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Sanctions Tracker UK

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    Tracker of Sanctions in response to Ukraine Crisis

    This tracker is a high-level summary of the measures imposed by UK following Russia's invasion of Ukraine in February 2022. In the current circumstances, the status of these measures are subject to change on a daily basis. Certain measures were in place prior to February 2022 and these are not included in this tracker. Whilst every effort has been made to ensure the accuracy and completeness of this summary at the date of publication, no reliance should be placed on its content and it does not constitute legal advice. Please refer to the primary sources of the restrictions for their full content.

    Selected UK guidance and consolidated lists can be found under "useful links" at the bottom of the page.

    This tracker was last updated on 22 June 2023.

    UK

    Date of imposition Sanction imposed Summary

    20 June 2023

    General Licence:Humanitarian activity– amendment

    (INT/2022/1947936)

    OFSI have published amendments to the "Humanitarian Activity" General Licence, as follows:

    • The definition of "Non-government controlled Ukrainian territory" now includes the Kherson and Zaporizhzhia oblasts; and
    • The Designated Financial Institutions listed in Annex 1 now captures financial institutions designated since 7 July 2022. These include:
    • Bank St Petersburg PJSC;
    • Bank Uralsib PJSC;
    • MTS Bank PJSC;
    • Bank Zenit PJSC;
    • Bank DOM.RF (designated by virtue of ownership);
    • Rosbank PJSC;
    • Tinkoff Bank;
    • Russian Regional Development Bank; and
    • PJSC JSCB Metallinvestbank.

    19 June 2023

    (in force 20 June 2023)

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 2) Regulations 2023

    Explanatory Memorandum

    Russia (Sanctions) (EU Exit) Regulations 2019: updatedpurpose

    (amendment to Regulation 4)

    Amendment to introduce a new purpose to the 2019 Regulations to state that, in addition to the current purposes in regulation 4, the regulations are for the purposes of:

    • "promoting the payment of compensation by Russia for damage, loss or injury suffered by Ukraine on or after 24th February 2022 as a result of Russia’s invasion of Ukraine".

    TheExplanatory Memorandumstates that this change "reflects the UK position that Russia bears full responsibility or the war and the damage it has caused, including to Ukraine’s critical infrastructure, The UK considers that sanctions measures can contribute to the objective to make sure Russia pays compensation for the damage it has caused".

    Trade sanctions: amendment to extend existing restrictions to include theKherson and Zaporizhzhia Oblasts

    (various)

    修改现有的“non-gover的定义nment controlled Ukrainian territory" to include the non-government controlled areas of the Kherson and Zaporizhzhia oblasts.

    A number of consequential amendments to extend existing sanctions and relevant exceptions to these non-government controlled areas:

    • Export of relevant restricted goods to non-government controlled Ukrainian territory – Regulation 30B
    • Export of infrastructure-related goods to non-government controlled Ukrainian territory – Regulation 48
    • Export of restricted goods – Regulation 53A
    • Port directions – Regulation 57
    • Exceptions relating to investments in relation to non-government controlled Ukrainian territory – Regulation 60
    • Trade: exception for humanitarian assistance activity – Regulation 61ZA

    19 June 2023

    UK Government announcement

    Designated individuals - voluntarydonation of assets

    (announced but not yet implemented)

    The UK Government has stated that it intends to introduce a route for sanctioned individuals who support Ukraine tovoluntarily donate their frozen funds for Ukrainian reconstruction.The precise mechanics of the fund which will disburse these donations will be announced in due course.

    The Government has stated that there will be no coercion of individuals to encourage them to transfer funds, nor any offer of sanctions relief in return for making a donation.

    More information will be included on this tracker once available.

    Increasedreportingobligations

    (announced but not yet implemented)

    The UK Government has stated that it intends to pass new legislation imposing additional reporting obligations, as follows:

    • persons and entities in the UK, or UK persons and entities overseas, who are designated under the Russia financial sanctions regime, mustdisclose assetsthey hold in the UK. The failure to disclose assets may lead to the imposition of further financial penalties or confiscation of assets.
    • those holding assets in the UK on behalf of the Central Bank of Russia (CBR), Russian Ministry of Finance (MOF) or Russian National Wealth Fund (NWF) to disclose them to the Treasury. The Government has stated that this will help ensure it has a comprehensive picture of their value and nature and will assist the Treasury in monitoring compliance with, and detecting evasion of, financial sanctions.

    More information will be included on this tracker once available

    14 June 2023

    Oil Price Cap: updated OFSIguidance

    Mariti OSFI发布了更新的指导me Services Ban and Oil Price Cap, to provide additional clarity and detail on the following:

    • Wind-down periods:我们正在确认OFSI 45-da将介绍y wind-down period for any future changes to the Oil Price Cap
    • Trading in Derivatives and Futures:Trading in derivatives and futures is now exempt from the Oil Price Cap (see entry below for the relevant General Licence)
    • "As soon as reasonably practicable":Clarification has been added on OFSI’s view of what is considered to be taking the required steps to withdraw contracted services “as soon as reasonably practicable” in the event of a suspected breach

    Bespoke reporting forms for required reporting, reporting suspected breaches, and specific licence applications are on OFSI'swebsite

    Any reporting or queries should be directed tooilpricecap.OFSI@hmtreasury.gov.uk

    General licence:Oil Price Cap- Trading in Derivatives and Futures

    (INT/2023/3074680)

    This General Licence permits:

    • trading in "Derivatives" and "Futures" related to the supply or delivery by ship of Russian oil and oil products which would otherwise breach the prohibition in regulation 46Z9C of the Russia Regulations;
    • a "Derivative Broker" to provide services to any Person trading in Derivatives and Futures in accordance with the above; and
    • a Relevant Institution to process payments in relation to the activities permitted under the General Licence.

    "Derivative" means a financial instrument whose value is based on the change in value of an underlying asset.

    "Derivatives Broker" means a person who buys and sells assets for others.

    "Futures" means a type of derivative contract to buy or sell a specific commodity asset or security at a set future date for a set future price.

    本牌照生效14 June 2023and is ofindefinite duration

    General licence: Securing Energy for Europe General Licence –revoked

    (INT/2022/2305324)

    OFSI has revoked the "Securing Energy for Europe" General Licence.

    The nationalisation of Gazprom Germania (renamed Securing Energy for Europe) means that Gazprom's UK subsidiaries are no longer in scope of the credit restrictions introduced by The Russia (Sanctions) (EU Exit) (Amendment) (No. 15) Regulations 2022, which this General Licence was designed to lift. OFSI therefore no longer considers there to be a need for this General Licence.

    8 June 2023

    Belarus:new sanctions package

    The Republic of Belarus (Sanctions) (EU Exit) (Amendment) Regulations 2023

    UK Governmentpress release

    Belarus:amendments to designation criteria

    (amendment to Regulation 6)

    Additions to / further explanation of the criteria for designation by expanding the definition of "involved person" to include:

    • holding the right to nominate at least one director, trustee or equivalent of a Government of Belarus-affiliated entity, or an entity carrying on business of economic or strategic significance to the Government of Belarus;
    • working for, or being affiliated to, the Government of Belarus by way of holding certain specified roles, including certain political positions, or holding senior positions at certain state-owned entities or in the military; and
    • clarifying that being "associated with" any person who meets the designation criteria includes obtaining a financial benefit or other material benefit from that person; or being an immediate family member of that person.

    Belarus:amendments to restrictions on dealing with securities/money-market instruments

    (amendments to Regulation 15A)

    Expanding the existing restrictions to include securities/money-market instruments issued by persons acting on behalf or upon the direction of Belarus, a Belarusian authority, or an entity wholly owned by Belarus or a Belarusian authority.

    Belarus:trade restrictions – export of goods /technology to Belarus

    (amendments to Regulations 21-26)

    Expanding the existing restrictions on exports (including the supply from a third country) to or for use in Belarus to include:

    • banknotes (denominated in sterling or any official currency of the EU);
    • chemical and biological weapons-related goods and technology (as specified inSchedule 2H); and
    • machinery-related goods and technology (as specified in newSchedule 2I).

    Belarus:trade restrictions – import of goods/ technology from Belarus

    (amendments to Regulations 27I-27M)

    Expanding the existing restrictions on imports from Belarus (including the supply to countries outside the UK) to include:

    • gold, gold jewellery and relevant processed gold (as specified in newSchedule 2J); and
    • cement, rubber and wood products (as specified in newSchedule 2J).

    Belarus:prohibition on providing certain internet services

    (new Regulations 27P, 45A, 56A and B)

    New restrictions requiring providers of:

    • social media services to take reasonable steps to prevent content that is generated directly on the service, or uploaded to or shared on the service, by a designated person being encountered by a user of the service in the UK;
    • internet access services to take reasonable steps to prevent a user of the service in the UK from accessing, by means of that service, an internet service provided by a designated person; and
      application stores through which an application for an internet service may be downloaded or otherwise accessed to take reasonable steps to prevent a user of the application store in the UK from downloading or otherwise accessing, by means of that application store, an internet service provided by a designated person..

    "designated person"means a person who is designated under regulation 5 for the purposes of this new regulation 27P (i.e. not a person designated for the purposes of an asset freeze).

    OFCOM has the power to request a person to provide certain information for the purpose of monitoring compliance with or detecting evasion of regulation 27P.

    OFCOM has the power to impose a monetary penalty up to £1 million for breach of regulation 27P or 45A.

    Belarus:new exceptions to prohibitions

    (various)

    Introduction of certain exceptions for the new prohibitions, including:

    • Luxury goods:jewellery/gold jewellery of a non-commercial nature, which is owned by individuals travelling to Belarus or the UK and not intended to sale (Regulation 31D);
    • Banknotes:banknotes for the personal use of individuals travelling to Belarus up to the value of £10,000 (Regulation 31J);
    • Machinery-related goods/technology:humanitarian assistance activity; addressing a health emergency; providing a response to a natural disaster; medical or pharmaceutical purposes for the benefit of the civilian population of a country; temporary use by news media; ensuring cyber-security and information security for persons in Belarus (Regulation 31K).
    6 June 2023 General Licence- Transactions related to agricultural commodities –amendment
    (INT/2022/2349952)

    The General Licence was amended to allow the Grain and Feed Trade Association (GAFTA) to receive Funds and Economic Resources from any person in connection with the direct and indirect provision of services related to contracts for the trade in agricultural commodities, by or on behalf of GAFTA.

    See the original entry for this general licence dated 4 November 2022 for further detail.

    5 June 2023 General Licence– LCIA costs – amendment
    (INT/2022/1552576)

    The General Licence INT/2022/1552576 was amended to allow:

    • Designated Person (DP) Representatives to pay funds to the London Court of International Arbitration (LCIA) to cover arbitration costs
    • DPs or DP Representatives to transfer funds to their legal representatives for onward payment to the LCIA to cover arbitration costs
    • Non-DP arbitral parties to pay substitute deposit(s) to the LCIA

    See the original entry for this general licence dated 17 October 2022 for further detail.

    30 May 2023 Trade sanctions:Common High Priority Items List - Foreign, Commonwealth & Development Officeupdate

    The FCDO has issued a communication identifying a "Common High Priority Items List" composed of Western items critical to Russian weapons systems and its military development. The communication states that businesses should undertake due diligence to ensure that the end destination of these items is not Russia.

    Together with its international partners, the UK has identified items that Russia is using in its weapons system. Many of these have been found on the battlefield in Ukraine. They include electronic components such as integrated circuits and radio frequency (RF) transceiver modules. The list, which will be updated when required, also includes items that are essential for the manufacturing and testing of the electronic components and circuits retrieved from the battlefield.

    The list is divided into four Tiers:

    • Tier 1: Integrated circuits (also referred to as microelectronics);
    • Tier 2: Electronics items related to wireless communication, satellite-based radio navigation, and passive electronic components;
    • Tier 3: Discrete electronic components, electronics cabling and connectors, digital cameras and related optical components; and
    • Tier 4: Manufacturing, production, and quality testing equipment of electric components and circuits.

    The UK is working with international partners to tackle sanctions avoidance and evasion including closing routes that Russia is potentially using to circumvent sanctions.

    The Common High Priority Items List does not represent the extent of the UK's trade sanctions against Russia.

    Trust Services Sanctions:OFSI blog post– 5 months on

    OFSI has published a blog post 5 months on from Trust Services sanctions coming into effect on 16 December 2022.

    The blog aims to provide further clarity on themes arising from questions OFSI has received.

    The blog covers when Trust Services sanctions apply, where the sanctions apply, key exceptions, OFSI's enforcement powers and licensing.

    See also: OFSI'shomepageon trust services sanctions.

    22 May 2023 General Licence– Prior Obligations (Russia and Belarus)

    OFSI has issued a General Licence which permits a Designated Person to transfer funds or economic resources to UK persons in satisfaction of a contractual obligation, provided that:

    • The contractual obligation arose before the Designated Person became designated;
    • Payment is for the benefit of a UK person;
    • The total value of the payment due does not exceed £200,000 inc. VAT;
    • The contract is not one of the excluded contracts listed in Annex A of the General Licence; and

    No payments are made to another Designated Person.

    A bank or financial institution, which is itself a Designated Person and required to process payments made in accordance with this licence, may process such payments.

    This General Licence is subject to reporting and record-keeping requirements.

    本牌照生效22 May 2023 and expires at 23:59 on 21 November 2023.

    Notice to Exporters– Trade sanctions circumvention

    The UK Department for Business & Trade has published a guidance note for companies to help them understand what they need to do to ensure they are complying with the Russia sanctions. The aim of the notice is to prevent the undermining of trade sanctions, export controls and other restrictive measures designed in response to Russia's invasion of Ukraine.

    The guidance covers:

    • Due diligence;
    • The procurement cycle and types of entities likely to acquire goods covertly; and
    • Key risk indicators.
    19 May 2023

    G7 Leaders' Statement on Ukraine

    The G7 leaders published a statement of continued commitment against Russia's war against Ukraine, following the G7 meeting in Hiroshima on 19 May.

    The statement noted the following measures to be taken in relation to sanctions and other measures:

    • Further restriction on exports of all items critical to Russia's aggression including exports of industrial machinery, tools and other technology that Russia uses;
    • Key sectors to be targeted including manufacturing, construction, transportation and business services;
    • Continued shielding of agricultural, medical and humanitarian products from restrictive measures and making every effort to avoid potential spill over impact on third countries;
    • Prevention of evasion and circumvention of measures against Russia, including targeting entities transporting materials to the front;
    • Engaging with third countries to strengthen third countries' understanding of G7 measures;
    • Coordination to prevent and respond to third parties supplying weapons to Russia;
    • Curtailing Russia's use of the international finance system to further its war in Ukraine and taking further measures against those who wilfully support the financing of Russia's war;
    • Reducing avenues for Russia to circumvent financial measures including by preventing third-country branches of Russian banks from being used to avoid sanctions and actions against Russia's financial sector;
    • Reducing Russia's revenue by limiting energy revenue and future extractive capabilities, building on measures taken so far including export bans and price caps for crude oil and refined oil products;
    • Reducing reliance on civil nuclear and related goods, working to assist countries seeking to diversify their supplies;
    • Reducing Russia's revenue from metals; and
    • Restriction of trade in and use of diamonds mined, processed or produced in Russia and engage with key partners with the aim of ensuring effective implementation of future coordinated restrictive measures, including through tracing technologies.
    Asset freeze

    86 entries have been added to the consolidated list and are now subject to an asset freeze and trust services sanctions:

    • 42 individuals; and
    • 44 entities.

    The entities include the following banks: DOM.RF, Rosbank PJSC, Tinkoff Bank, Russian Regional Development Bank, and PJSC JSCB Metallinvestbank.

    These designations target individuals on the Boards of Directors of Sovcomflot, Russian Railways, Gazprom Neft, and Transneft, alongside individuals and entities in the shipping, energy, military and defence sectors. This includes companies connected to the theft of Ukranian grain, the shipment of Russian energy and companies connected to Rosatom, which are producing advances materials and technology in support of Putin's military efforts.

    Additionally, the following individuals have been removed from the consolidated list and are no longer subject to an asset freeze or trust services sanctions:

    • Nikolay Yurievi Petrunin;
    • Kyrylo Sergiyovich Stremousov; and
    • Vladimir Nikolayevich Sungorkin.
    Futuretrade restrictionsannounced – but not yet implemented

    Prime Minister Rishi Sunak has announced incoming import bans on Russian diamonds and metals at the G7 in Japan.

    In further comments made on 22 May 2023, UK Prime Minister Rishi Sunak has also committed to anew packageof sanctions.

    12 May 2023 OFSI Guidance– Travel expenses/costs
    OFSI has published new guidance to support those applying for a licence to access funds for travel expenses and associated costs.

    指导OFSI要求什么信息es when considering if an application for travel costs is 'reasonable', including consideration of alternatives to travel, pre-planning, necessity and exceptional circumstances.
    28 April 2023 General LicenceLegal Fees(Russia and Belarus)

    OFSI has issued a General Licence which permits a UK legal firm or UK counsel who has provided legal advice to a person designated under either the Russia or Belarus regime to receive payment from that designated person without an OFSI specific licence, provided that the terms of the General Licence are met. The existingLegal Fees General Licenceissued on 28 October 2023 expires on 28 April 2023 (see below).

    The licence is split into two parts:

    • Part A: legal services based on a prior obligation; and
    • Part B: legal services not based on a prior obligation.

    Each has its own set of conditions and there is a separate legal fees and expenses cap for each part.

    The previous legal fees caps and expenses caps have been reset. Users will be able to make use of the legal fees caps (£500,000 inc. VAT) and the expenses caps (5% of legal fees, up to £25,000) under Parts A and B of the General Licence. The General Licence also contains maximum hourly rates for fee earners.

    Legal fees and expenses for cases involving defamation or malicious falsehoods are not permitted to be paid under this General Licence.

    The General Licence is subject to reporting and record-keeping requirements.

    This General Licence takes effect at 00:01 on 29 April 2023 and expires at 23:59 on 28 October 2023.

    21 April 2023 Asset Freeze

    3 entries have been added to the consolidated list and are now subject to an asset freeze and trust services sanctions for their involvement in a politically motivated case against and arrest of opposition politician Vladimir Kara-Murza:

    • Andrey Andreevich Zadachin, investigator at the Investigative Committee of the Russian Federation;
    • Denis Vladmirovich Kolesnikov, Head of the Investigative Department; and
    • Elena Anatolievna Lenskaya, Judge at the Basmanny Court in Moscow.

    20 April 2023

    The Russia Sanctions (EU Exit) (Amendment) Regulations 2023

    Explanatory memorandum

    Trade restrictions: new category ofrevenue generating goods– supply to third countries

    (newChapter 4GA - Regulations 46XA – 46XG, andSchedule 3DA)

    Prohibition on the following activities in respect of a new category of revenue generating goods (as listed in new Schedule 3DA):

    • imports which are consigned from Russia
    • direct or indirect acquisition of such goods which originate or are located in Russia
    • direct or indirect supply from a place in Russia to a third country
    • associated technical assistance, financial services and funds, and brokering services in respect of the above.

    The restrictions in respect of the goods listed in Part 3 of Schedule 3DA will not apply to any goods which are either consigned from Russia or imported into the UKbefore 21 April 2023

    Revenue generating goods that have an important humanitarian or civilian use, such as certain agricultural and energy-related goods (as listed in the amended schedule 3D) are not covered by this new prohibition on supply and delivery from Russia to third countries.

    The prohibition on the acquisition of these goods, and associated services, do not apply to:

    • goods which have been lawfully imported into the UK; and
    • a UK national in Russia where the goods are located in Russia and the goods are for personal use/use by immediate family members in Russia

    也受到现有的限制exceptions, such as humanitarian assistance.

    The existingSchedule 3D(revenue-generating goods) has been recast in light of these changes.

    Trade Restrictions: amendments to existing restrictions
    (various)

    Further amendments to existing trade restrictions:

    • a new Part 3 has been added to the "iron and steel products" inSchedule 3B
    • various amendments – additions and deletions – have been made to the list of "revenue generating goods" inSchedule 3D(a number of the deletions now appear in the newSchedule 3DA)

    The restrictions in respect of the goods listed in Part 3 of Schedule 3B and Part 3 of Schedule 3D will not apply to any goods which are either consigned from Russia or imported into the UKbefore 21 April 2023(Regulation 60G).

    • amendments toSchedule 2A(Critical-industry goods and critical-industry technology)
    • additions toSchedule 3C(Defence and security goods and defence and security technology)
    • amendments toSchedule 3E(G7 dependency and further goods)
    • amendments toSchedule 3I(Russia’s vulnerable goods)

    A number of these amendments are intended to bring a range of goods found on the battlefield within the scope of existing restrictions.

    Trade restrictions:–iron and steel productsprocessed in a third country

    (newChapter 4CA, Regulations 46IA - 46IE)

    Introduction of a new prohibition on the import of specified iron and steel products which have been processed in a third country and which incorporate one or more iron or steel products originating in Russia on/after30 September 2023

    The "iron and steel products" are listed in Schedule 3B.

