Not legal, tax, or investment advice — and not authorization for any transaction. U.S. sanctions (the Cuban Assets Control Regulations, 31 CFR Part 515) heavily restrict — and in most cases prohibit — dealings between U.S. persons and Cuba, including any form of investment or equity in a Cuban business. The rules are complex, fact-specific, and change; nothing on this site is a determination that any transaction is lawful. Structure anything Cuba-facing only with qualified OFAC sanctions counsel, and screen every party (names, entities, wallets) with QvaPay Sentinel.
Primary sources: OFAC Cuba Sanctions · 31 CFR Part 515 (CACR) · OFAC Cuba FAQs · Cuba Restricted List
Opportunity Atlas — interactive map
Satellite imagery (keyless Esri). Every marker is an infrastructure asset — ports ⚓, power plants ⚡, roads 🛣️, bridges 🌉, airports ✈️, rail 🚆, water 💧, mining ⛏️ and more, ringed in its type color. Solid markers are real, existing infrastructure; dashed markers and lines are proposed build targets — the eVTOL air taxiports 🛩️ (alongside Cuba's existing airports ✈️) and the Cabo Cruz spaceport 🚀 from the partner plan. Filter by type, toggle layers, and click any asset for its dossier; an orange glow marks active Helms-Burton Title III risk.
Common questions
Who owns the ports and hotels in Cuba?+
Most are state- or military-owned. The interactive atlas shows the controlling entity per asset — the Mariel zone is run by GAESA's Almacenes Universales, and most large resort hotels belong to Gaviota (GAESA).
How do I see which Cuban assets are sanctioned?+
The map flags each asset's ownership and sanctions status and lets you toggle a Helms-Burton (Title III risk) layer, so you can see Restricted-List and confiscated-property exposure at a glance.