cable. It includes information about the receiver(s) as well as a general subject.
- The bottom box presents the body of the cable. The opening can contain a more specific subject, references to other cables (browse by origin to find them) or additional comment. This is followed by the main contents of the cable: a summary, a collection of specific topics and a comment section.
Discussing cables
If you find meaningful or important information in a cable, please link directly to its unique reference number. Linking to a specific paragraph in the body of a cable is also possible by copying the appropriate link (to be found at theparagraph symbol). Please mark messages for social networking services like Twitter with the hash tags #cablegate and a hash containing the reference ID e.g. #10STATE15856.
Reference ID | Created | Released | Classification | Origin |
---|---|---|---|---|
10STATE15856 | 2010-02-22 15:03 | 2010-11-28 18:06 | SECRET | Secretary of State |
VZCZCXYZ0018
OO RUEHWEB
DE RUEHC #5856 0531551
ZNY SSSSS ZZH
O 221547Z FEB 10
FM SECSTATE WASHDC
TO RUEHAK/AMEMBASSY ANKARA IMMEDIATE 0000
INFO RUEHIT/AMCONSUL ISTANBUL IMMEDIATE 0000
S E C R E T STATE 015856
SIPDIS
E.O. 12958: DECL: 01/19/2035
TAGS: ETTC MARR MCAP MOPS PARM PINR PREL PTER MASS TU IR
SUBJECT: (S) TURKISH FIRMS ENGAGED IN MILITARY
MATERIEL-RELATED DEALS WITH IRAN
Classified By: EUR/PRA Director Stephanie Miley
¶1. (U) This is an action request to Embassy Ankara. Please
see paragraph 7.
----------
BACKGROUND
----------
¶2. (S) The U.S. has information about several transactions
involving Turkish firms planning to export and import from
Iran arms and related material controlled by the Wassenaar
Arrangement. Specifically, Iran is interested in procuring
Full Metal Jacket (FMJ) .38 caliber and wadcutter bullets; 40
mm automatic grenade launchers; 5.56 mm composite magazines
(for M16 assault rifles), and 7.62 X 39 mm and 7.62 X 51 mm
composite magazines from Turkey. In addition, we understand
that a Turkish firm may also be pursuing a deal to import
plastic explosives and nitrocellulose from Iran.
¶3. (S) The U.S. wants to provide this information to Turkish
officials, request that they investigate this activity and
use all available means to prevent these firms from exporting
and importing such arms to and from Iran. In addition to any
domestic Turkish authorities that may apply, these activities
may also be in violation of both United Nations Security
Resolution (UNSCR) 1747 and U.S. domestic authorities.
¶4. (S) UNSCR 1747: UNSCR 1747, paragraph 5, prohibits Iran
from supplying, selling or transferring from its territory
any "arms or related materiel." It also requires all states
to prohibit the procurement of such items from Iran by their
nationals, or using their flag vessels or aircraft; whether
or not such transfers originated in the territory of Iran.
The procurement of plastic explosives from Iran would violate
UNSCR 1747.
¶5. (S) The Iran, North Korea, and Syria Nonproliferation Act
(INKSNA): INKSNA authorizes sanctions against any foreign
person that transfers to or from Iran, North Korea, or Syria
goods, services, or technology controlled by multilateral
control lists (e.g., Nuclear Suppliers Group, Missile
Technology Control Regime, Australia Group, or Wassenaar
Arrangement); of the same kind as those on multilateral
control lists, but falling below the control list parameters,
when it is determined that such goods, services, and
technologies have the potential to make a material
contribution to WMD, or cruise or ballistic missile systems;
on U.S. national control lists for WMD/missile reasons that
are not on multilateral lists; or with the potential of
making a material contribution to WMD, or cruise or ballistic
missile systems. Accordingly, the U.S. is concerned that if
the Turkish firms proceed with transferring the grenade
launchers, bullets, and ammunition magazines, we would be
required to report this to the U.S. Congress and the Turkish
firms could be subject to U.S. sanctions.
¶6. (S) The U.S. is also concerned about the potential exports
to Iran because one of the items may be of U.S. origin.