    For the purposes of this restriction, "processed" means altered; transformed in any way; or subjected to any other type of operation or process.

    Includes a prohibition of the provision of associated technical assistance, financial services and funds, and brokering services.

    18 April 2023 High Value Dealer Guidance OFSI has published guidance on financial sanctions implementation for high value dealers, luxury goods markets and art market participants.
    14 April 2023

    General Licence-Lithuania Rail

    This General Licence permits:

    • Russian Railways to pay Lithuanian Railways for Relevant Passenger Rail Travel, which is the transit of persons between the Kaliningrad Region and other parts of Russia via LTG's passenger rail service;
    • Lithuanian Railways to receive payment from Russian Railways for the same; and
    • A person (not including Russian Railways or any other designated persons including persons owned or controlled, directly or indirectly by such designated persons) to carry out activity reasonably necessary to effect payment of the same.

    本牌照生效14 April 2023 and expires at 23:59 on 13 April 2025.

    Updated guidance– UK's ban on Russian oil and oil products

    The updated guidance clarifies the position on co-mingling and provides information on what suppliers should do to ensure they comply with sanctions.

    The update reinforces that the prohibitions apply regardless of the importer's knowledge or suspicions about the origin of the goods, their location or the place from which they were consigned. Breaching the prohibitions can be a criminal offence.

    12 April 2023 Asset Freeze

    14 entries have been added to the consolidated list and are now subject to an asset freeze and trust services sanctions:

    • 10 individuals; and
    • 4 entities, namely Curzon Square Limited, Hanley Limited, Meritservus HC Limited and USM Holdings Limited.

    These designations are said to target those who have knowingly assisted sanctioned Russia oligarchs to hide their assets in complex financial networks.

    6 April 2023 Updated OFSIGuidance– UK Maritime Services Ban and Oil Price Cap

    OFSI has updated its "UK Maritime Services Ban and Oil Price Cap" industry guidance. This document provides guidance regarding the UK ban on the provision of maritime transportation of certain Russian oil and oil product, and associated services.

    看到更多informati入境日期为2022年11月3日on on the introduction of this prohibition.

    28 March 2023 General Licencebond amendments and restructurings

    Permits:

    • an issuer (who is not a Designated Person) which has/may have bondholders who are Designated Persons to effect the terms of any restructuring or amendments agreed between the issuer and its bondholders; and
    • a UK Person (including financial institutions) to take any steps necessary to effect a bond restructuring or amendment.

    These permissions are subject to the condition that no funds or economic resources are to be made available, directly or indirectly, to a Designated Person. Any funds or economic resources that a Designated Person would be entitled to as part of a bond restructuring or amendment must be frozen.

    The licence expires at 23:59 on28 March 2025and is subject to reporting and record-keeping requirements.

    21 March 2023 Trust Services- update on Designated Persons The Foreign, Commonwealth & Development Office confirmed that from 21 March 2023 all persons designated under the UK's Russia financial sanctions regime for the purposes of asset freezes have been designated for the purpose of trust services restrictions (Regulation 18C). The UK's Sanctions List has been updated accordingly.

    有关更多信息,请参见OFSI blogand the OFSInotice
    General Licence- winding down oftrust servicesprovided to Designated Persons

    Permits any activity necessaryto terminate an arrangement for the provision of trust servicesto a Designated Persons which would otherwise be prohibited under Regulation 18C, including:

    • The provision of trust services to a Designated Person on or after the date of their designation; and
    • The processing of any associated payments by UK financial institutions

    The General Licence allows for a90-day periodfrom the date on which a Designated Person becomes designated for the purposes of Regulation 18C to undertake any of the permitted activity.

    Use of the General Licence requires areporting formand associated evidence to be submitted to OFSI within 30 days of undertaking an activity under the General Licence. Use of the General Licence is also subject to a 6-year record-keeping requirement.

    17 March 2023 Asset freeze- removal

    The following individual has been removed from the consolidated list and is no longer subject to an asset freeze:

    • Brian MCDONALD, head of Russia Desk for the English language edition of RT (formerly Russia Today).
    16 March 2023 Updatedguidance- Enforcement and monetary penalties for breaches of financial sanctions

    OFSI has updated its guidance covering enforcement and monetary penalties for breaches of financial sanctions. New sections relating to ownership and control have been included under sections 3.22-3.31.

    In summary, the updated guidance provides that:

    • Appropriate due diligence may be considered a mitigating factor where the determination reached by the firm with respect to ownership and control was reasonable and made in good faith. The onus of demonstrating the above will rest with the person against whom OFSI is considering taking enforcement action;
    • OFSI will consider the nature of a person’s contractual or commercial relationship with the entity when assessing the appropriateness of measures undertaken;
    • OFSI expects evidence of a decision making process taking into account the sanctions risk (e.g. by reference to an internal framework or policy);
    • Aggravating factors may include a failure to carry out appropriate due diligence or the carrying out of any such due diligence in bad faith. The weight to be attributed to a mitigating or aggravating factor will be assessed on a case-by-case basis;
    • A list of efforts that may be considered mitigating factors by OFSI are listed under section 3.26;
    • A list of areas of enquiry OFSI may expect to be undertaken by a person seeking to investigate ownership and control are listed under section 3.29.

    13 March 2023
    New UK Integrated Security Fund-Press release

    英国首相宣布启动一个new fund (UKISF) to support the new Economic Deterrence Initiative (see entry below for more info). The UKSIF will have a budget of approximately £1 billion and will combine several other funds across the government.

    An additional £50 million in funding has been provided, notably to improve enforcement of the UK’s sanctions regime. The government will also work with the private sector to maximise the reach of sanctions against those who pose a threat to the UK.

    Government priority actions:sanctions evasion

    (see also:Press Release)

    The UK government published its ‘Integrated Review Refresh 2023: Responding to a More Contested and Volatile World’ (IR23).
    The IR23 sets out a number of priority actions for the UK government. This includes establishing an "Economic Deterrence Initiative" to improve the UK's sanctions implementation and enforcement by strengthening the UK's diplomatic and economic tools.

    The IR23 also indicated that the UK government will:

    • publish more details on how the National Cyber Force conducts its operation (notably to counter sanctions evasion); and
    • build expertise across the government to design, implement and enforce sanctions for maximum impact, develop an autonomous sanctions regimes, and deepen international coordination to assess, prepare for, deter and respond rapidly to future economic threats.

    9 March 2023
    (made on 8 March 2023)

    Overseas territories:
    Order in Councilextending UK sanctions - trust services

    The Russia (Sanctions) (Overseas Territories) (Amendment) Order 2023

    这个顺序进行必要的修改effect in the relevant British overseas territories to the following changes made to the Russia sanctions regime pursuant to the Russia (Sanctions) (EU Exit) (Amendment) (No. 17) Regulations 2022:

    • to impose a new restriction in relation to the provision of trust services to designated persons or persons connected with Russia (and associated reporting requirements);
    • to extend financial and investment restrictions;
    • to add additional services to the existing provisions imposing restrictions relating to professional and business services;
    • to provide for exceptions and licences relating to the new restrictions introduced by the amendments; and
    • to add further items to the lists of goods subject to trade prohibitions.
    8 March 2023 UpdatedGuidance- UK Maritime Services Prohibition and Oil Price Cap OFSI has updated its "UK Maritime Services Prohibition and Oil Price Cap" industry guidance following the introduction of the price cap on refined Russian oil products on 5 February 2023 and the associated wind down period (please see entries dated 3 November and 3 February 2022 below for more information).

    24 February 2023
    Potential new legislation -Seizure of Russian State Assets and Support for Ukraine Bill

    The House of Commons hasobjectedto the "Seizure of Russian State Assets and Support for Ukraine Bill" (see entry dated 7 February 2023 for more info). The Bill was introduced under the "Ten Minute Rule" and had its second reading (i.e. this was the first opportunity for MPs to debate the main principles of the Bill).

    The Bill requires the Secretary of State to lay before Parliament proposals for the seizure of Russian state assets to provide support for Ukraine. Under the Bill, the Secretary of State must consider the following in preparing the proposals:

    • the types of Russian state assets that should be seized;
    • 谁决定了哪些资产应年代ubject to seizure;
    • for what purposes the seized assets could be applied; and
    • who should hold and manage the application of seized assets.

    The next sitting of the House of Commons to consider the Bill will be on3 March 2023

    Asset Freeze

    (See also Governmentpress release)

    92 entrieshave been added to the consolidated list and are now subject to an asset freeze. These include:

    • 19designations of individuals connected toRosatom(a Russian state-owned nuclear power company);
    • 19designations of individuals connected toRostec(a Russian state-owned defence conglomerate);
    • 6designations of entities involved in the manufacture or repair of military equipment for Russia’s armed forces, including aviation and navy, namely, JSC Izumrud, LLC Zavod Sokol, JSC Zavod EleKon, JSC Zvezda, JSC Rembaza, JSC Lomo;
    • 15designations of individuals connected toAlmaz-Antey(a state owned Russian company specialising in producing surface to air missiles and firearms for aircrafts);
    • 5designations of senior Iranian executives inQods Aviation Industry, the company manufacturing the drones used in Ukraine;
    • 4designations of individuals connected to the Kremlin wealth;
    • 4designations of Russian banks, namelyBank Saint Petersburg, Uralsib, MTS BankandBank Zenit; and
    • 20designations of executives connected toGazpromandAeroflot

    New package of sanctions-Press release

    (announced but not yet implemented)

    In addition to the new designations (above), the UK has announceda new package of additional sanctions.This includes:

    • Export banof every item Ukraine has found Russia using on the battlefield to date, including aircraft parts, radio equipment, and electronic components that can be used by the Russian military industrial complex, including in the production of UAV;
    • Import banon 140 goods, including iron and steel products processed in third countries; and
    • An extension of current measures against Crimea and non-government controlled territory in Donetsk and Luhansk oblasts to target Russian controlled areas ofKherson and Zaporizhzhiaoblasts, restricting their access to UK trade and finance.

    [Note: A more detailed breakdown of new restrictive measures will be included on this page once the relevant legislation has been published.]

    General Licence- Extensions

    OFSI has extended the expiry dates of the following general licences:

    • TheVTB(regulators)general licencetitled "Russia: Regulatory Authorities – Prudential Supervision or Financial Stability" will now expire at 23:59 on3 April 2025(please see entry dated 1 March 2022 below for more information);
    • TheVTB(basic needs)general licencetitled "Russian Banks – UK subsidiaries – Guernsey subsidiary – EU subsidiaries -Basic needs, routine holding and maintenance, the payment of legal fees and insolvency related payments" will now expire at 23:59 on3 April 2025(please see entry dated 1 March 2022 below for more information);
    • Thegeneral licencetitled "Payment to Energy Companies for Gas and/or Electricity" will now expire at 23:59 on16 October 2023(please see entry dated 17 November 2022 below for more information).
    16 February 2023 House of Commons Research- "Sanctions against Russia" and "Post-conflict reconstruction assistance to Ukraine"

    The House of Commons Library published two research briefings: "Sanctions against Russia" and "Post-conflict reconstruction assistance to Ukraine".

    The "Sanctions against Russia" paper provides an overview of the evolution of the UK sanctions regime since Russia's invasion of Ukraine;

    The "Post-conflict reconstruction assistance to Ukraine" paper addresses the question of whether Russian sanctioned assets could be used for Ukraine's reconstruction and outlines the main legal issues with the proposal. In summary:

    • The UK's current asset freezing regime prohibits those in possession of frozen economic resources to "deal" with them;
    • Seizing private assets risks falling foul of bilateral agreements protecting foreign investors from unlawful expropriation;
    • Seizing state-owned assets may also have international implications (e.g. conflict with the principle of non-intervention, or sovereign immunity in judicial proceedings);
    • The proposal to seize Russian assets is likely to require a specific legal basis in international law (e.g. through the doctrine of countermeasures);
    • From an international standpoint, there have also been developments in the US, the EU and Canada as to whether frozen Russian assets should be upgraded to seizure of assets and potentially redirected to the reconstruction of Ukraine.

    Please refer to entries dated 20 January 2023 and 7 February 2023 below for more background information.

    General Licence-Evraz- extension The General Licence permitting the continuation of business operations involving the North American subsidiaries of Evraz plc has been extended and will now expire on30 September 2023(see entries from 5 May 2022 and 18 August 2022 for more information).
    General Licence– Amendment to Russian flight and railway travel licence

    OFSI has amended the General Licence permitting a UK national/entity to purchase tickets from certain designated Russian travel companies, or any subsidiary, for flights or rail journeys within Russia or originating in Russia (see entry dated 23 May 2022 for more information).

    The updated General Licence now permits:

    • A UK individual or entity to purchase tickets fromSouth Caucasus Railway CJSC(a subsidiary of Russian Railway) for passenger rail journeys between Armenia and Georgia and within either of those two countries; and
    • A UK individual or entity, a financial institution, PJSC Aeroflot, JSC Rossiya Airlines, JSC Ural Airlines and Russian Railways, may carry out any activity reasonably necessary to effect the purchase of tickets for flights or rail journeys in accordance with the paragraph above.

    This licence took effect from 23 May 2022 and expires on23 May 2024

    9 February 2023 Asset Freeze(Cyber Sanctions Regime)

    7 Russian individualshave been added to the consolidated list underThe Cyber (Sanctions) (EU Exit) Regulations 2020

    The sanctioned individuals form part of a Russian cybercrime group, Trickbot, and was one of the first cybercrime groups to back Russia's war in Ukraine according to theNCA.They have been sanctioned for their involvement in cyberactivity intended to undermine the integrity of the UK and other countries, or cause economic loss/prejudice commercial interests.

    OFSI simultaneously published itsRansomware and Sanctions Guidance

    Note: These individuals do not explicitly bear a connection to Russia's invasion of Ukraine under OFSI's notice.

    8 February 2023 Asset freeze

    15 new entrieshave been added to the consolidated list and are now subject to an asset freeze. This includes the following individuals:

    • Nikolai Dmitrievich EGOROV , Director of Antipinsky Oil Refinery JSC, and owner of Energetika Sodruzhestvo Uspekh LLC (two Russian energy companies);
    • Svetlana Alexandrovna KRIVONOGIKH, Shareholder of Bank Rossiya (who is in turn a significant stakeholder in National Media Group);
    • Viktor Evgenyevich MYACHIN, owner of Aerostart (an entity operating in the Russian transport sector);
    • Alexander Evgenyevich REPIK, Chairman of the Boards of R-Pharmand and Delovaya Rossiya (one of Russia’s largest pharmaceutical companies);
    • Sergei Olegovich RUDNOV, owner of Regnum News Agency (a Russian news agency);
    • Evgeny Mikhailovich SHKOLOV, Deputy Chairman of the Board of Directors for JSC System Operator of the Unified Energy System (SO UES) (an entity carrying on business in the energy sector);
    • Pavel Borisovich TITOV, Chairman of the Board of Directors of Abrau-Durso and President of Delovaya Rossiya (Business Russia); and
    • Boris Yuryevich TITOV, Russia’s Presidential Commissioner for Entrepreneurs’ Rights and a prominent business person.

    The new entries also include the following entities:

    • AO NPP TOPAZ, a Russian based avionics company that develops and produces hardware and software used in military aircraft of the Armed Forces of the Russian Federation;
    • JSC PLANT UNIVERSALMASH, a Russian based manufacturing plant, manufacturing the tracked chassis of the S-300V4 anti-aircraft missile system used by the Armed Forces of the Russian Federation in Ukraine;
    • LIPETSK MECHANICAL PLANT LLC, providing goods or technology that could contribute to destabilising Ukraine;
    • LLC CST, a manufacturer and supplier of drones;
    • LLC RT-KOMPLEKT, a Russian based manufacturing business, its activities include the maintenance and repair of aviation equipment;
    • MOSCOMS LLC, a Russian IT Services company; and
    • OBORONLOGISTICS LLC, a Russian Ministry of Defence owned and controlled shipping and logistics company.

    7 February 2023
    Upcoming legislation- Seizure of Russian State Assets and Support for Ukraine Bill

    The "Seizure of Russian State Assets and Support for Ukraine Bill" had its first reading in Parliament on 7 February.

    The Bill would require the British Government to present plans to seize Russian assets frozen in the UK due to sanctions, and allocate them to Ukraine and the Ukrainian people. These powers of seizure would not apply to individuals' assets, but only to Russian state assets, bypassing the concept of sovereign immunity.

    The EU also introduced the idea of using frozen Russian assets for the reconstruction of Ukraine in November 2022 (Accountability for international crimes- EUPress Release).

    The next stage for the Bill (second reading) is scheduled to take place on Friday 24 February. This will be the first opportunity for MPs to debate the general principles and themes of the Bill.

    UpdatedGuidance– Professional and business services The Department for International Trade has updated its guidance relating to the supply of professional and business services to a person connected with Russia.

    The document provides guidance in relation to the sanctions covering the provision of services prohibited on 16 December 2022 i.e. advertising services, architectural and engineering services, auditing services and IT consultancy and design services (please see entry dated 15 December 2022 below for more information).
    5 February 2023 Trade restrictions-maritime transportation of 2710 oil and oil products

    The prohibition in respect of oil and oil products with CN code 2710 comes into force on5 February 2023

    This measure was introduced on 3 November 2022 in the "The Russia (Sanctions) (EU Exit) (Amendment) (No. 16) Regulations 2022" (see 3 November entry below for more details).

    Updated Guidance- UK Maritime Service Prohibition and Oil Price Cap

    OFSI updated its "UK Maritime Service Prohibition and Oil Price Cap" industry guidance.

    The guidance outlines obligations under the UK Maritime Services Prohibition and Oil Price Cap exception, as well as OFSI’s approach to implementation and enforcement.

    3 February 2023 Refined Oil Products Winddown General Licence-INT/2023/2660772

    OFSI issued the "Refined Oil Products Wind-Down" General Licence. The licence concerns commodity codes 2710 Russian oil and oil products purchased above the price caps and loaded onto a ship at the port of loading prior to5:01 a.m., GMT, 5 February 2023, and offloaded at the port of destination prior to5:01 a.m., GMT, 1 April 2023.It allows:

    1. A legal or natural person to supply or deliver Russian oil by ship from a place in Russia to a third country or from one third country to another third country;

    2. A Service Provider to provide Relevant Services to any legal or natural person supplying or delivering Russian oil by ship from a place in Russia to a third country or from one third country to another third country; and

    3. A financial institution to process payments in relation to the activities authorised above.

    The general licence differentiates between Tier 1, Tier 2 and Tier 3 providers, each of which is subject to different requirements (Tier provider status is determined by the extent to which a service provider can access the unit price agreed per barrel of Russian oil) .

    The general licence also sets out separate requirements for "Involved Persons" (i.e. a person who is not a Tier 1, 2 or 3 Provider, and is involved in (a) the supply or delivery of oil and oil products; or (b) the provision of financial services or funds or brokering services relating to the supply or delivery of oil and oil products).

    The licence utilises date attestations, which evidence the date that the Russian oil products was loaded and was or will be offloaded in a third country.

    The licence is also subject to strict record-keeping requirements lasting 4 years from the end of the calendar year in which the record was created. Additional record-keeping requirements apply to Tier 1, Tier 2 and Tier 3 providers.

    本牌照生效05 February 2023and is of indefinite duration

    Oil Price Cap General Licence-INT/2022/2469656

    On 5 December 2022, OFSI introduced the "oil price cap" general licence allowing the maritime transport of Russian crude oil and the provision of related services where the oil is purchased at or below $60 per barrel (see entry dated 5 December below for more information).

    OFSI amended the general licence to include2710 oil and oil productsunder the definition of "Russian Oil" and "Price Cap".

    The definition of "Price Cap" has been updated as follows:

    • USD 100 per barrel2710年大宗商品编码2710年12 31日12 41岁,2710年12 45 , 2710 12 49 , 2710 12 50 , 2710 12 70 , 2710 12 90 , 2710 19 11 , 2710 19 15 , 2710 19 21 , 2710 19 25 , 2710 19 29 , 2710 19 31 , 2710 19 35, 2710 19 43, 2710 19 46, 2710 19 47, 2710 19 48, 2710 19 71, 2710 20 11, 2710 20 16 and 2710 20 19 ("Premium to Crude"); and
    • USD 45 per barrelfor all other 2710 commodity codes ("Discount to Crude").

    本牌照生效05 December 2022 with regard to 2709 oil and oil products and from05 February 2023 with regard to 2710 oil and oil productsand is of indefinite duration.

    UK Press Release- Price Cap on Russian Oil Products Following, the implementation of a $60 price cap on Russian crude oil in December 2022, the Price Cap Coalition of the G7, the European Union and Australia have set caps on the price of seaborne Russian oil products, effective from05 February 2023

    High-value Russian exports such as diesel and gasoline, will be capped atUSD 100per barrel while lower-value products such as fuel oil will be capped atUSD 45per barrel.
    These prices will be kept under review.

    This measure was legislated for in the “The Russia (Sanctions) (EU Exit) (Amendment) (No. 16) Regulations 2022” laid on 3 November 2022 (see entry below).
    24 January 2023 Truphone Limited-Secretary of State Order

    Telecoms company, Truphone Limited, has been sold to TP Global Operations pursuant to a licence granted by OFSI. The transaction follows the UK's imposition of sanctions on three of Truphone's owners in 2022, namely, Roman Abramovich, Alexander Frolov and Alexander Abramov (see entries dated 10 March 2022 and 2 November 2022 for more information).
    减轻对国家安全风险,TP水珠al Operations, amongst others, is subject to an order made by the Secretary of State under s,26 of the National Security and Investment Act 2021. The Secretary of State's conditions imposed on the transaction are summarised below:

    • A requirement to appoint a Chief Information Security Officer approved by the Secretary of State; and
    • A requirement to put in place telecoms information security measures; and
    • A requirement to carry out a security audit by a government approved auditor to produce a report setting out any new security measures.
    20 January 2023 Press release-UK joins core group dedicated to achieving accountability for Russia’s aggression against Ukraine The UK has joined a coalition of international partners to shape thinking on how to achieve accountability for Russia's aggression against Ukraine. This includes potentially setting up a "hybrid" tribunal (i.e. a specialised court integrated into Ukraine's national justice system with international elements).

    For context, the International Criminal Court does not have jurisdiction over the crime of aggression allegedly committed by Russia against Ukraine. A new special tribunal on the crime of aggression could help ensure that Russian civilian and military leadership are held accountable for the decision to illegally invade Ukraine.
    19 January 2023 International Trade Committee-Enquiry into UK trade sanctions on Russia

    The International Trade Committee will launch a new enquiry into the UK's trade sanctions on Russia focusing on the following points:

    • the role of the Department for International Trade (DIT) in developing, implementing and enforcing trade-related sanctions on Russia;
    • the interaction between DIT and other Government departments, including the Foreign, Commonwealth and Development Office, the Home Office, HMRC and the Treasury, in enforcing sanctions on Russia;
    • the impact of trade-related sanctions on UK businesses, supply chains and consumers, and the effectiveness of the Government’s support and guidance; and
    • whether the UK’s trade policy and approach to international co-operation has mitigated the domestic impact of the sanctions.
      The Committee is asking for written evidence to be submitted by 12pm on Friday 17 March 2023 (here).
    19 December 2022 Trade sanctions -Export Control Joint Unitguidance

    The Export Control Joint Unit (ECJU) published the following:

    • Anoticebriefly setting out the sanctions against Russia introduced under The Russia (Sanctions) (EU Exit) (Amendment) (No. 17) Regulations 2022 (please see the entry dated 15 December below for more information);
    • Aformto apply for a licence from the ECJU to provide technical assistance or support;
    • Newguidanceregarding Open Individual Export Licences (OIEL). OEIL may be used to regularly export similar controlled items to the same customer; and
    • Updatedguidanceregarding Global Project Licences. These licences are used to simplify the export of military goods and technology classed as collaborative defence projects.
    16 December 2022 General Licence- Wind down period (certainnew financial sanctions)

    Allows for a7 day wind down periodwith respect to certain financial prohibitions introduced by The Russia (Sanctions) (EU Exit) (Amendment) (No. 17) Regulations 2022, meaning that:

    • A person may deal with a transferable security or money-market instrument (Regulation 16);
    • A person may make funds or economic resources available to a person, other than an individual, which is not a person connected with Russia where the purposes of making those funds or economic resources available is to enable such person to grant a relevant loan as described in Regulation 17(2A);
    • A person directly or indirectly grantor enter into an arrangement to grant a Category 6 loan as described in Regulation 17(5); and
      A person may directly or indirectly acquire an ownership interest in or control over a person, other than an individual, which is not a person connected with Russia, for the purposes set out in paragraph 18B(3) of the Russia Regulation.

    Please see the entries below for more information regarding each prohibition above. The licence takes effect from 00:01 on 16 December 2022 andexpires at 23:59 on 22 December 2022

    15 December 2022

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 17) Regulations 2022

    (comes into force on16 December 2022)

    The Explanatory Memorandum is availablehereand the Impact Assessment is availablehere

    Disapplication of Banking Act 2009 requirement

    (new regulation 97A)

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 17) Regulations 2022

    Suspends the Bank of England’s duty under the Banking Act 2009 to make a decision in respect of a notification of third-country resolution action in respect of designated persons or persons owned or controlled by designated persons.

    Resolution is the process by which regulatory authorities manage the orderly failure of financial institutions.

    Trust services prohibition

    (new regulation 18C)

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 17) Regulations 2022

    Introduces a new prohibition on providingtrust services:

    • to, or for the benefit of, designated persons; and
    • to, or for the benefit of, persons connected with Russia unless they were doing so immediately prior to 16 December 2022.

    "trust services" means—

    a) the creation of a trust or similar arrangement,

    b) the provision of a registered office, business address, correspondence address or administrative address for a trust or similar arrangement,

    c) the operation or management of a trust or similar arrangement, or

    d) acting or arranging for another person to act as trustee of a trust or similar arrangement, where “trustee”, in relation to an arrangement similar to a trust, means a person who holds an equivalent or similar position to a trustee of a trust

    Trust services are providedfor the benefit of a person(“B”) where—

    • B is a beneficiary of a trust or similar arrangement,
    • B is referred to as a potential beneficiary in a document from the settlor relating to a trust or similar arrangement (such as a letter of wishes), or
    • having regard to all the circumstances, B might reasonably be expected to obtain, or to be able to obtain, a significant financial benefit from the trust or similar arrangement.

    The prohibition is also subject to a number of specificexceptions - all listed under the newregulation 60ZZB

    Financial restrictions -dealing with transferable securities or money-market instruments– new category

    (amendment to regulation 16)

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 17) Regulations 2022

    Addition of a new category of transferable security or money-market instrument to the existing prohibitions:

    It is prohibited to deal, directly or indirectly, with a transferable security or money-market instrument issued:

    • on or after16 December 2022,
    • by a person, other than an individual, which is not a person connected with Russia, and
    • for the purposes of certain activities in respect of investments in Russia (Note: these are the same activities which are prohibited by the investment restrictions set out underregulation 18B(2)– see 19 July entry below).

    Financial and investment restrictions –investments in relation to Russia– amendment to definition of "relevant entity"

    (amendment to regulation 18B)

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 17) Regulations 2022

    Amendment of the definition of a "relevant entity" for the purposes of the investment restrictions to clarify that a "relevant entity" is "means a person, other than an individual, whichhas a place of business located in Russia butis not a person connected with Russia".

    (see further detail regarding the investment restrictions below – 19 July 2022)

    The exceptions to the investment restrictions have also been amended – Regulation 60ZZA.

    Financial restrictions -Loans and credit arrangements

    (amendment to regulation 17)

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 17) Regulations 2022

    Introduces a new prohibition to existing restrictions:

    • a person is prohibited from making funds or economic resources available to a "relevant entity" where the purposes of making those funds or economic resources available is to enable such entity togrant a relevant loan(i.e. a loan prohibited by the restrictions in Regulation 17) on or after 16 December 2022.

    "relevant entity" – see entry immediately above.

    Also adds a new category of loan to those which are subject to existing restrictions on the granting of loans/credit (see 1 March 2022 and 28 October 2022 entries below). A "Category 6 loan" is a loan or credit:

    • made or granted to a relevant entity,
    • which is for the purposes of a certain activities in respect ofinvestments in Russia(Note: these are the same activities which are prohibited by the investment restrictions set out underregulation 18B(2)– see 19 July entry below);
    • which is first made or granted at any time on or after 16 December 2022, and
    • which is not a category 1 loan, a category 2 loan, a category 3 loan, a category 4 loan or a category 5 loan.

    Trade restrictions- amendments to existing restrictions

    (amendments to Schedule 2A and 3C)

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 17) Regulations 2022

    Amendments to existing trade restrictions:

    • additional items added to the list of critical-industry goods/technology, including camouflage, oil production and mining equipment (Schedule 2A); and
    • additional items added to the list of defence and security goods/technology, including calcium carbide, carbon monoxide, monoethyleneglycol, sulphur, and sulphur dioxide (Schedule 3C).

    Trade restrictions -Professional and business services– additional services added

    [(amendment of regulation 54C)-]

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 17) Regulations 2022

    Introduces a prohibition on the direct and indirect provision of the following additionalprofessional and business servicesto a person connected with Russia:

    • auditing services;
    • advertising services;
    • architectural services;
    • engineering services; and
    • information technology consultancy and design services.

    Each of these services are defined in more detail under the newSchedule 3Jto the Russia (Sanctions) (EU Exit) Regulations 2019.

    Overseas territories:
    Order in Councilextending UK sanctions

    The Russia (Sanctions) (Overseas Territories) (Amendment) (No. 4) Order 2022

    (made on 14 December 2022)

    这个顺序进行必要的修改effect in the relevant British overseas territories to the following changes made to the Russia sanctions regime pursuant to the Russia (Sanctions) (EU Exit) (Amendment) (No. 15) Regulations 2022 and the Russia (Sanctions) (EU Exit) (Amendment) (No. 16) Regulations 2022:

    • creating new trade prohibitions relating to gold jewellery and to certain processed gold, together with related definitions, exceptions and consequential amendments;
    • making provision concerning the prohibition of imports of liquefied natural gas and the export of Russia’s vulnerable goods (as defined in the amending regulations);
    • creating new prohibitions concerning the supply and delivery by ship of certain oil and oil products (“the new prohibitions”) and the provision of related ancillary services;
    • creating exceptions from the new prohibitions and for Treasury licences allowing maritime transportation of oil and oil products to take place notwithstanding the new prohibitions;
    • allowing for the issue of monetary penalties for breaches of the new prohibitions.
    13 December 2022 Asset Freeze

    15 individuals and 1 entityhave been added to the consolidated list and are now subject to an asset freeze. This includes Russian members of the armed forces and Iranian businessmen involved in providing Unmanned Aerial Vehicles (UAVs) for use by the Russian military.

    The newly added entity is Oje Parvaz Mado Nafar Company which has provided to the Russian military components and engines for UAVs that could contribute to destabilising Ukraine.

    9 December 2022
    Asset freeze

    1 individual has been added to the consolidated list and is now subject to an asset freeze:

    • Ramil Rakhmatulovich IBATULLIN, colonel of the armed forces of the Russian Federation.
    5 December 2022 Updated legislation- Immigration (Persons Designated under Sanctions Regulations) (EU Exit) (Amendment) Regulations 2022

    The UK Parliament debated the Immigration (Persons Designated under Sanctions Regulations) (EU Exit) (Amendment) Regulations 2022. The new regulations seek to clarify that:

    • when a travel ban is imposed under the Sanctions Act, people lawfully in the UK are exempt from its effect while their human rights or protection claim is considered;
    • however, when a sanctioned person leaves the UK, that exemption should end.

    A travel ban has an effect on a person’s immigration status; they cannot enter or remain in the UK. The current legislation allows for a person who is lawfully in the UK to make a human rights claim before a travel ban made under the Sanctions Act impacts their immigration status. They are then exempt from the effect of the travel ban while the claim is considered. By contrast, non-designated persons making a human rights claim under the immigration rules also benefit from the same protections, but cannot leave the UK and return simply on the basis of a claim lodged before their departure.

    The updated regulations aim to protect the UK sanctions regimes from abuse and provide consistency with the wider immigration system.


    OFSI Guidance- UK Maritime Services Prohibition and Oil Price Cap

    OFSI published guidance regarding the UK ban on the provision of maritime transportation of certain Russian oil and oil products and associated services. The guidance covers the following topics:

    1. Purpose of the ban;
    2. The UK’s ban on the maritime transportation of Russian oil and oil products and associated services;
    3. How will the bans be implemented and enforced;
    4. Exceptions and licensing;
    5. How attestation works; and
    6. 报告。
    General Licence- Oil Price Cap:Exempt Projects and Countries

    Permits:

    • the supply or delivery by ship of Russian oil originating in or consigned from the Sakhalin-2 Project from a place in Russia, to a place in Japan from5 December 2022 until 29 September 2023;
    • the execution of contracts concluded before 4 June 2022, or of ancillary contracts necessary for the execution of such contracts, for the purchase, import or transfer of Russian oil into Bulgaria from5 December 2022 until 31 December 2024;
    • where there are no alternative supplies of vacuum gas oil available, the purchase, import or transfer of vacuum gas oil falling under commodity code 2710, which is consigned from, or originates in, Russia into Croatiafrom 5 February 2022[This appears to be an error and should refer to 5 February 2023]until 31 December 2023;
    • the supply or delivery by ship of crude oil originating in or consigned from Russia falling under commodity code 2709 for a landlocked European member state as described in Council Regulation (EU) 2022/879 of 3 June 2022, if the supply of crude oil by pipeline from Russia is interrupted for reasons outside the control of that member statefrom 5 December 2022 until the Treasury's confirmationthat the supply of crude oil by pipeline from Russia to the landlocked European member state is resumed; and
    • the provision of relevant services (associated financial services, funds and brokering services) in respect of the same.

    本牌照生效5 December 2022 and is of indefinite duration (subject to the expiration dates above).

    General Licence- Correspondent banking and payment processing Permits financial institutions to process, clear or send payments to any person or entity in connection with activities that would otherwise contravene the ban on the provision of financial services and funds and brokering in relation to the maritime transportation of certain oil and oil products (regulation 46Z9C to 46Z9D of The Russia (Sanctions) (EU Exit) Regulations 2019).
    General Licence-Winddown

    This general licence provides for a time-limited exception to the oil and oil products maritime transportation ban for transactions involving oil that is loaded onto a vessel at the port of loading prior to 5 December 2022. It permits:

    • the supply or delivery of Russian oil by ship from Russia to a third country or from a third country to another third country;
    • the provision of relevant services by service providers to any person by ship from Russia to a third country or from a third country to another third country; and
    • the processing of payments by financial institutions in relation to the above.

    The Russian oil must be loaded onto a Ship at the port of loading prior to5:01 a.m., GMT, 5 December 2022, and offloaded at the port of destination prior to5:01 a.m., GMT, 19 January 2023

    The general licence differentiates between Tier 1, Tier 2 and Tier 3 providers, each of which is subject to different requirements (Tier provider status is determined by the extent to which a service provider can access the unit price agreed per barrel of Russian oil).

    The licence is also subject to strict record-keeping requirements lasting 4 years from the end of the calendar year in which the record was created. Additional record-keeping requirements apply to Tier 1, Tier 2 and Tier 3 providers.

    本牌照生效5 December 2022and is of indefinite duration.

    General licenceOil Price Cap

    This general licence permits:

    • the supply or delivery of Russian oil by ship from Russia to a third country or from a third country to another third country provided that the unit price of the Russian oil is at or below the price cap of USD 60 per barrel of crude oil (the "Price Cap");
    • the provision of relevant services by service providers to any person in respect of the supply or delivery of Russian oil by ship from Russia to a third country or from a third country to another third country provided that the price per barrel of Russian oil is at or below the Price Cap; and
    • the processing of payments by financial institutions in relation to the above.

    The general licence differentiates between Tier 1, Tier 2 and Tier 3 providers, each of which is subject to different requirements. (Tier provider status is determined by the extent to which a service provider can access the unit price agreed per barrel of Russian oil) .

    The licence is also subject to strict record-keeping requirements lasting 4 years from the end of the calendar year in which the record was created. Additional record-keeping requirements apply to Tier 1, Tier 2 and Tier 3 providers.

    本牌照生效5 December 2022and is of indefinite duration.

    G7 Statement-Oil Cap

    The G7, EU and Australia have agreed to set the maximum price ofUSD 60 per barrel for seaborne Russian-origin crude oil

    The price cap on Russian-origin crude oil entered into force across the relevant jurisdictions on5 December 2022(please see the UK general licence above). The statement reiterated that the price cap on Russian-origin petroleum products will enter into force on 5 February 2023.

    1 December 2022 Updated Guidance- Department for International Trade

    The Department for International Trade has published guidance on applying for licences with respect to the provision of accounting, business and management consulting, and public relations services to a ‘person connected with Russia’. The guidance notably includes information on the contents of the cover letter for a licence application.

    Please see the entry dated 21 July 2022 for more information regarding the prohibition of accounting, business and management consulting, and public relations services.

    30 November 2022 Asset Freeze

    22 individualshave been added to the consolidated list and are now subject to an asset freeze. These include a number of Russian officials such as:

    • MANTUROV, Denis Valentinovich, Russian Deputy Prime Minister and Minister of Industry and Trade; and
    • GOSTEV, Arkady Alexandrovic , Director of the Russian Federal Penitentiary Service.
    28 November 2022 SRA Guidance- Complying with the UK Sanctions Regime

    The Solicitors Regulation Authority (SRA) published guidance setting out its expectations regarding the UK sanctions regime and providing practical advice on avoiding breaches. This guidance will be relevant to SRA-regulated firms, solicitors, registered European lawyers and registered foreign lawyers.

    Separately, the SRA expressed concern in awarning noticearound the misuse of litigation to discourage public criticism, a type of abusive litigation known as strategic lawsuits against public participation (SLAPPs). The SRA has specifically referred to that warning notice on its page dealing with 'Impacts of Russia sanctions' . The SRA warned that failure to have proper regard to this warning notice is likely to lead to disciplinary action.

    2022年11月24日

    英国海外领土:
    Order in Council extending UK sanctions

    Russia (Sanctions) (Overseas Territories) (Amendment) (No. 3) Order 2022

    A new Order has been introduced by the UK government to give effect in the relevant British overseas territories to the changes made to the Russia sanctions regime by the regulations below:

    • The Russia (Sanctions) (EU Exit) (Amendment) (No. 11) Regulations 2022 (see entry dated 15 July 2022 for more information);
    • The Russia (Sanctions) (EU Exit) (Amendment) (No. 12) Regulations 2022 (see entry dated 19 July 2022 for more information);
    • The Russia (Sanctions) (EU Exit) (Amendment) (No. 13) Regulations 2022 (see entry dated 18 July 2022 for more information); and
    • The Russia (Sanctions) (EU Exit) (Amendment) (No. 14) Regulations 2022 (see entry dated 21 July 2022 for more information).

    The list of British overseas territories is available under theScheduleto the regulation.

    21 November 2022 Updated guidance- UK ban on俄罗斯石油and oil products

    21 November 2022 Updated guidance- UK ban on Russian oil and oil products The UK government published guidance explaining the ban on Russian oil, oil products and associated services. The guidance covers:

    • Details of the UK ban on Russian oil and oil products intended for entry into the UK;
    • How to determine the origin of oil imports to the UK; and
    • How the UK ban on intended entry of Russian oil and oil products will be enforced.
    17 November 2022 General licence- Payment to Energy Companies for Gas and/or Electricity

    The general licence permits:

    • payments from frozen accounts to utility companies for gas and electricity by UK designated who own or rent properties in the UK;
    • receipt of such payments by energy companies;
    • making return-payments as a result of over-payments made pursuant to this licence or in relation to the UK Government energy subsidy payments under the Energy Bills Support Scheme over winter 2022 to 2023; and
    • processing of all payments above by financial institutions.

    This licence is subject to record-keeping requirements (availablehere). It will take effect from 17 November 2022 and will expire at 23:59 on16 April 202316 October 2023

    [注意:这个通用许可证延长Febr 24日uary 2023 - see entry above for more information].

    14 November 2022 OFSIblog post- Upcoming general licences

    OFSI announced that by 5 December 2022 (date by which the crude oil ban will come into effect):

    • a general licence creating the price cap will be published; and
    • additional general licences to ensure international alignment and the smooth operation of the price cap will also be published.
    OFSI Guidance- Oil Price Cap

    OFSI published its "UK Maritime Services Prohibition and Oil Price Cap Guidance". This document provides guidance regarding the UK ban on the provision of maritime transportation of certain Russian oil and oil product and associated services (as introduced by The Russia (Sanctions) (EU Exit) (Amendments) (No.16) Regulations 2022).

    Please see the entry dated 3 November 2022 below for more information regarding the Russian oil and oil product ban.

    11 November 2022 Frozen Asset Reporting 2022-Notice As part of its annual review of frozen assets, OFSI requests that all persons holding or controlling funds or economic resources belonging to, owned, held or controlled by a designated person to provide a report to OFSI with details of such assets by11 November.Further information is availablehere
    10 November 2022 General licence amendment- Truphone Limited

    The general licence granted in relation to Truphone Limited on 2 November 2022 has been amended to incorporate the following changes:

    • The licence will expire at 23:59 on28 April 2023instead of 31 January 2023;
    • The licence has been extended to Truphone Limited's subsidiary companies, as existed at the point of designation with the exception of Cellnetrix Technology LLC; and

    Additional clarifications regarding the scope of the licence have been included (notably regarding incremental orders and loan funding by directors).

    General licence amendment- use of retail banking services of a designated credit/financial entity

    The general licence allowing non-designated persons to make use of retail banking services of a sanctioned credit or financial institution has been renewed from 10 November 2022 until10 November 2023.The licence was granted for personal use only and for a total value not exceeding £50,000.

    The original licence was originally granted on 10 June 2022 and expired on 10 September 2022. Please see the entry dated 16 June 2022 below for more information regarding the scope of the licence.