According to Defense Security Cooperation Agency (DSCA)
records, Turkey received 181 MK-19 40 mm grenade launchers
from the United States in 1995. However, we do not know
definitively if any of these are among the 40 mm grenade
launchers contemplated as part of the sale to Iran. We note,
however, that if any U.S.-origin defense equipment (including
technical data) is re-transferred to Iran, that would violate
Section 3 of the Arms Export Control Act (AECA). As a
consequence, Turkey could lose its country eligibility under
the AECA to purchase or lease defense articles, including
Patriot or Reaper unmanned aerial vehicles, or services, or
to receive credits or guarantees relating to any purchase or
lease.
-------------------------
ACTION REQUEST/OBJECTIVES
-------------------------
¶7. (S) Post is requested to approach GOT officials to pursue
the following objectives and to deliver the talking
points/non-paper in paragraph 8 below as appropriate:
-- Thank Turkish officials for Turkey's continued cooperation
and support in preventing the transfer of arms or related
material to and from Iran;
-- Inform the GOT that we are very concerned that Turkish
firms may be exporting to and importing from Iran arms and
related material;
-- Note that the export of Wassenaar Arrangement controlled
items to Iran could require a report to the U.S. Congress
under the Iran, North Korea, and Syria Nonproliferation Act
(INKSNA) and may result in sanctions being imposed on the
entities and individuals involved;
-- Point out that the import of arms or related material from
Iran would violate UNSCR 1747, which prohibits Iran from
supplying, selling or transferring from its territory any
"arms or related materiel" and requires all states to
prohibit the procurement of such items from Iran by their
nationals;
-- Emphasize this is not the time for business as usual with
Iran;
-- Remind the GOT that both the DIO and Parchin were
designated for an asset freeze under UNSCRs 1737 and 1747,
respectively, and were sanctioned by the U.S. under Executive
Order (E.O.) 13382;
-- Strongly urge the GOT to use available legal authorities,
including appropriate domestic laws and authorities related
to implementing UNSCRs 1737 and 1747, to immediately
terminate these deals and freeze any assets of DIO;
-- Note that Iran has a long history of providing arms and
other military equipment to terrorist groups and that these
items could easily end up in the hands of al-Qaida, Hamas,
Hizballah, and the Taliban;
--------------
TALKING POINTS
--------------
¶8. (S//REL TURKEY) Begin talking points:
-- We appreciate the Government of Turkey's continued
cooperation and support in preventing the transfer of
military equipment and related materiel to and from Iran.
-- In the spirit of this cooperation, we want to share with
you some additional information about Turkish firms involved
in dealings concerning arms and related materiel with Iran.
---------------
EXPORTS TO IRAN
---------------
-- We have information that the Turkish firms Mercan Tanitim
Dis Ticaret ve Muhendislik Ltd. and Makina ve Kimya
Endustrisi Kurumu (MKEK) may sign a contract to export
military material to Iran.
-- The items covered by the contract include: FMJ (Full Metal
Jacket) .38 caliber and wadcutter bullets; 40 mm automatic
grenade launchers; 5.56 mm composite magazines (for M16
assault rifles), and 7.62 X 39 mm and 7.62 X 51 mm composite
magazines, all of which are specified on the Wassenaar
Arrangement Munitions List.
-- In addition, according to the Defense Security Cooperation
Agency (DSCA) records, Turkey received 181 MK-19 40 mm
grenade launchers from the United States in 1995. We do not
know, definitively, if any of these were among the 40 mm
grenade launchers contemplated as part of the sale to Iran.
-- We should note, however, that if any U.S.-origin defense
equipment (including technical data) is re-transferred to
Iran, that transfer would violate Section 3 of the U.S. Arms
Export Control Act (AECA). As a consequence, Turkey could
lose its country eligibility under the AECA to purchase or
lease defense articles. This could potentially include
Patriot or Reaper unmanned aerial vehicles, or services, or
the ability to receive credits or guarantees relating to any
purchase or lease.
-----------------
IMPORTS FROM IRAN
-----------------
-- In addition to our information related to the export of
arms material to Iran, we also understand some of the same
Turkish firms involved in the exports are interested in
procuring arms material from Iran.
-- Specifically, we understand that in September 2009, Mercan
Tanitim was pursuing a deal with MKEK to import 2,000 kg of
Composition A-4 military plastic explosives produced by
Parchin Chemical Industries, an Iranian government military
company and an element of the Defense Industries Organization
(DIO).