    9 November 2022 Updated OFSI Guidance OFSI's statutory guidance has been updated to clarify the application of the prohibition on providing financial services and funds relating to restricted goods and G7 dependency and further goods.
    General licence- specified fertiliser goods

    The Export Control Joint Unit published a general licence authorising the direct or indirect provision of financial services or making funds available to a person connected with Russia in connection with:

    • The direct or indirect supply or delivery of specified fertiliser goods from Russia to a third country; or
    • Directly or indirectly making specified fertiliser goods available from Russia to a person in a third country;

    provided the fertilisers are for agricultural use only. "Specified fertiliser goods" is defined under the licence.

    This licence shall come into force on9 November 2022.Any person seeking to rely on the licence must register online viaSPIREwithin 30 days of their first use of the licence.

    4 November 2022 General Licence-Agricultural commodities transactions

    For the purposes of this licence, "Agricultural Commodities" means "Food; Fertiliser; Seed; Feed; and Reproductive materials (such as live animals, fertilized eggs, embryos, and semen) for the production of food for animals".

    Relevant Exporters(i.e. non-designated exporters, producers, sellers or transporters of Agricultural Commodities); orDIT Licence Holdersmay continue to:

    • receive funds and economic resources from any person, including from Designated Persons, in connection with the export, sale, production and transport of Agricultural Commodities; or
    • transfer funds or economic resources to:

    - Relevant Institutions, Insurance Providers or Relevant UK Nationals in connection with the export, sale, production and transport of Agricultural Commodities, including for the purchase of insurance and reinsurance; or

    - UK Corporates, Designated Persons or any other Person in connection with the export, sale, production and transport of Agricultural Commodities

    Relevant Institutions, Insurance Providers, UK Corporates or Relevant UK Nationals may carry out the activities necessary to effect the above permissions.

    This includes the provision ofinsurance, reinsurance and underwriting services and any other Financial Service(as defined as defined in section 61(1) of the Sanctions and Anti-Money Laundering Act 2018) to a Relevant Exporter, DIT Licence Holder or Designated Person in connection with a transaction relating to Agricultural Commodities.

    Designated Personsmay also carry out the following activities:

    • Transfer Funds to Relevant Institutions or Insurance Providers to:

    - pay for insurance and reinsurance services in connection with a transaction relating to Agricultural Commodities;

    - pay Banking Fees in connection with a transaction relating to Agricultural Commodities; and

    - effect and/or process the transactions referred to in the paragraphs below.

    • Transfer Funds or Economic Resources to Relevant Exporters, DIT Licence Holders or UK Corporates in connection with the export, sale or production of Agricultural Commodities; and
    • Receive Funds or Economic Resources from Relevant Exporters, DIT Licence Holders, UK Corporates, Relevant Institutions or Insurance Providers in connection with the export, sale or production of Agricultural Commodities.

    本牌照生效4 November 2022and has no expiry date.

    3 November 2022

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 16) Regulations 2022:

    Explanatory memorandum

    Impact assessment

    Trade restrictions-maritime transportation of certain oil and oil products

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 16) Regulations 2022

    (New Chapter 4IA)

    Introduces a prohibition on direct or indirect supply or delivery by ship of certain oil and oil products which originate in or are consigned from Russia (i) from a place in Russia to a third country; or (ii) from one third country to another third country.

    禁令生效:

    • from5 December 2022for products falling within commodity codes 2709
    • from5 February 2023for products falling within commodity codes 2710

    Includes a prohibition on associated financial services, funds and brokering services.

    Provides forexceptionswhere such products:

    1. originate in a country that is not Russia,
    2. are not owned by a person connected with Russia, and
    3. are only being loaded in, departing from or transiting through Russia (new Regulation 60HA).

    According to theexplanatory memorandum:

    • a General Licence will be introduced to allow a price cap exception where the supply or delivery by ship of 2709 and 2710 oil and oil products and the provision of related ancillary services will be available to third country importers, so long as they purchase oil below an agreed price.
    • further licences will be introduced in certain circumstances to permit supply or delivery by ship of 2709 and 2710 oil and oil products and related services in respect of specific activities critical to energy security.

    Existing reporting obligations (under Regulation 70) are expanded to include a requirement to report breaches or suspected breaches of these prohibitions, and associated information, to Treasury.

    Trade restrictions –maritime transport of oil products- civil penalties for breach

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 16) Regulations 2022

    (New Regulations 88C and 88D)

    Confers on OFSI the power to imposecivil monetary penaltieson a person who fails to comply with the trade sanctions relating to maritime transportation of certain oil and oil products. Any defence that the person did not know and had no reasonable cause to suspect that such an offence had been committed is to be ignored

    Existing criminal penalties for breaches of trade sanctions also apply.

    The amount of the penalty may not exceed the permitted maximum which is:

    • the greater of £1,000,000 or 50% of the estimated value of the breach where it is possible to estimate the value of the breach of the prohibitions; or
    • £1,000,000 in any other case.

    Trade restrictions –oil and oil products– amendment to implementation date

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 16) Regulations 2022

    (Amendments to regulation 46Z3)

    The implementation of prohibitions relating to the import of all Russian oil and oil products into the UK (introduced by Amendment No. 14 – see entry dated 21 July 2022 below) will be brought forward to5 December 2022(instead of 31 December 2022 as previously announced).
    2 November 2022 Asset freeze

    Four individuals have been added to the consolidated list and are now subject to an asset freeze.

    • Alexander Grigoryevich Abramov
    • Alexander Vladimirovich Frolov
    • Airat Mintimerovich Shaimiev
    • Albert Kashafovich Shigabutdinov
    General licence– Truphone Limited

    The general licence permits:

    • Truphone to continue to provide telecommunications services under existing arrangements, and to make and receive any payments due under contractual obligations arising from the same;
    • A person to undertake any activity necessary for the effect termination of any telecommunications services contracts or obligations;
    • Truphone to pay UK staff salaries/pensions etc; fees/costs for the functioning of the business (e.g. utilities and tax); and third parties necessary for the provision of telecommunications services.

    Relevant institutions may process payments in accordance with the above. Any payments received by Truphone must be paid into a UK bank account, whereupon they must be frozen.

    The general licence does not permit the repayment of any loans or any other debt facilities extended to the Truphone, directly or indirectly, by Alexander Abramov, Alexander Frolov or any person, including any shareholders.

    Payments/activity over £5,000 must be reported to OFSI within 14 days.

    The general licence terminates on 23:59 on31 January 2023

    28 October 2022 General Licence- Legal Fees

    The UK government issued a general licence allowing payments to be made by a person designated under the Russia or Belarus regime for legal professional fees and expenses associated with the provision of legal services.

    The licence differentiates between legal services provided ‘pre-designation’ (Part A) and ‘post-designation’ (Part B):

    • For legal services carried out in satisfaction of a prior obligation (for example where a law firm or barrister is engaged before the designation of the individual or entity), there is a £500,000 (inc. VAT) cap on the amount that can be claimed over the duration of the licence; and
    • For legal services carried out post-designation, users of the licence will need to demonstrate through their reporting obligations that all fees paid are reasonable. This will be done by providing details of hourly fees, workstreams, and evidence that overall fees are at or below a cap of £500,000 (inc. VAT).

    Both caps may be combined (i.e. up to a £1 million limit), and a specific licence should be sought for any fees above this cap. Any activity conducted under this general licence must be reported to HM Treasury within 7 days, with details and supporting evidence. More information on reporting requirements are available on OFSI's websitehere

    本牌照生效28 October 2022 and expires on28 April 2023

    General Licence- category 5 loans (Gazprom Germania / Securing Energy for Europe)

    The UK government issued a general licence permitting the continued granting of category 5 loans or entering into arrangements to grantcategory 5 loansto Saving Energy For Europe GmBH, also known as Gazprom Germania and/or its subsidiaries, including SEFE Marketing and Trading and SEFE Energy, for the following purposes:

    • over the counter trading in gas and power market trades;
    • payment in respect of credit arrangements and invoices by Gazprom Germania and/or any of its Subsidiaries to any third party for purchase of gas or services;
    • customer credit arrangements/any arrangements by customers to make prepayments to Gazprom Germania and/or any of its Subsidiaries;
    • provision of clearing services to Gazprom Germania and/or any of its Subsidiaries;
    • payments and loan arrangements between Gazprom Germania and/or any of its Subsidiaries;
    • issuing and providing financing for letters of credit.

    Relevant Institutions are permitted to process any of the above payments.

    Please see the entry below for more information regarding "category 5 loans".

    This Licence takes effect from 28 October 2022 and expires on2023年10月29日(availablehere).

    General licence– category 5 loans – wind-down

    The UK government issued a general licence permitting the continued granting ofcategory 5 loansfor the7 daysfollowing the issuing of the Licence (please see the entry below for more information regarding "category 5 loans")subject to record-keeping requirements.

    This Licence takes effect from 28 October 2022 and expires on5 November 2022

    Financial restrictions – capital markets restrictions (granting new loans) – amendment

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 15) Regulations 2022

    (amended Reg 17(5))

    Definition of "category 3 loan" amended to add an end-date of 28 October 2022 (effectively phasing out the restrictions on "category 3" loans that have been in place since 1 March 2022).

    Added a new category of loan to those which are subject to existing restrictions on the granting of loans/credit (see 1 March 2022 entry below). A "category 5 loan" is a loan or credit:

    • which is not a category 1-4 loan,
    • has a maturity exceeding 30 days and
    • is granted on or after 29 October 2022 to:

      a)an entity connected with Russia (other than an entity incorporated outside of Russia on 29 October, or an entity owned by such entity); or

      b)an entity owned by an entity described in point a) above; or

      c)an entity owned by an individual connected with Russia.

    Trade restrictions –gold jewellery and processed gold

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 15) Regulations 2022

    (new Chapter 4JA)

    Introduces prohibitions on:

    • importinggold jewelleryoriginating in Russia where it has been exported from Russia on or after 29 October 2022;
    • importingrelevant processed gold;
    • acquiring, directly or indirectly,gold jewellery它发源于俄罗斯和位于Russi吗a or has been exported from Russia after 29 October 2022, with the intention of the gold jewellery entering the UK; and
    • associated technical assistance, financial services and funds, and brokering services.

    "relevant processed gold" means gold which: (a)has been processed in a third country; and (b) incorporates gold that, on or after 21 July 2022 originated in Russia, and has been exported from Russia.

    Trade restrictions –liquified natural gas (LNG)

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 15) Regulations 2022

    (new Chapter 4L)

    From 1 January 2023, there will be prohibitions on:

    • importing of liquefied natural gas which is consigned from, or originates in, Russia;
    • acquiring, directly or indirectly, directly or indirectly, liquefied natural gas which originates in Russia and is located in Russia or has been exported from Russia, with the intention of the liquefied natural gas entering the UK; and
    • associated technical assistance, financial services and funds, and brokering services.

    "liquefied natural gas" means liquefied natural gas falling within commodity code 2711 11 00

    Trade restrictions –Russia's vulnerable goods

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 15) Regulations 2022

    (new Chapter 4M and Schedule 3I)

    Introduces prohibitions on a new category of goods – Russia's "vulnerable goods" (as listed in Schedule 3I), including:

    • exporting Russia's vulnerable goods to, or for use in, Russia;
    • directly or indirectly supplying or delivering Russia’s vulnerable goods from a third country to a place in Russia;
    • directly or indirectly making Russia’s vulnerable goods available for use in Russia or to a person connected with Russia;
    • associated technical assistance, financial services and funds, and brokering services.

    Russia's "vulnerable goods" are products which are critical to Russia's economy.

    Trade restrictions –amendments to existing restrictions

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 15) Regulations 2022

    Amendments to existing trade restrictions:

    • minor clarificatory amendments to the lists of critical-industry goods and critical-industry technology (Schedule 2A); oil refining goods and technology (Schedule 2D) and quantum computing and advanced materials goods and technology (Schedule 2E)
    • insert additional goods as Additional "G7 dependency and further goods" (new Part 3 of Schedule 3E). The aim of this measure is to further align with the EU’s existing prohibitions to include oil refining technology and manufacturing products.
    • introduces new exceptions for the trade restrictions on "luxury goods" and gold

    26 October 2022

    Government Response- Upcoming Economic Crime Plan The UK government published its response to the Foreign Affairs Committee's interim report "The cost of complacency: illicit finance and the war in Ukraine" published on 30 June 2022 (availablehere).

    As part of its response, the government stated that work is underway to develop a new Anti-Corruption Strategy and the next Economic Crime Plan, which will go further still to tackle the threat from Economic Crime, including a specific focus on kleptocracy and sanctions evasion (Q.14).
    20 October 2022 Asset Freeze- additions

    3 Iranian individuals and 1 Iranian entityhave been added to the consolidated list and are now subject to an asset freeze:

    • 赛义德Aghajani
    • Mohammad Bagheri
    • Seyed Hojjatollah Qureishi
    • Shahed Aviation Industries, a drone manufacturing company.

    The UK government'spress releaseconfirms that these sanctions have been imposed against those Iranian individuals and businesses responsible for supplying Russia with kamikaze drones used in Ukraine.

    Upcoming legislation- Sanctions (Damages Cap) Regulations 2022

    The UK Parliament debated the draftSanctions (Damages Cap) Regulations 2022this week. The purpose of this instrument is to specify the amount of damages which cannot be exceeded where a court is satisfied that a designation was made in bad faith. The proposed cap is set at£10,000

    In some cases, designated persons may have an incentive to pursue government through the courts, even though their claims may eventually be found to be without merit. This cap on damages seeks to disincentivise such claims.

    Please find the explanatory memorandumhere, the draft legislationhereand the procedure timelinehere

    18 October 2022 Press Release- OFSI-OFAC cooperation

    OFSI and OFAC have issued a statement detailing their enhanced cooperation following a multi-day technical exchange in London. This includes:

    • OFAC and OFSI officials working together on implementation and enforcement, including further exchanging best practices and strengthening working relationships at all levels;
    • identifying opportunities to pool expertise, thinking creatively about current challenges, exploring opportunities to align the way both organisations implement sanctions, and assisting stakeholders either through joint products or by providing guidance resulting from collaboration behind the scenes; and
    • developing approaches to address shared priorities like cyber threats and the misuse of virtual assets, improving information sharing, and ensuring that sanctions do not prevent humanitarian trade and assistance from reaching those in need.
    17 October 2022 General Licence-Arbitration payments

    OFSI has issued a new General Licence which permits the following:

    • Any natural or legal persons designated under the Belarus or the Russia regulations ("DPs"), companies owned or controlled by DPs or their legal representatives may make payments to the London Court of International Arbitration ("LCIA") to cover their arbitration costs;
    • The LCIA may direct and receive such payments to use them to pay for arbitration costs; and
    • The LCIA’s banks may apply interest to any funds which are held by the LCIA on trust for DPs or companies owned or controlled by DPs (please see the entry dated 22 August 2022 below for a definition of "Bank"). In addition, financial institutions may process the payments set out above.

    This General Licence takes effect from 17 October 2022 and is ofindefinite duration

    11 October 2022 Press release– G7 meeting

    The UK Prime Minister Liz Truss joined a virtual gathering of G7 leaders and President Zelenskyy on 11 October following Russia's most recent attacks in Kyiv. This meeting was the first gathering of all G7 leaders since Ukraine’s counter-offensive started to take hold in Ukraine.

    The group discussed the following points:

    • The UK Prime Minister asked countries to maintain sanctions and called for an urgent meeting of NATO leaders to ensure allies remain united in their opposition to Russia's invasion of Ukraine; and
    • The group also worked to finalise and implement an international cap on the price of Russian oil.

    The G7 leaders' joint statement following the meeting is availablehere

    6 October 2022 General licence英国,俄罗斯银行ubsidiaries (basic needs) – amendment

    OFSI amended the VTB basic needs General Licence granted on 1 March 2022 to include payments related to Insolvency Proceedings under the German Banking Act.

    The General Licence expires on3 April 2023.See entries on 1 March 2022 and 22 August 2022 below for more details.

    4 October 2022 Asset Freeze- addition and removal

    1 individualhas been added to the consolidated list and is now subject to an asset freeze:

    • Sergei Vladimirovich Yeliseyev, Deputy Prime Minister of Kaliningrad and Head of Government of the Russian-occupied Kherson region.

    1 individualhas been removed from the consolidated list and is no longer subject to an asset freeze:

    • Sergei Stanislavovich Yeliseyev, Vice-Admiral of the Russian Navy and Head of Government of the Russian-occupied Kherson region.
    30 September 2022 Upcoming services sanctions and export ban-UK government press release

    The UK Foreign Secretary has announced new services and goods export bans in response to Russia's illegal annexation of the Ukrainian regions of Donetsk, Luhansk, Kherson and Zaporizhzhia following sham referenda.

    Under the new sanctions, the UK will prevent Russian access to:

    • IT consultancy services;
    • architectural services;
    • engineering services;
    • advertising services;
    • transactional legal advisory services; and
    • auditing services.

      The UK will also ban the export of nearly 700 goods that are critical for production in Russia’s manufacturing sector.

      In addition, the UK will suspend the process by which actions taken to manage the orderly failure of Russian banks subject to sanctions are recognised under UK law. This will prevent any Russian actions from taking legal effect in the UK and potentially providing economic benefit to the Russian state.

      Finally, the UK continues to work with the G7 to finalise and implement the proposed price cap on Russian oil (please see the entry dated 5 September 2022 below for more information).
    Asset Freeze- addition

    1 individualhas been added to the consolidated list and is now subject to an asset freeze:

    • Elvira Sakhipzadovna Nabiullina, Governor of the Central Bank of the Russian Federation.
    27 September 2022 Enforcement- Imposition ofmonetary penalty

    OFSI has imposed a monetary penalty of £30,000 against UK registered company, Hong Kong International Wine and Spirits Competition Ltd (HKIWSC) for breaches of sanctions which were imposed by the EU (including the UK) in 2014 in response to actions which undermined or threatened the territorial integrity, sovereignty, and independence of Ukraine.

    The penalty relates to three payments and 78 wine bottles HKIWSC received from a designated entity for entry into competitions between September 2017 and August 2020. OFSI identified five potential breaches:

    • four of the breaches related to the receipt of funds and/or wine bottles with a cumulative value of just under £4,000, a tangible economic resource, from the designated entity; and
    • one breach related to the publicity HKIWSC made available to the designated entity, which OFSI determined to be an intangible economic resource, an asset which may be exchanged or used in exchange for funds.
    26 September 2022 Asset freeze

    92 entrieshave been added to the consolidated list in response to the Russian regime imposing "sham referendums" in 4 regions of Ukraine: comprising:

    89 individuals:Amongst those individuals designated are:

    • Igor Makarov, president and owner of ARETI International Group, a major investor in the oil and gas sector;
    • 23 individuals from theGazprombankBoard of Directors and Management Board;
    • 16 members of theSberbankSupervisory Board, Executive Board, and other Directors; and
    • 10 individuals fromSovcombank, including the Deputy Chairman and members of the Supervisory Board and Management Board.

    3 entities:

    • Goznak
    • IMA Consulting
    • LLC Commercial Bank – International Settlements Bank
    22 September 2022 Upcoming legislation- Economic Crime and Corporate Transparency Bill

    The Economic Crime and Corporate Transparency Bill (the "Bill") passed its first reading in the House of Commons. The Bill is intended to build on the measures contained in the Economic Crime (Transparency and Enforcement) 2022 Act (the "ECTE Act"). It contains an additional suite of reforms to tackle economic crime and improve transparency over corporate entities. In summary, as regards sanctions, the Bill:

    • makes it an offence for persons designated under UK or UN sanctions to act as directors of companies or to take part in the promotion, formation or management of a company;
    • removes to the requirements in SAMLA 2018 for statutory instruments each time the UK’s High-Risk Third Countries list needs updating;
    • imposes requirements for enhanced customer due diligence measures by reference to a list of high-risk countries;
    • removes the statutory fining limit to allow the Solicitors Regulation Authority to set its own limits on financial penalties imposed for economic crime disciplinary matters, including those relating to sanctions.

    The House of Commons has started its second reading of the Bill. Further information regarding the status of the Bill is availablehere.进一步的信息关于th的内容e Bill is availablehere

    16 September 2022 Asset freeze- removal

    The following entity has been removed from the consolidated list and is no longer subject to an asset freeze:

    • ZAO Interavtomatika (IA)
    5 September 2022 G7 statement– crude oil and petroleum price cap

    The G7 Finance Ministers' statement following their meeting on 2 September 2022 contained the following statements about the crude oil and petroleum price cap:

    • Today we confirm our joint political intention to finalise and implement a comprehensive prohibition of services which enable maritime transportation of Russian-origin crude oil and petroleum products globally – the provision of such services would only be allowedif the oil and petroleum products are purchased at or below a price("the price cap") determined by the broad coalition of countries adhering to and implementing the price cap.
    • In line with our extensive and ongoingengagement with a diverse group of countries and key stakeholders, we invite all countries to provide input on the price cap´s design and to implement this important measure
    • The initial price cap will be set at a level based on a range of technical inputs and will be decided by the full coalition in advance of implementation in each jurisdiction. The price cap will be publicly communicated in a clear and transparent manner.The price cap's effectiveness and impact will be closely monitored and the price level revisited as necessary
    • We envisage that practical implementation of the price cap will bebased on a recordkeeping and attestation modelcovering all relevant types of contracts. We aim to ensure consistent implementation across jurisdictions.
    30 August 2022 Financial sanctions – expandedreporting obligations The expanded definition of "relevant firms" to includecryptoasset exchange providersandcustodian wallet providerscomes into effect as of today (for detail, see entry from 19 July 2022 below).
    22 August 2022 General licence英国,俄罗斯银行ubsidiaries (basic needs) –amendment

    Extended the VTB basic needs General Licence granted on 1 March 2022 to include the following VTB subsidiaries:

    • VTBC Asset Management International Limited (Guernsey subsidiary);
    • VTB Bank (Europe) SE ("VTBE") (EU subsidiary); and
    • any entity owned or controlled by VTBE incorporated in Germany.

    The General Licence expires on3 April 2023.See entry on 1 March 2022 below for more details.

    General LicenceBank fees

    Permits, subject to record-keeping requirements:

    • A Bank to take the payment of Service Fees from frozen accounts, arising from the routine holding or maintenance of those accounts, including the payment of Service Fee arrears;
    • Persons to make payment to settle any tax liabilities arising from the above and HMRC to receive such payments; and
    • Relevant institutions to process payments made in accordance with this General Licence.

    "Bank" means a person or a firm with a Part 4A permission which includes accepting deposits, and which is a credit institution. It does not include a building society, friendly society or a credit union.
    "Person" means an individual, a body of persons corporate or unincorporate, any organisation or any association or combination of persons.

    "Service Fees”是指服务费用,否则银行将charge for the routine holding or maintenance of a bank account, including but not limited to premium bank account fees, fees associated with the provision of bank statements, account maintenance fees, late payment charges and overdraft fees. Service fees may also include transaction fees, payment fees or transfer fees, where those fees pertain to a transaction otherwise licensed by OFSI.

    This General Licence does not permit the payment to banks designated under the Russia Regime.

    This General Licence is ofindefinite duration

    18 August 2022
    General LicencePermitted payments to UK insurance companies- amendment

    The General Licence permitting certain insurance-related payments (see entry from 22 July 2022) has been extended to include within "Permitted Payments":

    • Terrorism Insurance
    • Property Owners' Liability Insurance
    • Claims Preparation Insurance

    This General Licence is ofindefinite duration

    18 August 2022 General Licence-Evraz -extension The General Licence permitting the continuation of business operations involving the North American subsidiaries of Evraz plc (see entry from 5 May 2022) has been extended and will now expire on31 March 2023.[Note: On 16 February 2023, the General Licence was further extended to 30 September 2023 – see above.]

    16 August 2022
    General LicenceCrown servants, contractors and their family members

    Permits, where Crown immunity does not apply:

    • A Crown Servant, Contractor, Family Member or Visiting Family Member to carry out activities in their personal capacity in Russia which would otherwise be prohibited by regulations 11-15 and 17A of the Russia Regulations;
    • Visiting Family Members to carry out only those activities which arise as a result of their being in Russia to visit the household of a Crown Servant or Contractor; and
    • Any relevant institution to carry out any activity necessary to effect the above permissions.

    "Crown Servant" means an individual holding office or employment under the Crown

    "Contractor”是指一个人并不是一个皇冠的仆人,but who has been contracted by the Crown to provide goods or services within or in relation to the Crown’s operations in Russia

    "Family Member" means a member of the family forming part of the household of a Crown Servant or Contractor, namely:

    • A spouse;
    • A civil partner;
    • An established partner; and
    • Dependent children up to the age of 18, or up to the age of 21 and in full-time education.

    "Visiting Family Member" means:

    • The spouse of a Crown servant, or Contractor;
    • The civil partner of a Crown servant, or Contractor;
    • The established partner of a Crown servant or contractor;
    • Any parent or other ascendant of (i) a Crown servant or Contractor; or (ii) the spouse, civil partner or established partner of a Crown servant or Contractor; (e) Any child or other descendant of (i) a Crown Servant, Contractor; or (ii) the spouse, civil partner or established partner of a Crown servant or contractor;
    • Any individual who is a brother or sister of (i) a Crown Servant, or Contractor; (ii) the spouse, civil partner or established partner of a Crown servant or contractor; or (iii) a child or other descendant of that individual (i.e. nephews and nieces etc).

    This General Licence takes effect from 11:59pm (midnight) on19 August 2022and hasno expiry date

    General LicenceMongolia energy payments

    Permits:

    • A Person to continue to make payments to a Sanctioned Bank or any subsidiary for the purpose of making energy available for use in Mongolia; and
    • A Person, relevant institution, Sanctioned Bank or subsidiary to carry out any activity reasonably necessary to effect this.

    "Person" means an individual, a body of persons corporate or incorporate, any organisation or any association or combination of persons.

    The "Sanctioned Banks" are:

    • Credit Bank of Moscow;
    • Gazprombank;
    • Sberbank; and
    • Rosbank PJSC.

    This General Licence expires on14 August 2023

    5 August 2022 General LicenceCompanies winding down operations in Russia

    Permits, subject to reporting requirements:

    • A Person (excluding a designated person) to make use of the retail banking services of a designated Credit or Financial Institution to make or receive payments that are exclusively for the purpose of winding down business operations in Russia provided that no payments are otherwise made to a designated person; and
    • A relevant institution may process payments made in accordance with the above.

    "Person" means a body of persons corporate or unincorporate, any organisation or any association or combination of persons, excluding a designated person

    Payments permitted under this General Licence include payment of staff salaries, taxes, regulatory fees and other fees to official government bodies, and payment of bills or invoices.

    Making use of the retail banking services of a designated Credit or Financial Institution does not include selling or transferring a Person's assets to a designated Credit or Financial Institution.
    This General Licence expires on5 November 2022

    2 August 2022 Asset freeze 2 individuals: Didier Casimiro and Zeljko Runje
    29 July 2022 Extension of RosbankGeneral Licence The General Licence permitting wind down of positions involving Rosbank (see entry from 30 June 2022) has been extended until30 September 2022
    26 July 2022 Asset freeze 41 individuals, including Kremlin-imposed "officials" in Luhansk and Donetsk, Russia's Minister and Deputy Minister of Justice, relatives of an oligarch, and Syrian individuals who have been recruiting Syrians to fight with Russia.

    1 entity: Al-Sayyad公司保护和职业tection Services
    22 July 2022 General licencepayment to UK insurance companies for building and engineering insurance

    Permits, subject to reporting and record-keeping requirements:

    • Individuals designated under the UK sanctions regime to make "Permitted Payments" to UK insurers from a frozen UK bank account; and UK insurers to receive such Permitted Payments;
    • UK insurers to make "Return Payments" to frozen UK bank accounts, being the payment of funds due as a result of a claim made pursuant to the permitted payments, or as a result of an overpayment; and UK designated persons to receive Return Payments from UK insurers into a frozen UK bank account; and
    • Relevant institutions to process payments in relation to the above.

    "Permitted Payments”的意思是保险费,再保险保费d broker commissions relating to the provision of Buildings Insurance and Engineering Insurance provided to UK properties. [Definition extended on 18 August 2022 to also include: Terrorism Insurance; Property Owners' Liability Insurance; and Claims Preparation Insurance.]

    This licence does not permit the provision of insurance to individuals who are also designated by the United Nations.

    This General Licence is ofindefinite duration

    21 July 2022

    Explanatory Memorandumto The Russia (Sanctions) (EU Exit) (Amendment) (No. 14) Regulations 2022

    Aviation technical assistance

    The Russia (Sanctions) (EU Exit) (Amendment) (No 14) Regulations 2022
    Amendment of the measures introduced in the Russia (Sanctions) (EU Exit) (Amendment) (No. 7) Regulations 2022 (see entry from30 March 2022) to allow necessary technical assistance for temporarily detained aircraft in the ownership of suspected designated persons due to the rapid rate of aircraft degradation.
    Trade restrictions –gold

    The Russia (Sanctions) (EU Exit) (Amendment) (No 14) Regulations 2022

    禁止进口/采购/供应/ delivery, whether from Russia or a third country, of gold that originates in Russia on or after 21 July, as well as ancillary services, such as:

    • Related technical assistance;
    • Financial services and funds; and
    • Brokering services

    Gold originating from Russia that was exported from Russia before 21 July 2022 is not affected.

    Trade restrictions –oil and coal

    The Russia (Sanctions) (EU Exit) (Amendment) (No 14) Regulations 2022

    禁止进口/采购/供应/ delivery of:

    • Oil and oil products (will take effect on31 December 20225 December 2022) [Date amended on 3 November 2022 – see above]; and
    • Coal and coal products (will take effect on10 August 2022to align with the equivalent EU measure)

    That originate in or are consigned from Russia, as well as prohibitions on the provision of related services.

    Trade restrictions -professional and business services

    The Russia (Sanctions) (EU Exit) (Amendment) (No 14) Regulations 2022

    Prohibition on the provision, directly or indirectly, to persons connected with Russia, of:

    • Accounting services;
    • Business and management consulting services; and
    • Public relations services

    This includes Russian residents who are temporarily located in another country, including the UK.

    The Regulation contains more detailed definitions of the services covered by the above.

    "person connected with Russia" – see entry at 1 March 2022 below.

    Exceptions exist where the services:

    • Are provided in relation to the discharge of or compliance with UK statutory or regulatory obligations (and not under a contract);
    • Are provided due to an obligation arising under a contract concluded before20 July 2022, and the services are provided by21 August 2022, and HM Treasury is informed 10 working days before the services are carried out; or
    • Are necessary for official or diplomatic purposes.

    Trade restrictions –energy-related goods and services

    The Russia (Sanctions) (EU Exit) (Amendment) (No 14) Regulations 2022

    Expanded existing prohibitions, including:

    • The export of energy-related goods to Russia, regardless of their eventual point of use even if this would be outside of Russia;
    • Making available energy-related goods to a person connected with Russia;
    • The provision of technical assistance, financial services and funds, and brokering services with regard to these activities; and
    • Energy-related services (for instance drilling or well testing) to all production and exploration projects related to oil and gas in Russia.

    Trade restrictions –七国集团(G7)的依赖,进一步商品list goods

    The Russia (Sanctions) (EU Exit) (Amendment) (No 14) Regulations 2022

    Prohibits the export/supply/delivery of items listed on theG7 dependencies and further goods list.(as listed in Schedule 3E) to or for use in Russia or to a person connected with Russia.

    These goods are significant to the Russian economy and goods for which the Russia particularly depends on the G7 partners and the UK.

    The list is wide and includes:

    • Chemicals;
    • Materials;
    • Machinery goods; and
    • Electrical appliances.

    Includes a prohibition on related technical assistance, financial services, funds and brokering services in respect of those goods/technology.

    "person connected with Russia" – see entry at 1 March 2022 below.

    Licences can be sought for humanitarian purposes.

    20 July 2022

    Trade restrictions –import tariffs

    The Customs (Additional Duty) (Russia and Belarus) (Amendment) (No. 2) Regulations 2022

    Updates the list of products from Russia and Belarus which are subject to the previously announced tariff increases of 35% (see further below at 21 April and 21 May 2022).

    Access the Belarusian Additional Duties Document (version 1.2, dated 15 July 2022) and the Russian Additional Duties Document (version 1.2, dated 15 July 2022)here

    Overseas territories:
    Order in Councilextending UK sanctions

    The Russia (Sanctions) (Overseas Territories) (Amendment) (No. 2) Order 2022

    这个顺序进行必要的修改effect in the relevant British overseas territories to the changes made to the Russia sanctions regime pursuant to the Russia (Sanctions) (EU Exit) (Amendment) (No. 8) Regulations 2022.
    19 July 2022 General licenceinvestments in relation to Russia Permits a person to carry out/wind down the prohibited activities in relation to outward investment to Russia detailed below for a period of7 days

    This General Licence expires on26 July 2022
    Financial and investment restrictions –investments in relation to Russia

    The Russia (Sanctions) (EU Exit) (Amendment) (No 12) Regulations 2022

    Where a person knows or has reasonable cause to suspect that they are carrying on such an activity, there is a prohibition on:

    • Directly or indirectlyestablishing any joint venturewith a person connected with Russia;
    • Opening a representative office orestablishing a branchor subsidiary located in Russia;
    • (i) Directly or (ii) indirectly - for the purpose of making funds or economic resources available to or for the benefit of a person connected with Russia -acquiring any ownership interestin land located in Russia;
    • (i) Directly or (ii) indirectly - for the purpose of making funds or economic resources available to or for the benefit of a person connected with Russia -acquiring any ownership interest in or control over

    o A person, other than an individual, connected with Russia;
    o A relevant entity

    • Providing investment services directly related to any of the above activities.

    "person connected with Russia" – see entry at 1 March 2022 below.

    branch” means, in relation to a person other than an individual, a place of business which forms a legally dependent part of that person and which carries out all or some of the transactions inherent in the business of that person.

    "relevant entity" means a person, other than an individual, whichhas a place of business located in Russia butis not a person connected with Russia.[Words deleted on 16 December 2022 – see entry above]

    "directly or indirectly acquiring any ownership interest in or control over a person or entity" means a person directly or indirectly acquiring:

    • Any share in the person/entity;
    • Any voting rights in the person/entity;
    • Any right to appoint or remove a majority of the board of directors of the person/entity; or
    • Any means of ensuring that the affairs of the person/entity are conducted in accordance with that person's wishes

    Exceptions –investments in relation to Russia

    The Russia (Sanctions) (EU Exit) (Amendment) (No 12) Regulations 2022

    Exceptions to the prohibitions outlined above include:

    • Acts satisfying a person's obligations arising under a contract concludedbefore 19 July 2022or an ancillary contract necessary for the satisfaction of such a contract, so long as that person hasnotified the Treasury at least 5 working days beforethe act is carried out;
    • Dealing directly or indirectly with:

    o A transferable security where such dealing is prohibited by regulation 16;

    o A relevant security issued by a person connected with Russia; or

    o A relevant security issued by a relevant entity.

    "dealing with" includes purchasing/selling the security, providing investment services relating to the security or assisting in the issuance of the security.

    "relevant security issued by a person connected with Russia" means (1) a security issued by a person connected with Russia or a person owned by, or acting on the behalf of, a person connected with Russia, (2) which is negotiable on the capital market, (3) which is a share, bond or other security and (4) was admitted to trading on a regulated market or multilateral trading facilitybefore 19 July 2022(full definition included in regulation 60ZZA)

    "relevant security issued by a relevant entity" means (1) a security issued by a relevant entity, (2) which is negotiable on the capital market, (3) which is a share, bond or other security (full definition included in regulation 60ZZA).

    Treasury licences –investments in relation to Russia

    The Russia (Sanctions) (EU Exit) (Amendment) (No 12) Regulations 2022

    The purpose of treasury licences can relate to:

    • An extraordinary situation;
    • Humanitarian assistance activity;
    • Medical goods or services;
    • Food;
    • Diplomatic missions;
    • Safety and soundness of a firm;
    • Spaceflight activity.

    Financial sanctions – reporting obligations – amendment of the definition of "relevant firms"

    制裁(欧盟出口)(杂项修订)(No. 2) Regulations 2022

    The definition of "relevant firms" (i.e. those who have financial sanctions reporting obligations) has been extended to includecryptoasset exchange providers and custodian wallet providers.These reporting obligations require "relevant firms" to provide OFSI with particular information when they encounter a designated person when conducting their business

    "cryptoasset exchange provider" and "custodian wallet provider" are defined in the regulation.

    This expanded definition will apply as of30 August 2022

    There is a requirement for "relevant firms" to notify OFSI of certain information as soon as practicable when encountering a designated person in the course of their business. This requirement applies to relevant firms in the UK or under UK jurisdiction including people working for them. For more information about the obligations on relevant firms to report information to OFSI, seehere

    18 July 2022 Designation criteria

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 13) Regulations 2022

    The definition of being "involved in obtaining a benefit from or supporting the Government of Russia" has been extended to include "other managers", rather than just trustees, of Russian government-controlled entities and those carrying on business of economic or strategic significance to the Russian government.

    As well as applying to persons involved in "destabilising Ukraine or undermining or threatening the territorial integrity, sovereignty or independence of Ukraine", the designation criteria also captures persons "obtaining a benefit from or supporting the Government of Russia", including but not limited to working as:

    • an aide or advisor to the Russian President;
    • a head or deputy-head of any public body, federal agency or service subordinate to the President;
    • a member, secretary or deputy secretary of the Security Council of the Russian Federation;
    • a minister or deputy minister of any Russian ministry

    The definition of "being associated with" a person has been extended to those who are an "immediate family member" which is defined as:

    • a wife or husband;
    • 一个civil partner;
    • a parent or step-parent;
    • 一个child or step-child;
    • a sibling or step-sibling;
    • a niece or nephew;
    • an aunt or uncle;
    • a grandparent;
    • a grandchild.

    Trade: humanitarian exception

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 13) Regulations 2022

    A new exception has been added forhumanitarian assistance activity in non-government controlled areas of the Donetsk and Luhansk oblasts

    This exception applies when:

    • a person carries out an activity which would otherwise contravene a prohibition such as:

    o prohibited trade in relation to non-government controlled territory;

    o prohibited infrastructure-related services relating to non-government controlled Ukrainian territory);

    o brokering services: non-UK activity relating to infrastructure-related goods and goods from non-government controlled Ukrainian territory, except for prohibitions relating to an arrangement whose object or effect is the import of goods which originate in non-government controlled Ukrainian territory;

    • that person believes that carrying out that activity is so necessary; and
    • there is no reasonable cause for that person to suspect otherwise.
    Interpretation: ship and aircraft ownership

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 13) Regulations 2022

    The concept of ownership of a ship and aircraft has been extended to include:

    • a person owned or controlled directly or indirectly by the person in whom legal title is vested; or
    • a person owned or controlled directly or indirectly by a person with a beneficial interest in the aircraft/ship
    15 July 2022

    Trade restrictions –defence and security, and maritime goods

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 11) Regulations 2022

    禁止出口/供应/交付等:(1) defence and security goods; and (2) maritime goods/technology:

    • to Russia;
    • to a person connected with Russia;
    • for use in Russia;
    • in the case of maritime goods/technology, by placing on a Russian-flagged vessel

    Includes a prohibition on related technical assistance, financial services, funds and brokering services in respect of those goods/technology.

    "person connected with Russia" – see entry at 1 March 2022 below.

    "defence and security goods/technology" means:

    1. "interception and monitoring goods/technology" (complex definition, but see Part 2 of Schedule 3C) – does not include software which is publicly available
    2. "internal repression goods/technology" (complex definition, but see Part 3 of Schedule 3C)
    3. "goods/technology relating to chemical and biological weapons”(复杂的定义,但见第4部分3C) – does not include medicines/medicinal products or medical devices

    "maritime goods/technology" means any goods and technology specified in Chapter 4 (Navigation Equipment) and Chapter 5 (Radio-Communication Equipment) of Annex 1 of theMerchant Shipping Notice 1874, subject to certain exceptions.

    Introduction of certain new exceptions to the prohibitions for maritime goods/technology.

    Trade restrictions –goods/technology relating to non-government controlled Ukrainian territory

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 11) Regulations 2022

    Prohibition on the export/supply/delivery etc ofmilitary goods/technologyto or for use in non-government controlled Ukrainian territory.

    Includes a prohibition on related technical assistance, financial services, funds and brokering services in respect of those goods/technology.

    "non-government controlled Ukrainian territory" means Crimea and non-government controlled areas of the Donetsk and Luhansk oblasts

    Trade restrictions –iron and steel products– amendment

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 11) Regulations 2022

    Expansion of the existing restrictions on Russian iron and steel products (see 14 April 2022 below) to include new prohibitions on the provision oftechnical assistance; financial services and funds; andbrokeringservices in respect of:

    • the import/acquisition of iron and steel products originating/consigned from Russia or located in Russia
    • the supply of iron and steel products from Russia to a third country.

    Trade restrictions –Interception and monitoring

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 11) Regulations 2022

    Prohibition on the provision/supply/delivery of interception and monitoring services to or for the benefit of the Government of Russia.

    "interception and monitoring services" means any service that has as its object or effect the interception of a communication in the course of its transmission by means of a telecommunication system (full definition included in regulation 21A).

    Trade restrictions –Banknotes

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 11) Regulations 2022

    Prohibition on the export/supply/delivery of banknotes

    • to Russia;
    • to a person connected with Russia; and
    • for use in Russia.

    "banknotes" means (1) sterling denominated banknotes issued by the Bank of England and banks in Scotland and Northern Ireland; and (2) banknotes denominated in any official currency of the EU.

    "person connected with Russia" – see entry at 1 March 2022 below.
    Introduction of certain new exceptions to the prohibitions for banknotes.