-- We further understand that in September 2009, the Turkish
companies Kolorkim Kimya San and Mercan Tanitim were
considering a deal to import nitrocellulose (NC) from Iran.
NC is a dual-use material that serves as a major component in
smokeless gunpowder.
-- As a subordinate of DIO, Parchin acts on behalf of DIO,
importing and exporting chemical goods throughout the world.
In April 2007, Parchin Chemical Industries was identified as
the final recipient of sodium perchlorate monohydrate, a
chemical precursor for solid propellant oxidizer, possibly to
be used for ballistic missiles.
-- As you know, DIO is one of seven Iranian nuclear-related
entities designated for an asset freeze in the Annex to UNSCR
¶1737. In addition to being listed in the Annex for UNSCR
1737, DIO was sanctioned previously by the United States for
WMD- or missile-related activities under the Iran and Syria
Nonproliferation Act (ISNA), the Arms Export Control Act
(AECA), Executive Order (E.O.) 13382, and the Export
Administration Act.
-- We would further note that Parchin Chemical Industries has
been designated for an asset freeze under UNSCR 1747 and U.S.
E.O. 13382 in July 2008 as a consequence of its work on
behalf of Iran's ballistic missile program. We, therefore,
urge you, per UNSCR 1747, to freeze any assets of Parchin
Chemical Industries that may come under Turkish jurisdiction.
-- We would like to inform you that Turkish firms engaged in
business with entities designated under E.O. 13382 are
eligible for sanctions if such activities are not halted.
-- Given the UN Security Council's grave concern over Iran's
nuclear and ballistic missile program activities, we urge you
to encourage all Turkish firms to avoid any affiliation with
this company.
-- Iran, a U.S.-designated State Sponsor of Terrorism, has a
long history of providing arms and other military equipment
to terrorist groups and other non-state actors, including in
Iraq, Afghanistan, and Lebanon. We are concerned that the
materials being negotiated for transfer by the Turkish
companies in question could be diverted by Iran to such
groups.
-- Iran has long supplied non-state actors, including
terrorist groups such as Hizballah, with arms and other
military equipment. The terrorist applications of small arms
and light weapons (SA/LW) are obvious, but Iran has also
supplied terrorists with larger weapons systems that threaten
regional security and stability.
-- Failure to prevent these sales could result in the
re-transfer of military material and explosives by Iran to
groups like al-Qaida, Hamas, Hizballah, and the Taliban.
This would harm the Turkish government's reputation as a NATO
ally and demonstrated opponent of terrorism, and would
reflect badly on the Turkish business community.
-- These transactions could also be damaging to our bilateral
relationship as these items can be used to kill and severely
injure Coalition forces in Iraq and Afghanistan and elsewhere
in the region.
-- Turkey is also required to prevent the transfers from Iran
as noted in UNSCR 1747, paragraph 5, which prohibits Iran
from supplying, selling or transferring from its territory
any "arms or related materiel." All states are required to
prohibit the procurement of such items from Iran by their
nationals, or using their flag vessels or aircraft; whether
or not such transfers originated in the territory of Iran.
-- We believe the arms and explosives acquisitions being
pursued by Mercan Tanitim and MKEK with Iranian entities
would clearly violate this provision of UNSCR 1747, and that
the Kolorkim and Mercan Tanitim deal involving the transfer
of nitrocellulose may as well.
-- Action to prevent such transfers would clearly demonstrate
Turkey's commitment to the full and effective implementation
of UNSCR 1747. Such action would also remove the possibility
that these firms could be subject to U.S. sanctions under the
Iran, North Korea, and Syria Nonproliferation Act (INKSNA).
-- We strongly urge you to investigate this information and
prevent any transfers being contemplated by the entities
involved by using authorities available under Turkish
domestic law.
-- Please share with us the results of your investigation at
your earliest convenience.
END POINTS
---------------------
REPORTING REQUIREMENT
---------------------
¶9. (U) Post is requested to please report results of its
efforts as soon as possible.
-----------------
POINTS OF CONTACT
-----------------
¶10. (U) Washington points of contact for follow-up are
Margaret T. Mitchell and Michael Rolleri of ISN/CATR, and
Matthew Hardiman, EUR/PRA.
CLINTON