    Trade restrictions –jet fuel and fuel additives

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 11) Regulations 2022

    Prohibition on the export/supply/delivery etc ofjet fuel and fuel additives:

    • to Russia;
    • to a person connected with Russia;
    • for use in Russia;

    Includes a prohibition on related technical assistance, financial services, funds and brokering services.

    "person connected with Russia" – see entry at 1 March 2022 below.

    "jet fuel and fuel additives" means the goods listed under that heading in Part 8 of Schedule 2A

    Trade restrictions –revenue generating goods

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 11) Regulations 2022

    禁止进口/采购/供应/ delivery of revenue generating goods into the UK which:

    • are consigned from Russia
    • originate in Russia
    • are located in Russia,

    Includes a prohibition on related technical assistance, financial services, funds and brokering services.

    "revenue generating goods" means anything specified in Schedule 3D. This list includes: caviar, cement, chemicals, fertilisers, tyres, wood, paper, glass, metals, jets, propellers, turbines, ships and furniture.

    Introduction of certain new exceptions to the prohibitions for revenue generating goods.

    Trade restrictions – expansion of restrictions tonon-government controlled Ukrainian territory

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 11) Regulations 2022

    Certain of the existing prohibitions in relation to:

    • Critical-industry goods / technology (see entry at 1 March below)
    • Energy-related and infrastructure-related goods
    • Defence and security goods / technology (see first entry at 23 June above),

    Areexpandedto apply equally tonon-government controlled Ukrainian territory(i.e. Crimea, Donetsk and Luhansk)

    Trade restrictions – expansion ofexisting restrictions

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 11) Regulations 2022

    Expansion of the existing lists of the prohibited goods/technology, as follows:

    • critical-industry goods / technology, to include certain microorganisms and toxins, and materials processing items (additions to Schedule 2A)
    • oil refining goods / technology, to include certain LNG-related goods (additions to Schedule 2D)
    • energy-related goods, to include certain exploration data and hydraulic fracturing items (additions to Schedule 3)
    Asset freeze

    2 individuals have been removedfrom the asset freeze list:

    • Didier Casimiro
    • Zeljko Runje
    12 July 2022 OFSI and NCA Red Alert– Evasion typologies

    In conjunction with OFSI, the JMLIT+ Sanctions Facilitators Cell, law enforcement, private industry and regulators, the National Crime Agency (NCA) have issueda 'Red Alert' on financial sanctions evasion typologies by Russian elites and enablers

    The purpose of the alert is to provide information from law enforcement and the legal and financial services sectors on some of the common techniques designated persons and their UK enablers are suspected to be using to evade financial sanctions.

    7 July 2022 General licencehumanitarian activities

    Certain humanitarian organisations seeking to undertake humanitarian activity in relation to the conflict in Ukraine do not need to apply for individual licences from OFSI, but instead can rely on the permissions within this General Licence to undertake certain humanitarian activity.

    OFSI has also published ablogoutlining the details of the General Licence

    This licence takes effectfrom 11:59 pm on 7 July 2022.There is no stated expiry date.

    5 July 2022

    Belarus: Financial restrictions – dealing with transferable securities or money-market instruments

    The Republic of Belarus (Sanctions) (EU Exit) (Amendment) Regulations 2022

    Extension on existing capital markets restrictions to include a new prohibition on dealing, directly or indirectly, with a transferable security or money-market instrument issued after 5 July 2022 by a person "connected with Belarus".

    "connected with Belarus" means:

    • an individual/group of individuals who are ordinarily resident or located in Belarus
    • an entity which is incorporated/constituted under the law of Belarus or domiciled in Belarus.

    The prohibition does not apply to entities which on 5 July 2022: (i) were not domiciled in Belarus or (ii) were a branch or subsidiary of an entity in (i), wherever located.

    Belarus: Financial restrictions – loans and credit arrangements

    The Republic of Belarus (Sanctions) (EU Exit) (Amendment) Regulations 2022

    Extends the existing prohibition on granting new loans and credit to the following 3 categories of loan:

    "Category A loan" [This category was the subject of the restrictions in place prior to these changes]

    • A loan or credit which has a maturity exceeding 90 days;
    • Is made or granted to a "relevant person"; and
    • Is first made or granted after 14 October 2021 2021, and before 5 July 2022.

    "Category B loan"

    • Any loan or credit which is made or granted to a "relevant person"; and
    • Is first made or granted after 5 July 2022.

    "Category C loan"

    • A loan or credit which has a maturity exceeding 30 days;
    • Is made or granted to a person, other than an individual, which is "connected with Belarus" but is not: (i) domiciled in a country other than Belarus, or (ii) majority owned by a person domiciled outside of Belarus;
    • Is first made or granted after 5 July 2022; and
    • Is not a category B loan.

    "relevant person" means:

    1. Belarus;

    2. Belarusian authority;
    3. 一个人,除了一个人,不是一个person within sub-paragraphs (d), (e) or (f) and which is wholly owned by Belarus or a Belarusian authority;
    4. 一个credit or financial institution which is majority owned by Belarus or a Belarusian authority;
    5. a person, other than an individual, which is (i) incorporated or constituted under the law of a non-UK country, and (ii) majority owned by a person within sub-paragraph (d);
    6. a person acting on behalf of or at the direction of a person within sub-paragraph (d) or sub-paragraph (e)

    Belarus: Financial restrictions – foreign exchange reserve and asset management

    The Republic of Belarus (Sanctions) (EU Exit) (Amendment) Regulations 2022

    Prohibition on the provision of financial services for the purpose of foreign exchange reserve and asset management to:

    • The National Bank of Belarus;
    • The Ministry of Finance of Belarus;
    • A person owned or controlled directly or indirectly by either of the above; and
    • A person acting on behalf, or at the direction, of either of the above.

    "financial services" and "foreign exchange reserve and asset management" are both defined widely.

    Belarus: Trade sanctions – exports to Belarus

    The Republic of Belarus (Sanctions) (EU Exit) (Amendment) Regulations 2022

    Expands the existing trade restrictions to include new and amended prohibitions on the export, supply and delivery, and making available of the following (i) to or for use in Belarus or (ii) to a person connected with Belarus:

    • Critical-industry goods/technology (see Schedule 2C and associated definitions)
    • Dual-use goods/technology [existing prohibition]
    • Interception and monitoring goods/technology [existing prohibition] (see Schedule 2A and associated definitions)
    • Internal repression goods/technology [existing prohibition] (see Schedule 2 and associated definitions)
    • Luxury goods (see Schedule 2E and associated definitions)
    • Military goods/technology [existing prohibition] (see Schedule 2 to the to the Export Control Order 2008 and associated definitions)
    • Oil refining goods/technology (see Schedule 2F and associated definitions)
    • Quantum computing and advanced materials goods/technology (see Schedule 2G and associated definitions)
    • Tobacco industry goods [existing prohibition] (see Schedule 2B and associated definitions)

    Includes a prohibition on related technical assistance, financial services, funds and brokering services in respect of those goods/technology (except luxury and tobacco industry goods).

    Belarus: Trade sanctions – imports from Belarus

    The Republic of Belarus (Sanctions) (EU Exit) (Amendment) Regulations 2022

    Extends and amends the existing import prohibitions to include import prohibitions on the following:

    • arms and related material ("military goods" and anything which falls within chapter 93 of the Goods Classification Table;
    • iron and steel products (see Schedule 2B and associated definitions);
    • mineral products (see Schedule 2B and associated definitions); and
    • potash [existing prohibition] (see Schedule 2B and associated definitions)

    Belarus: Enabling or facilitating military activities

    The Republic of Belarus (Sanctions) (EU Exit) (Amendment) Regulations 2022

    A person must not directly or indirectly provide:

    • Technical assistance;
    • Armed personnel;
    • Financial services or funds; or
    • Brokering services in relation to an arrangement whose object or effect is to provide, in a non-UK country, any of the above,

    where such provision enables or facilitates the conduct of military activities carried on by the Belarusian military or other military end-user connected with the Belarusian military.

    Belarus: Movement of aircraft

    The Republic of Belarus (Sanctions) (EU Exit) (Amendment) Regulations 2022

    Extension of existing aircraft restrictions, to include:

    • A prohibition on Belarusian aircraft overflying or landing in the UK;
    • The power for aircraft operators to direct Belarusian aircraft to not take off, take off, land or not to land at an airport managed by that operator;
    • The power for the Secretary of State to give a direction under the point above, secure the detention or movement of a Belarusian aircraft;
    • A requirement for the CAA to refuse to register, or terminate the registration of, an aircraft owned/chartered by a designated person.

    A "Belarusian aircraft”是指飞机:(a)拥有,特许或歌剧ted by a designated person, or a person connected with Belarus, or (b) registered in Belarus.

    Belarus: Ships

    The Republic of Belarus (Sanctions) (EU Exit) (Amendment) Regulations 2022

    Introduction of new restrictions relating to ships, including:

    • A prohibition on entry to UK ports to ships owned/controlled/chartered by a designated person or person connected with Belarus, flying the flag of Belarus, or registered in Belarus;
    • The ability of the Secretary of State or port authority to issue directions:
      o prohibiting port entry;
      o otherwise directing the movement of a ship;
      o detaining a ship
    • A requirement to refuse to register in the UK ships owned/controlled/operated etc by a designated person or person connected with Belarus.
    • A prohibition on the provision of technical assistance for certain ships.
    Belarus:General Licence– Wind down of positions involving National Bank of Belarus

    Permits a person to provide financial services for the purpose of winding down any of the following transactions that were entered intoprior to 5 Julywith (i) the National Bank of Belarus, (ii) the Ministry of Finance of Belarus or (ii) persons owned/controlled or acting on behalf/at the direction of those persons:

    • derivatives,
    • repurchase transactions, and
    • reverse repurchase transactions

    A person or relevant institution is permitted to carry out any activity reasonable necessary to effect this.

    This General Licence expires on4 August 2022.

    Belarus:General Licence– Transferable securities, money market instruments, loans and credit arrangements

    Permits a person to:

    • Deal, directly or indirectly, with a transferable security or money-market instrument issued after 5 July 2022 by a person connected with Belarus;
    • Grant, directly or indirectly, a Category C loan,
    • Directly or indirectly enter into an agreement to grant a Category C loan.

    Relevant institutions may process GBP payments made in accordance with the above.

    This General Licence expires at23:59 on 12 July 2022

    Asset freeze

    2 individualsadded:

    • Denis Yakovlevich Gafner
    • Veleriya Kalabayeva

    2 individualshave beenremovedfrom the asset freeze list:

    • Yakov Vladimirovich Rezantsev
    • Galina Ulyutina
    4 July 2022 Asset freeze

    6 individuals:

    • Aleyona Anatolyevna Chuguleva
    • Yuriy Sergeyevich Fedin
    • Darya Aleksandrovna Dugina
    • Yevgeniy Eduardovich Glotov
    • Aelita Leonidovna Mamakova
    • Mikhail Anatolyevich Sinelin

    1 entity:

    • United World International
    30 June 2022 General Licence– Wind down of positions involving Rosbank

    Permits a person (other than Rosbank or a subsidiary) to wind down transactions to which it is a party involving Rosbank or a subsidiary, including:

    • The closing out of any positions
    • Repayment of loans
    • Withdrawal of deposits
    • Closing of accounts

    A person, relevant institution, Rosbank or a subsidiary can carry out any activity reasonably necessary to effect this.

    This General Licence expires on30 July 2022

    This General Licence has been extended on 29 July 2022 and now expires on 30 September 2022.

    29 June 2022 Asset freeze

    8 individualsincluding:

    • Vladimir Potanin, owner of Rosbank and major shareholder in Norilsk Nickel
    • Anna Tsivileva, cousin of Vladimir Putin's and president of JSC Kolmar

    5 entities:

    • JSC Marshal.Global
    • JSCy Moscow Industrial Bank
    • JSC Kolmar Group
    • JSC New Opportunities
    • R-Style Softlab
    G7 statement– Russian energy

    The G7 Leaders' Communiqué from the summit in Elmau contained the following statements regarding Russian energy:

    • We will seek to develop solutions that meet our objectives ofreducing Russian revenues from hydrocarbons, and supporting stability in global energy markets, while minimising negative economic impacts.
    • We welcomed the decision of the European Union to explore with international partners ways tocurb rising energy prices, including the feasibility of introducing temporary import price caps.
    • We will consider a range of approaches, including options for a possiblecomprehensive prohibition of all services, which enable transportation of Russian seaborne crude oil and petroleum products globally, unless the oil is purchased at or below a price to be agreed in consultation with international partners.
    • We will also considermitigation mechanismsalongside our restrictive measures to ensure that most vulnerable and impacted countries maintain access to energy markets including from Russia.

    Further sanctions– restrictions ontrust services

    (announced but not yet implemented)

    Announcement of new measures to prevent Russia from accessing UKtrust services(services which allow a person or business to manage the assets of another).
    26 June 2022

    Trade restrictionsgold exports

    (announced but not yet implemented)

    宣布禁止新的俄罗斯出口ssian gold entering the UK. This import ban will apply to newly mined or refined gold and will not impact Russian-origin gold previously exported from Russia. The ban will be introduced "shortly".

    Canada, US and Japan are due to introduce similar measures.

    23 June 2022

    [THESE REGULATIONS HAVE BEEN REVOKED AND REPLACED BY A SIMILAR SET OF REGULATIONS THROUGH THE RUSSIA (SANCTIONS) (EU EXIT) (AMENDMENT) (NO 11) REGULATIONS 2022]

    Trade restrictions –defence and security, and maritime goods/technology

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 10) Regulations 2022

    禁止出口/供应/交付等:(1)defence and security goods/technology; and (2)maritime goods/technology:

    • to Russia;
    • to a person connected with Russia;
    • for use in Russia;
    • in the case of maritime goods/technology, by placing on a Russian-flagged vessel

    Includes a prohibition on related technical assistance, financial services, funds and brokering services in respect of those goods/technology.

    "person connected with Russia" – see entry at 1 March 2022 below.

    "defence and security goods/technology" means:

    (a) "interception and monitoring goods/technology" (complex definition, but see Part 2 of Schedule 3C) – does not include software which is publicly available

    (b) "internal repression goods/technology" (complex definition, but see Part 3 of Schedule 3C)

    (c) "goods/technology relating to chemical and biological weapons”(复杂的定义,但见第4部分3C) – does not include medicines/medicinal products or medical devices

    "maritime goods/technology" means any goods and technology specified in Chapter 4 (Navigation Equipment) and Chapter 5 (Radio-Communication Equipment) of Annex 1 of theMerchant Shipping Notice 1874, subject to certain exceptions.

    Introduction of certain new exceptions to the prohibitions for maritime goods/technology.

    Trade restrictions –goods/technology relating to non-government controlled Ukrainian territory

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 10) Regulations 2022

    Prohibition on the export/supply/delivery etc ofmilitary goods/technologyto or for use in non-government controlled Ukrainian territory.

    Includes a prohibition on related technical assistance, financial services, funds and brokering services in respect of those goods/technology.

    "non-government controlled Ukrainian territory" means Crimea and non-government controlled areas of the Donetsk and Luhansk oblasts

    Trade restrictions –iron and steel products- amendment

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 10) Regulations 2022

    Expansion of the existing restrictions on Russian iron and steel products (see 14 April 2022 below) to include new prohibitions on the provision oftechnical assistance; financial services and funds; andbrokeringservices in respect of:

    • the import/acquisition of iron and steel products originating/consigned from Russia or located in Russia
    • the supply of iron and steel products from Russia to a third country.
    Trade restrictions –Interception and monitoring

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 10) Regulations 2022

    Prohibition on the provision/supply/delivery of interception and monitoring services to or for the benefit of the Government of Russia.

    "interception and monitoring services" means any service that has as its object or effect the interception of a communication in the course of its transmission by means of a telecommunication system (full definition included in regulation 21A).

    Trade restrictions -Banknotes

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 10) Regulations 2022

    Prohibition on the export/supply/delivery of banknotes

    • to Russia;
    • to a person connected with Russia; and
    • for use in Russia.

    "banknotes" means (1) sterling denominated banknotes issued by the Bank of England and banks in Scotland and Northern Ireland; and (2) banknotes denominated in any official currency of the EU.

    "person connected with Russia" – see entry at 1 March 2022 below.
    Introduction of certain new exceptions to the prohibitions for banknotes.

    Trade restrictions –jet fuel and fuel additives

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 10) Regulations 2022

    Prohibition on the export/supply/delivery etc ofjet fuel and fuel additives:

    • to Russia;
    • to a person connected with Russia;
    • for use in Russia;

    Includes a prohibition on related technical assistance, financial services, funds and brokering services.

    "person connected with Russia" – see entry at 1 March 2022 below.

    "jet fuel and fuel additives" means the goods listed under that heading in Part 8 of Schedule 2A

    Trade restrictions –revenue generating goods

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 10) Regulations 2022

    禁止进口/采购/供应/ delivery of revenue generating goods into the UK which:

    • are consigned from Russia
    • originate in Russia
    • are located in Russia,

    Includes a prohibition on related technical assistance, financial services, funds and brokering services.

    "revenue generating goods" means anything specified in Schedule 3D. This list includes: caviar, cement, chemicals, fertilisers, tyres, wood, paper, glass, metals, jets, propellers, turbines, ships and furniture.

    Introduction of certain new exceptions to the prohibitions for revenue generating goods.

    Trade restrictions – expansion of restrictions tonon-government controlled Ukrainian territory

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 10) Regulations 2022

    Certain of the existing prohibitions in relation to:

    • Critical-industry goods / technology (see entry at 1 March below)
    • Energy-related and infrastructure-related goods
    • Defence and security goods / technology (see first entry at 23 June above),

    areexpandedto apply equally tonon-government controlled Ukrainian territory(i.e. Crimea, Donetsk and Luhansk)

    Trade restrictions – expansion ofexisting restrictions

    The Russia (Sanctions) (EU Exit) (Amendment) (No. 10) Regulations 2022

    Expansion of the existing lists of the prohibited goods/technology, as follows:

    • critical-industry goods / technology, to include certain microorganisms and toxins, and materials processing items (additions to Schedule 2A)
    • oil refining goods / technology, to include certain LNG-related goods (additions to Schedule 2D)
    • energy-related goods, to include certain exploration data and hydraulic fracturing items (additions to Schedule 3)
    16 June 2022 Asset freeze

    12 individuals including:

    • The Russian Children's Rights Commissioner, who has been involved with the forced transfer and adoption of Ukrainian children;
    • The head of the Russian Orthodox Church; and
    • Putin's allies and military commanders.
    10 June 2022 General Licence– Funds of non-designated third parties involving designated credit or financial institutions

    Permits:

    • a person to make use of the retail banking services of a Russian credit or financial institution which is a "designated person" provided that the payments made or received are intended for the personal use of that person;
    • the value of such payments cannot exceed £50,000; and
    • a relevant institution may process payments made in accordance with the above provided that the total value of such payments processed by that relevant institution does not exceed £50,000.

    Subject to specific reporting and record-keeping requirements.

    This General Licence expires on10 September 2022.[Note: The general licence was extended to 10 November 2023- see entry dated 10 November 2022 above]

    Financial sanctions -strict liabilityfor breach

    The Economic Crime (Transparency and Enforcement) Act 2022 (Commencement No. 2 and Saving Provision) Regulations 2022

    The provisions of the Economic Crime Act (see 15 March below) introducing a new strict civil liability test for imposing monetary penalties (section 54) will come into force on 15 June 2022.

    The operative part of the relevant provision provides:

    "In determining for the purposes of subsection (1) [of Section 146 of the Policing and Crime Act 2017] whether a person has breached a prohibition, or failed to comply with an obligation, imposed by or under financial sanctions legislation, any requirement imposed by or under that legislation for the person to have known, suspected or believed any matter is to be ignored."

    8June 2022 Updated OFSI guidance– Monetary penalties

    OFSI has published an updated version of its enforcement and monetary penalty guidance reflecting measures in the Economic Crime (Transparency and Enforcement) Act 2022, including:

    • A new strict civil liability test for imposing monetary penalties;
    • Changes to the review of monetary penalties; and
    • The new OFSI ability to publish details of breaches where a monetary penalty has not been imposed.

    This guidance comes into force on15 June 2022

    Read more in theOFSI articleaccompanying this update.

    Guidance from the Department for International Trade: Trading under sanctions with Russia

    The Department for International Trade has published guidance on what import and export restrictions apply due to sanctions for UK companies when trading with Russia. It outlines the rules in respect of:

    • Trade Sanctions;
    • Import and export control licensing;
    • Tariffs on Russian and Belarusian goods;
    • Financial sanctions;
    • Getting paid; and
    • Transport sanctions
    31 May 2022

    Trade restrictions– increased import tariffs

    The Customs (Additional Duty) (Russia and Belarus) (Amendment) Regulations 2022

    Updates the list of products from Russia and Belarus which are subject to the previously announced tariff increases of 35% (see further below at 21 April and 21 May 2022). This comes into force from1 June 2022

    Access the Belarusian Additional Duties Document (version 1.1, dated 24 May 2022) and the Russian Additional Duties Document (version 1.1, dated 24 May 2022)here

    30 May 2022 General LicenceTelecommunications Services and News Media Services(Continuation of Business and Basic Needs)

    Permits certain activity which would otherwise breach the prohibitions in Regulations 11 to 17A of the Russia Regulations (i.e. the asset freeze provisions and the capital markets restrictions):

    1.A person (other than a designated person) may continue business operations involving the provision of "Civilian Telecommunication Services" including:

      General Licence– Charities associated with designated persons

      Permits an Interim Manager and/or trustee of一个charity associated with a Designated Person(a "Charity") to authorise certain payments for:

      • the basic needs of a Charity, including payment of: insurance premiums, reasonable fees for property management services, and rent or mortgage;
      • reasonable fees or service charges arising from the routine holding and maintenance of a Charity's frozen funds or economic resources; and
      • reasonable professional fees, for instance legal, accountancy and audit services or reasonable expenses associated therewith.

      The General Licence also permits an Interim Manager and/or trustee to authorise:

      • receipt, distribution and investment of charitable funds, and
      • payments associated with the wind up of a Charity.

      The General Licence expires on30 May 2023

      23 May 2022
      General Licence – Russian travel

      Permits a UK national/entity to purchase tickets from the following designated Russian travel companies, or any subsidiary, for flights or rail journeys within Russia or originating in Russia:

      • PJSC Aeroflot;
      • JSC Rossiya Airlines;
      • JSC Ural Airlines;
      • Russian Railways

      Permits a UK national/entity, relevant institution or designated person to carry out reasonably necessary activities to enable the purchase of tickets for those journeys.

      This General Licence expires on23 May 202323 May 2024.[Note: This general licence was further amended on 16 February 2023 – see entry above for the detail of the amendments]

      19 May 2022 Asset Freeze

      3 entities:

      • JSC Rossiya Airlines
      • JSC Ural Airlines
      • PJSC Aeroflot
      14 May 2022 Further sanctions announced -G7 Foreign Ministers' statement

      In a further statement, the G7 Foreign Ministers stated that:

      • the sanctions and export controls against Russia do not and will not target essential food exports and agricultural inputs to developing countries, and will include measures to avoid any negative consequences for the production and distribution of food;
      • they will work together to address Russia's policy of information manipulation and interference;
      • they will take steps to: (i) impose coordinated further restrictive measures on Russia's economy and financial system; (ii) further target Russian elites including economic actors, the central government institutions and the military; and (iii) isolate Russia from their economies, the international financial system, and within global institutions;
      • they will broaden their sanctions measures to include sectors on which Russia depends; and
      • their efforts to reduce, and ultimately end, reliance on Russian energy supplies will be expedited.

      For the UK Government's press release on this, seehere

      13 May 2022 Asset Freeze 12 individualsincluding Putin's ex-wife, cousins and childhood friends who support him financially
      General Licence– Amsterdam Trade Bank (basic needs and wind down)

      Permits:

      • Amsterdam Trade Bank(ATB) to make payment for its basic needs including: payment of remuneration, allowances or pensions of employees; payment of tax and payments to suppliers of goods and services,
      • any person to take any action in connection with insolvency proceedings relating to ATB,
      • the winding down of transactions involving ATB or a subsidiary

      This General Licence expires on12 May 2023

      8 May 2022 Further sanctions announcement -G7 meeting

      A collective commitment from the G7 to taking the following measures:

      • Phasing out dependency on Russian energy, including by phasing out or banning the import of Russian oil;
      • Prohibiting or otherwise preventing the provision of key services to Russia;
      • Continuing to take action against Russian banks;
      • Continuing efforts to fight off the Russian regime's attempts to spread propaganda; and
      • 继续对国际泳联和提升措施ncial elites and family members who support President Putin in his war, including imposing sanctions on additional individuals.

      [The UK has already taken steps to enact these measures, for instance announcing on 7 March that it will phase out Russian oil imports, announcing on 4 May a ban on services exports to Russia, and continuing to impose asset freezes on Russian individuals and entities – all detailed below.]

      See also the latest press release from the UK Government, published on 14 May 2022, which discusses the G7 Foreign Ministers' Statement on Russia's war against Ukraine. The Ministers reaffirmed their commitment "to reduce and end reliance on Russian energy supplies as quickly as possible" For more information, seehere

      5 May 2022 General Licence –Evraz

      Permits the continuation of business operations involving the North American subsidiaries of Evraz plc, including payments to and from those subsidiaries and any third party under any obligations or contracts.

      The General Licence expires on2 September 2022 31 March 202330 September 2023[Validity extended on 18 August 2022 and again on 16 February 2023]

      Asset Freeze One entity,Evraz plc, a major manufacturer of Russian steel
      4 May 2022

      Trade restrictions– a ban on services exports to Russia

      (announced but not yet implemented)

      The UK has announced a ban on services exports to Russia, including management consulting, accounting and PR services.
      Asset Freeze

      13 individualsincluding war correspondents from Channel One, a major state-owned outlet in Russia

      32 entities,including a number of strategic propaganda organisations such as:

      • All Russia State Television and Radio Broadcasting, a state-owned broadcaster
      • InfoRos, a news agency spreading destabilising disinformation
      • SouthFront, a disinformation site
      • the Strategic Culture Foundation, an online journal spreading disinformation
      29 April 2022 Social mediaandinternet servicesrestrictions

      The Russia (Sanctions) (EU Exit) (Amendment) (No.9) Regulations 2022

      Imposes obligations on internet companies, including requirements that :

      • social mediaservices, including video sharing platforms, must take reasonable steps to preventcontentthat is generated, uploaded or shared by a designated person/entity being encountered by a UK-based user of that service
      • internet accessservices must take reasonable steps to prevent a UK-based user of that service from accessing aninternet serviceprovided by a designated person/entity
      • application storesmust take reasonable steps to prevent a UK-based user of the application store from downloading or otherwise accessing aninternet serviceprovided by a designated person/entity

      The Secretary of State can designate persons to whom these restrictions will apply.

      Grants new powers toOFCOMto request information/documents in relation to internet services. OFCOM is also granted newenforcement rights, including the power to impose civil monetary penalties

      Creates information offences in relation to internet services. Failure to comply is also a criminal offence.

      27 April 2022 General licence- Law Enforcement and Regulatory Authorities Asset Recovery

      Permits certain specified activities in connection withlaw enforcement and asset recovery, including:

      • Permitting regulators to carry out their duties, including through making use of powers available to them under UK legislation (e.g. POCA) or common law for asset recovery purposes (broadly, investigating and enforcing proceeds of crime); and
      • Permitting persons to comply with court orders / forfeiture notices and negotiated settlements / deferred prosecution agreements for the same purposes.

      Subject to a prior authorisation requirement in certain circumstances and reporting requirements.

      The licence is ofindefinite duration

      22 April 2022

      General licence英国,俄罗斯银行ubsidiaries (basic needs) -amendment

      (Sberbank UK subsidiary)

      Extended the VTB basic needs General Licence granted on 1 March 2022 to include Sberbank CIB (UK) Ltd (the UK subsidiary of Sberbank). The General Licence expires on3 April 2023

      (Sberbank CIB (UK) entered special administration on 1 April 2022 – seehere.)

      21 April 2022

      General licence– Gazprombank Energy Payments

      [EXPIRED]

      [THIS GENERAL LICENCE HAS NOW EXPIRED]

      Permits payments to Gazprombank or a subsidiary for the purpose of making gas available in the EU under contracts entered into prior to 21 April 2022, and any activity reasonably necessary to effect this including the opening and closing of bank accounts.

      The General Licence expires on31 May 2022

      General licence – Russian banks (wind-down) – amendment topublication notice

      Amendment to publication notice accompanying the existing wind-down licence for toAlfa Bank, GazPromBank, Rosselkhozbank, SMP Bank and the Ural Bank for Reconstruction and Developmentissued on 24 March 2022 (see below).

      • OFSI证实现有的逐渐减少Licencedoes notcontain a requirement that funds payable to those banks as part of winding down any transactions with those banks be paid into a frozen account.
      • If funds become payable to asubsidiary of the banksas part of winding down any transactions with the banks' subsidiaries, OFSI suggests considering how the ownership and control provisions in the 2019 Russia Regulations could apply to such payment.

      Trade restrictions– Russian goods

      (announcedbut not yet implemented)

      The UK Government announced further trade sanctions which will impose tariffs and bans on over £1bn of additional Russian goods. This will include import bans on silver, wood products and high-end products from Russia including caviar. Tariffs will be increased by 35% on around £130m worth of products from Russia and Belarus, including diamonds and rubber. A full list of products targeted is availablehere

      Asset Freeze

      16 individualsincluding individuals who are members of or linked to Russia's military

      10 entities:

      • Aleksandrov Scientific Research Technological Institute NITI
      • Central Research Institute of Machine Building JSC
      • Federal State Unitary Enterprise Dukhov Automatics Research Institute
      • JSC Arzamas Machine-Building Plant
      • JSC GTLK
      • JSC Kalashnikov Concern
      • LLC Military Industrial Company
      • Promtech-Dubna JSC
      • Radiotechnical and Information Systems Concern
      • Rocket and Space Centre Progress JSC
      19 April 2022

      Financial sanctions- Moscow Stock Exchange

      (announced but not yet implemented)

      HMRC has announced its intention to revoke the Moscow Stock Exchange's (MOEX) status as a recognised stock exchange, limiting access to certain UK treatments and reliefs for future investments in securities traded on MOEX. Access to those treatments and reliefs for existing investments will remain unaffected.

      Financial Secretary to the Treasury, Lucy Frazer, said:

      "As we continue to isolate Russia in response to their illegal war on Ukraine, revoking Moscow Stock Exchange's recognised status sends a clear message – there is no case for new investments in Russia."

      14 April 2022 Asset Freeze

      2 individuals:

      • Eugene Tenenbaum - a Director at Chelsea Football Club and business associate of Abramovich
      • David Davidovich - business associate of Abramovich

      Trade restrictions –luxury goods


      The Russia (Sanctions) (EU Exit) (Amendment) (No. 8) Regulations 2022

      Prohibition on the export/supply/delivery etc ofluxury goods:

      • to Russia;
      • to a person connected with Russia; and/or
      • for use in Russia.

      "person connected with Russia" – see entry at 1 March 2022 below.

      "luxury goods" are listed in Schedule 3A along with the specified sales price threshold and include: horses, caviar, truffles, alcoholic drinks, cigars, perfume, leather goods, clothing/accessories/shoes, rugs, precious stones, coins/banknotes, silverware, tableware, lead crystal, electronic items for personal use / recording, vehicles, clocks/watches, musical instruments, art, sports equipment, and gambling equipment.

      Extension of certain existing exceptions to luxury goods.

      Trade restrictions –iron and steel products

      The Russia (Sanctions) (EU Exit) (Amendment) (No. 8) Regulations 2022

      Prohibition on

      • the import/acquisition of iron and steel products originating/consigned from Russia or located in Russia
      • the supply of iron and steel products from Russia to a third country.

      "iron and steel products" are listed in Schedule 3B

      Extension of certain existing exceptions to iron and steel products.

      Trade restrictions – oil refiningandquantum computinggoods/technology

      The Russia (Sanctions) (EU Exit) (Amendment) (No. 8) Regulations 2022

      Prohibition on the export/supply/delivery etc ofoil refining and quantum computing goods/technology:

      • to Russia;
      • to a person connected with Russia; and/or
      • for use in Russia.

      Includes a prohibition on related technical assistance, financial services, funds and brokering services.

      "person connected with Russia" – see entry at 1 March 2022 below.

      "oil refining goods/technology" are listed in Schedule 2D.

      "quantum computing goods/technology" are listed in Schedule 2E

      Extension of certain existing exceptions.

      英国海外领土– extension of recent changes to the UK sanctions on Russia

      The Russia (Sanctions) (Overseas Territories) (Amendment) Order 2022

      Amendments to the legislation extending the UK's sanctions regime in relation to Russia (re Ukraine) to British overseas territories to bring it in line with the amendments to that regime since Russia's invasion of Ukraine (as set out below).

      That regime is extended to all British overseas territories by way of theRussia (Sanctions) (Overseas Territories) Order 2020.This Order does not apply to Bermuda and Gibraltar which implement sanctions under their own legislative arrangements.

      13 April 2022 Asset Freeze 206 individuals, including: 178 separatists who have been supporting Russian-backed breakaway regions of Ukraine, 6 oligarchs, close associates and employees, and an additional 22 individuals.
      8 April 2022
      Asset freeze
      3 individuals: Katerina Vladimirovna Tikhonova and Maria Vladimirovna Vorontsova (daughters of Vladimir Putin); and Yekaterina Sergeyevna Vinokurova (daughter of Sergey Lavrov)
      General Trade Licence- Vessels

      Permits the provision of technical assistance, financial services and funds, and brokering services relating tovessels, aircrafts and aero gas turbine engines/ their component parts / associated technology, where;

      • the aircraft or vessel is moving from a third country to Russia, or to the UK or a third country from Russia, or transiting Russian territorial waters or airspace or moving between two third countries,
      • in the case of an aircraft, it is carrying goods or passengers when removed or is removed in order to undertake a journey carrying goods or passengers,
      • the aircraft or vessel is moving under its own power, and
      • the movement of the aircraft or vessel is not for the purpose of: (i) transfer of ownership of the aircraft or vessel or any of its component parts or (ii) a change of the operator of the aircraft or vessel.

      The General Licence also contains a number of conditions relating to insurance/reinsurance in respect of the above.

      Use is subject to a notification requirement.

      This replaces the previous licence dated 17 March 2022 (now revoked).

      7 April 2022

      Further sanctions –announcement(G7 foreign ministers' statement)

      "We stress the necessity offurther increasing the economic pressureinflicted on Russia and the Lukashenka regime in Belarus. Together with international partners, the G7 will sustain and increase pressure on Russia byimposing coordinated additional restrictive measuresto effectively thwart Russian abilities to continue the aggression against Ukraine. We will work together tostop any attempts to circumvent sanctionsor to aid Russia by other means. We are taking further steps to expedite plans toreduce our reliance on Russian energy, and will work together to this end."
      6 April 2022 Asset Freeze

      8 individuals:

      • Viatcheslav (Moshe) Kantor, the largest shareholder of Acron - fertilizer company
      • Andrey Guryev - founder of PhosAgro - fertilizer company
      • Sergey Kogogin, director of Kamaz – manufacturer of trucks and buses.
      • 阿尔罗萨公司的总裁谢尔盖Sergeyevich伊万诺夫- diamond producer (also a DP)
      • Leonid Mikhelson, the founder and CEO of Novatek - Russian natural gas producer
      • Andrey Akimov, the CEO of Gazprombank.
      • Aleksander Dyukov, the CEO of GazpromNeft.
      • Boris Borisovich Rotenberg, son of the co-owner of SGM - gas pipeline producer.

      2 entities: Credit Bank of Moscow and PJSC Sberbank

      Further sanctions –announcement

      (announced but not yet implemented)

      Other sanctions announced, but yet to be implemented, include:

      • An outright ban on all newoutward investmentto Russia.
      • By the end of 2022, the UK will end all dependency onRussian coal and oil, and end imports of gas as soon as possible thereafter. From next week, theexport of key oil refining equipmentand catalysts will also be banned.
      • Action against key Russian strategic industries and state owned enterprises. This includes a ban onimports of iron and steel products
      General licence- CreditBank of Moscow(wind-down) Permits the wind down of any transactions involving Credit Bank of Moscow (or a subsidiary) including the closing out of any positions, and any activity reasonably necessary to effect this, until6 May 2022
      General licenceSberbank(energy) - amendments Amendment to the General Licence granted on 1 March 2022 in respect ofenergy-related payments(see below). The amendment ensures that the General Licence in respect of energy related payments may continue to be used since Sberbank became subject to an asset freeze on 6 April 2022.
      4 April 2022

      General licence– GEFCO (amendment)

      [NOW REVOKED]

      [THIS GENERAL TRADE LICENCE HAS BEEN REVOKED – SEE BELOW]

      GEFCO General Licence (see 25 March 2022 below) amended to permit persons or a relevant institution to process payments or transactions related to the sale and transfer of GEFCO's shares by Russian Railways.

      Further wave of sanctions –announcement

      (announced but not yet implemented)

      In a speech delivered at a the British Embassy in Poland, Foreign Secretary Liz Truss announced a "tough new wave of sanctions", said to comprise:

      • "banning Russian ships from our ports";
      • "cracking down on Russian banks";
      • "going after new industries filling Putin’s war chest like gold"; and
      • "agreeing a clear timetable to eliminate our imports of Russian oil, gas and coal".

      [Update on 5 April 2022:In aspeech波兰外交部交货的事情s on 5 April 2022, the Foreign Secretary explained that she would be urging the UK's NATO and G7 partners to go further in sanctions by joining the UK in introducing the above restrictions, which the UK has already introduced.]

      The Foreign Secretary also said that "There should be no talk of removing sanctions whilst Putin’s troops are in Ukraine and the threat of Russian aggression looms over Europe".

      1 April 2022

      General licence- Payments by the Central Bank of the Russian Federation and others

      (exemption to Regulation 18A restrictions)

      [EXPIRED]

      [THIS GENERAL LICENCE HAS NOW EXPIRED]

      Permitsuntil 30 June 2022the provision of financial services for the purposes of the receipt and onward transfer ofnon-rouble denominatedinterest/coupon or maturity/principal payments from:

      • the Central Bank of the Russian Federation,
      • 俄罗斯联邦的国家财富基金, or
      • the Ministry of Finance of the Russian Federation,

      in connection with debt issued by thembefore 1 March 2022

      General licence– VTB (basic needs) – amendment

      Amendment of the VTB basic needs general licence (see 1 March 2022 below) to allow any payments in connection with the insolvency proceedings of the UK subsidiary of VTB.

      Any person, including any subsidiary of VTB incorporated in the UK, may make, receive or process any payments, or take any other action, in connection with any insolvency proceedings relating to VTB Capital plc. Permits the receipt and processing of any such payments.

      "insolvency proceedings" includes all those set out in the Insolvency Act 1986 and the Banking Act 2009

      31 March 2022 Asset freeze

      12 individuals: including Russian propagandists and military personnel.

      2 entities: Rossiya Segodnya and TV-Novosti (both Russian media organisations)

      Asset freeze

      3 entities: Photon Pro LLP; Majory LLP; Djeco Group LP

      [Note: Each of these entities has a UK address, and has been designated under the new "urgent" procedure on the basis that they have been sanctioned by the US. No other reasons were given by OFSI. An OFACpress releasesaid that these entities were part of an international "sanctions evasion network" which conceals the Russian military and intelligence end-users of western technology.]

      30 March 2022

      Financial restrictions – investments inDonetsk and Luhansk regions

      The Russia (Sanctions) (EU Exit) (Amendment) (No. 7) Regulations 2022

      (amendments to Regulation 18)

      Extension of the existing investment restrictions in respect of Crimea to the Donetsk and Luhansk regions (defined as "non-government controlled Ukrainian territory"). Those restrictions comprise a prohibition on:

      • acquiring any ownership interest in land located in Crimea/Donetsk/Luhansk
      • acquiring any ownership interest in or control over, an entity located in Crimea/ Donetsk/Luhansk
      • granting any loan or credit, or otherwise providing funds, to or for the purposes of financing an entity located in Crimea/ Donetsk/Luhansk
      • 建立在克里米亚/顿涅茨克/任何合资企业Luhansk or with an entity located in Crimea/ Donetsk/Luhansk
      • providing investment services in relation to any of the above

      The exceptions to these restrictions have been similarly extended.

      Trade restrictions -Donetsk and Luhansk regions

      The Russia (Sanctions) (EU Exit) (Amendment) (No. 7) Regulations 2022

      (amendments to Chapter 5 and 6)

      Extension of the existing trade restrictions in respect of Crimea to the Donetsk and Luhansk regions (defined as "non-government controlled Ukrainian territory"). Those restrictions comprise a prohibition on:

      • The import of goods which originate in Crimea/Donetsk/Luhansk
      • The export/supply/delivery etc of infrastructure-related goods to, or for use in, Crimea/Donetsk/Luhansk, including related technical assistance, financial services and funds, and/or brokering
      • The provision of services relating to a relevant infrastructure sector (transport; telecommunications; energy; exploration/production of oil, gas and mineral resources) or tourism in Crimea/Donetsk/Luhansk

      The exceptions to these restrictions have been similarly extended. Specific exceptions to the Donetsk/Luhansk restrictions have also been introduced – see new Regulation 60ZA.

      Technical assistance relating to aircraft and ships

      The Russia (Sanctions) (EU Exit) (Amendment) (No. 7) Regulations 2022

      (new Regulation 46A)

      Prohibition on the provision of technical assistance to or for the benefit of a designated person relating to an aircraft or a ship.

      "technical assistance" means (a) technical support relating to the repair, development, production, assembly, testing, use or maintenance of the goods or technology, or (b) any other technical service relating to the goods or technology.

      Ships - Donetsk and Luhansk regions

      The Russia (Sanctions) (EU Exit) (Amendment) (No. 7) Regulations 2022

      (amendments to Regulation 57)

      Extension of existing shipping restrictions in respect of Crimea (see 1 March 2022 below) to the Donetsk and Luhansk regions.

      A British cruise ship may be directed not to enter a port in Crimea/Donetsk/Luhansk.

      29 March 2022

      General licence- Wind down of positions involving Sovcomflot

      [EXPIRED]

      [THIS GENERAL LICENCE HAS NOW EXPIRED]

      Permits the wind down of any transactions involvingSovocomflot(or a subsidiary) including the closing out of any positions, and any activity reasonably necessary to effect this, until15 May 2022

      28 March 2022

      Procurement Policy Note——contracts with suppliers from Russia or Belarus

      (accompanyingFAQs)

      Guidance issued by the Cabinet Office asks all public sector organisations to review contracts to identify any with Russian and Belarusian companies and, if possible to switch suppliers with minimal disruption, pursue legal routes of cancelling them.

      PPN也表明,公共部门organisations consider whether there are Russian/Belarusian subcontractors (being relied on to deliver the contract) in supply chains, but confirms that there is no requirement to ask contractors to consider terminating subcontracts with Russian/Belarusian subcontractors at this stage.

      27 March 2022 Research and innovationsanctions

      Suspension of publicly funded research and innovation collaborationswith Russian Universities and companies of strategic benefit to the Russian state:

      • Pause of all payments for projects delivered through UK public research funds with a Russian dimension.
      • Further assessment of UK public research funders, to isolate and freeze activities which benefit the Russian regime.
      • No funding of any new collaborative projects with Russia through UK research and innovation organisations.
      • Suspension of existing government to government dialogue through the UK's science and innovation network team in Russia including their collaborative science projects.
      • Where the UK is a member of multilateral organisations, working with partners to respond appropriately to hold Russia to account for its actions while diminishing and isolating its influence.
      25 March 2022

      General licence- continuation of business and basic needs of GEFCO UK subsidiaries

      [NOW REVOKED]

      [THIS GENERAL LICENCE WAS REVOKED ON 12 APRIL 2022: following the sale of Russian Railways' stake in GEFCO to non-designated persons, GEFCO is no longer impacted by UK sanctions]

      Applies toGEFCOand subsidiaries (including GEFCO UK Ltd, GEFCO Forwarding UK, Auto XP Limited and XP Tech Limited)

      GEFCO is a joint venture owned byRussian Railways(designated on 24 March 2022- see below) and Stellantis, GEFCO S.A Rue Jean Jaures, 20-22, 92800 Puteaux, France.

      Permits the continuation of business operations involving GECFO or its subsidiaries including:

      • Payments to or from GEFCO or its subsidiaries under any obligations or contracts; and
      • Payments to or from any third party necessary to the continuation of any obligations or contracts.

      A "Relevant Institution" may process payments made in accordance with the above.

      Permits GEFCO subsidiaries to makebasic needspayments, including insurance, property management, remuneration, pensions, tax, mortgage and utility payments.

      [Amendment on 4 April 2022] A Person or a Relevant Institution may process payments or transactions related to the sale and transfer of GEFCO's shares by the Russian Railways.

      Licence expires on23 May 2022

      24 March 2022 Asset freeze

      33 individuals, including:

      • Eugene Markovich Shvidler, a businessman with close business links to Roman Abramovich.
      • Oleg Tinkov, founder of Tinkoff Bank.
      • Herman Gref, Chief Executive Officer of Sberbank
      • Oleg E Aksyutin, the Deputy Chairman of the Management Board at Gazprom PJSC.
      • Didier Casimiro, the First Vice President of Rosneft.
      • Zeljko Runje, the Deputy Chairman of the Management Board and First Vice Pesident for Oil, Gas, and Offshore Business Development of Rosneft.
      • Galina Danilchenko, installed as ‘mayor’ of Melitopol by Russian authorities.
      • Polina Kovaleva, stepdaughter of Russian Foreign Minister, Sergey Lavrov.

      26 entities, including:

      • Five banks: Alfa-Bank (Alfa-Bank Ukraine has not been designated), Gazprombank, Russian Agricultural Bank (aka Rosselkhozbank), SMP Bank, Ural Bank for Reconstruction and Development
      • Russian Railways
      • Sovocomflot, Russia's largest shipping company.
      • Kronshtadt, defence company and the main producer of Russian drones.
      • The Wagner Group – the organisation Russian mercenaries reportedly tasked with assassinating President Zelenskyy.
      • Alrosa, the world’s largest diamond mining company.
      Belarus:asset freeze

      Six entities:

      • Bank Dabrabyt
      • CJSC Belbizneslizing
      • Industrial-Commercial Private Unitary Enterprise Minotor-Service
      • JSC Transaviaexport Airlines
      • Belinvest-Engineering
      • OJSC KB Radar-Managing Company Holding Radar System

      General licence– wind down of positions with five designated banks

      [EXPIRED]

      Permits the wind down of any transactions involving:

      • Alfa Bank JSC
      • GazPromBank
      • Rosselkhozbank
      • SMP Bank
      • Ural Bank for Reconstruction and Development
      • subsidiaries owned/controlled by any of the above

      including the closing out of any positions, and any activity reasonably necessary to effect this, until23 April 2022

      Belarus:General licence– wind down of positions with Bank Dabrabyt

      [EXPIRED]

      Permits the wind down of any transactions involvingBank Dabrabytincluding the closing out of any positions, and any activity reasonably necessary to effect this, until23 April 2022

      Trade restrictions– increased import tariffs

      The Customs (Additional Duty) (Russia and Belarus) Regulations 2022

      Additional 35 per cent duty payable on imports ofkey products from Russia and Belarus.The products include:

      • Russia: paper, cement, glass, silver, iron, steel, copper, aluminium, lead, nuclear reactors, electrical machinery/equipment, ships, works of art and antiques.
      • Belarus: cereals, oil seeds, fruit and seeds, beverages spirits and vinegar, food waste, cement, fertilisers, tyres, fur, wood, paper, cement, glass, silver, iron, steel, copper, aluminium, lead, nuclear reactors, electrical machinery/equipment, ships, works of art and antiques.

      The full lists of impacted products, including commodity codes, are availablehere

      Open general export licence ("OGEL") -amendments

      Four existing OGELs have been amended to require registration before first use of the licence:

      1. export after repair/replacement under warranty: dual-use items
      2. export after repair/replacement under warranty: dual-use items – from June 2019
      3. PCBs and components for dual-use items
      4. PCBs and components for dual-use items – from June 2019
      5. export after repair/replacement under warranty: military goods– updated to allow items to be exported from the UK, after repair in the UK, or the country of original manufacture
      6. export after repair/replacement under warranty: military goods – from June 2019– updated to allow items to be exported from the UK, after repair in the UK, or the country of original manufacture

      In addition, theexport of dual-use items to EU member statesOGEL has been updated to include Iceland as a permitted destination.

      22 March 2022

      General licence- Wind down of certain transactions with the Central Bank, National Wealth Fund and Ministry of Finance

      [EXPIRED]

      [THIS GENERAL LICENCE HAS NOW EXPIRED]

      Permits the provision of financial services for the purposes ofwinding downany derivatives, repurchase, and reverse repurchase transactions entered intoprior to 1 March 2022with:

      • the Central Bank of the Russian Federation
      • 俄罗斯联邦的国家财富基金
      • the Ministry of Finance of the Russian Federation

      A Person or Relevant Institution can carry out any activity reasonably necessary to effect this.

      The licence expires on2 May 2022

      Amended on 24 March 2022 to clarify that the licence includes persons owned/controlled or acting on behalf of the three named entities.

      Update to OFSI guidance– ownership and control

      OFSI has added a new paragraph (4.1.4) to its general guidance onownership and controlwhich clarifies OFSI's position onaggregation, including the following:

      "When making an assessment on ownership and control,OFSI would not simply aggregate different designated persons’ holdings in a company, unless, for example, the shares or rights are subject to a joint arrangement between the designated parties or one party controls the rights of another. Consequently, if each of the designated person's holdings falls below the 50% threshold in respect of share ownership and there is no evidence of a joint arrangement or that the shares are held jointly, the company would not be directly or indirectly owned by a designated person." (emphasis added)

      17 March 2022 Tax– suspension of cooperation The UK has suspended all exchange of tax information with Russia and Belarus under the UK’s exchange of information agreements, including the Convention on Mutual Administrative Assistance in Tax Matters and under bilateral Double Tax Agreements.
      Oligarch Task Force- meeting

      Inaugural ministerial meeting of the Russian Elites, Proxies and Oligarchs Task Force (the "Task Force"). Joint statement confirmed:

      • 一个commitment to prioritizing resources and working together to take all available legal steps to find, restrain, freeze, seize, and, where appropriate, confiscate or forfeit the assets of those individuals and entities that have been sanctioned in connection with Russia’s invasion of Ukraine; and
      • 一个commitment to holding accountable those who have complicity in Russia’s unjust war and a determination to deny them the ability to hide and benefit from their assets in all jurisdictions and to undermine the integrity of the international financial system.

      Signatories include representatives from: the US, Australia, Canada, France, Germany, Italy, Japan, the UK and the EU.

      General Trade Licence– vessels

      [NOW REVOKED]

      [THIS GENERAL TRADE LICENCE WAS REVOKED ON 8 APRIL 2022]

      Permits the provision of technical assistance, financial services and funds, and brokering services relating tovessels/ their component parts / associated technology, where:

      • the vessel is moving from a third country to Russia, or to the UK or a third country from Russia, or transiting Russian territorial waters,
      • the vessel is moving under its own power, and
      • the movement of the vessel is not for the purpose of: (i) transfer of ownership of the vessel or any of its component parts, or (ii) a change of the operator of the vessel.

      The General Licence also contains a number of conditions relating to insurance/reinsurance in respect of the above.

      Use is subject to a notification requirement.

      The licence isstatedto be "a temporary measure which will address a shortcoming" in the relevant regulation.

      [A replacement general licence was granted on 8 April 2022 – see above.]

      15 March 2022 Asset freeze

      345 individuals,包括大量的新名称ly-introduced urgent procedure in the Economic Crime (Transparency and Enforcement) Act pursuant to the new "mirroring provisions" (i.e. because those individuals have already been sanctioned by the US, EU, Canada or Australia).

      5 entities: Gas Industry Insurance Company SOGAZ, Geopolitica, Internet Research Agency, New Eastern Outlook, Oriental Review
      Significant individuals included in the designations include:

      Oligarchs:

      • Mickhail Fridman, founder of Alfa Bank. He also owns shares in LetterOne.
      • German Khan, a business partner of Aven and Fridman in both Alfa Bank and LetterOne.
      • Petr Aven, who was President of Alfa Bank and co-founder of LetterOne.
      • Alexey Mordashov, a majority shareholder in steel company Severstal
      • Andrey Melnichenko, the founder of EuroChem Group.
      • Viktor Vekselberg, owner of the Renova Group.
      • Alexander Ponomarenko, chairman of the board of Sheremetyevo, the biggest airport in Russia.
      • Dmitry Pumpyansky, owner and chairman of OAO TMK.
      • Vadim Moshkovich, chairman of the board of directors of Rusagro Group.

      Political allies:

      • Dmitry Medvedev, deputy chairman of the Security Council of Russia
      • Mikhail Mishustin, current Prime Minister of Russia
      • Sergei Shoigu, Defence Minister.

      Propagandists:

      • Dmitry Peskov, Putin’s press secretary and a Kremlin spokesperson
      • Maria Zakharova, the Director of the Information and Press Department of the Ministry of Foreign Affairs of the Russian Federation.
      Asset freeze

      12 individuals

      2 entities: Rosneft Aero and JSC Zelenodolsk Shipyard
      All designated under the newly-introduced urgent procedure in the Economic Crime (Transparency and Enforcement) Act pursuant to the new "mirroring provisions", i.e. on the basis that those persons have already been sanctioned by the EU.

      Economic Crime (Transparency and Enforcement) Act 2022– strict liability and new designation procedure

      Economic Crime (Transparency and Enforcement) Act (the "2022 Act") receives Royal Assent. In terms of sanctions, the key provisions are as follows:

      • Introduction of strict liability foranysanctions breaches (by removing any requirement for a party to "to have known, suspected or believed any matter"). [This provision comes into force on15 June 2022– see above].
      • Introduction of a new urgent procedure for designations, including if a person/entity has been designated by the US, the EU, Australia or Canada, or if there is a public interest in that person/entity being designated.
      Trade/financial restrictions: Export finance The UK government announced it will no longer issue any new guarantees, loans and insurance for exports to Russia and Belarus.
      13 March 2022 Investments in Russia– Government statement

      Statement from the Chancellor, Rishi Sunak:

      • "I welcome commitments already made by a number of firms to divest from Russian assets – and I want to make it crystal clear that the government supports further signals of intent."
      • "I am urging firms to think very carefully about their investments in Russiaand how they may aid the Putin regime – and I am also clear that there is no case for new investment in Russia."

      The government recognises that some firms may find winding down their positions is a long-term process, given market conditions and the ability to sell assets due to the global sanctions placed on the Russian economy. The Chancellor said the government would do all it could to stand behind and support businesses who want to divest.

      11 March 2022

      Trade– revocation of "most favoured nation" status

      (announced but not yet implemented – G7 leaders' joint statement)

      Denial of Russia'sMost-Favoured-Nation (MFN) statusrelating to key products - the products of Russian companies will no longer receive Most-Favoured-Nation treatment in those economies.

      [Implemented in part - by way of import tariff increases on key products from Russia (see 24 March 2022 above).]

      A statement by a broad coalition of WTO members, including the G7, announcing their revocation of Russia’s Most-Favoured-Nation status is being prepared. [Update: the statement was published in 15 March 2022 – accessiblehere.]

      Financial restrictions– removal of access to leading multilateral financial institutions

      (announced but not yet implemented – G7 leaders' joint statement)

      Prohibition on Russia from obtaining financing from the leadingmultilateral financial institutions, including the International Monetary Fund, the World Bank and the European Bank for Reconstruction and Development.

      [See equivalent entry for the EU below for further detail.]

      Financial restrictions– closing loop-holes

      (announced but not yet implemented – G7 leaders' joint statement)

      Focus on cracking down on evasion and toclosing loop-holesin existing sanctions. Specifically, ensuring that existing measures includedigital / crypto-assets

      Financial restrictions– new debt/equity

      (announced but not yet implemented – G7 leaders' joint statement)

      Prohibition on Russian entities who are directly or indirectly supporting the war accessingnew debt and equity investmentsand other forms of international capital.

      Asset freeze– individuals
      386 individuals: members of the State Duma of the Russian Federation who voted in favour of the laws which recognised the Donetsk People’s Republic and the Luhansk People’s Republic as independent states.
      10 March 2022 Asset freeze– individuals

      Seven individuals:

      • Roman Arkadyevich ABRAMOVICH (owner of Chelsea FC and has stakes in steel giant Evraz and Norilsk Nickel);
      • Igor Ivanovich SECHIN (Chief Executive of Rosneft);
      • Oleg Vladimirovich DERIPASKA (has stakes in En+ Group);
      • Dmitri Alekseevich LEBEDEV (Chairman of the Board of Directors of Bank Rossiya);
      • Alexei Borisovich MILLER (CEO of energy company Gazprom);
      • Andrei Leonidovich KOSTIN (Chairman of VTB Bank); and
      • Nikolai Petrovich TOKAREV (president of the Russia state-owned pipeline company Transneft)

      General licence– Chelsea football club

      [EXPIRED]

      [THIS GENERAL LICENCE HAS NOW EXPIRED]

      Exemption to the asset freeze restrictions forChelsea football club(by virtue of it being owned/controlled by Roman Abramovich) to permit it to make various payments associated with its continued operation, and for individuals/entities to make/receive payments in respect of the same.

      The licence confirms that:

      • the purchase or production of new merchandise by a third party isnot permitted, unless there was an obligation to do so prior to 10 March 2022; and
      • any funds which the Club receivesmust be frozen

      This licence expires on31 May 2022

      9 March 2022

      General licence– amendment toVTB wind-down licence(payment into frozen accounts)

      [EXPIRED]

      Amendments to the publication notice to the existing licence (see 25 February entry below):

      • OFSI confirmed that the existingVTBwind-down General Licencedoes notcontain a requirement that funds payable to VTB as part of winding down any transactions with VTB be paid into a frozen account.
      • If funds become payable to asubsidiary of VTBas part of winding down any transactions with VTB subsidiaries, OFSI suggests considering how the ownership and control provisions in the 2019 Russia Regulations could apply to such payment.
      Belarus:General licence- Provision of navigational data to civilian aircrafts for flight safety

      Exemption to the existing asset freeze provisions to permitBelaeronavigatsia(the provider of air navigation services in Belarus) to provide navigational data to civilian aircraft, and for flight data providers to make payments to Belaeronavigatsia in respect of the same.

      This licence is ofindefinite duration

      7 March 2022 俄罗斯石油imports –announcement

      The UK Government announced that:

      • the UK willphase out the import of Russian oilduring the course of the year in response to the illegal invasion of Ukraine; and
      • it will establish a newjoint taskforcewith industry to work together on an orderly transition,

      in order to move will increase the growing pressure on Russia’s economy by choking off a valuable source of income.

      Note:no associated sanctionshave been announced.

      See also the furtherstatementfrom Kwasi Kwarteng, Secretary of State for Business, Energy and Industrial Strategy, on 10 March 2022.

      General licence– amendment (VTB wind-down)

      [EXPIRED]

      Amendments to existing licence (see 25 February entry below) was amended to update references to UK legislation and expand the definition of a subsidiary. No amendments to activity covered by the licence or the validity period.

      General trade licence– aviation insurance

      [NOW REVOKED]

      [THIS GENERAL TRADE LICENCE WAS REVOKED ON 29 MARCH 2022]

      Provides authorisation for certain prohibitedinsurance/reinsuranceservices relating toaviation and space goods or technology:

      • Insurance servicesif, before 8 March, the provider: (i) did not reinsure any of their obligations; or (ii) reinsured any of their obligations to provide those insurance services and no such reinsurance cover has been rendered unenforceable, suspended, frustrated or prohibited by any applicable sanctions; or

      Authorisation applies until28 March 2022under contracts concludedbefore 8 March 2022in pursuance of or in connection with an arrangement forfinancial servicesrelating to the provision ofmilitary goodsto a person connected with Russia / for use in Russia etc.

      Trade sanctions -aviation and spacegoods or technology

      The Russia (Sanctions) (EU Exit) (Amendment) (No. 6) Regulations 2022

      Prohibition on the export/supply/delivery etc of certain specifiedaviation and space goods or technology:

      • to Russia
      • to a person connected with Russia; or
      • for use in Russia.

      "person connected with Russia" – see entry at 1 March 2022 below.

      "aviation and space goods or technology" – specified in Schedule 2C of the 2019 Regulations (as amended. Includes "any tangible storage medium on which aviation and space technology is recorded".

      Also includes a prohibition on the provision, directly or indirectly, of insurance or reinsurance services relating toaviation and space goods or technology

      Extension of certain existing exceptions to aviation and space goods or technology.

      Ships- prohibition on port entry

      The Russia (Sanctions) (EU Exit) (Amendment) (No. 6) Regulations 2022

      Amendments to the existing prohibitionsintroduced on 1 March 2022 (see entry below):

      • A detention direction may also now be given to "a ship registered in Russia".
      • Clarification that a ship is not "operated" by its master or crew unless that master or crew are designated persons for the purposes of the shipping restrictions.

      Prohibition onRussian aircraft

      The Russia (Sanctions) (EU Exit) (Amendment) (No. 6) Regulations 2022

      Prohibition onRussian aircraftoverflying or landing in the UK. Air traffic controllers may (or may be instructed to) give such directions to Russian aircraft.

      Airport operators可能(或要求)给指示吗Russian aircraft not to take off, to take off or not to land at an airport. Airport operators giving instructions not to take off must take reasonable steps to detain the aircraft.

      The Civil Aviation Authority (CAA) may also be required to refuse certain permissions under the Air Navigation Order (ANO).

      "Russian aircraft" means an aircraft (i) registered in Russia; or (ii) owned, chartered or operated by a designated person (under these aircraft restrictions), or a person connected with Russia.

      Persons/entities can be "designated" for the purposes of the above restrictions/prohibitions.

      Exceptions on grounds of safety to other aircraft, passengers or people on the ground.

      4 March 2022

      General licence- Wind Down of Positions Sberbank

      [EXPIRED]

      [THIS GENERAL LICENCE HAS NOW EXPIRED]

      Grants an exemption to3 April 2022to permit the wind down of activity which would be caught by the prohibition on the provision of financial services for the purpose of foreign exchange reserve and asset management (under Regulation 18A – by virtue of Sberbank being owned or controlled directly or indirectly by the Central Bank, the National Wealth Fund or the Ministry of Finance).

      General licence- Wind Down of Positions Involving Various Designated Banks

      [EXPIRED]

      [THIS GENERAL LICENCE HAS NOW EXPIRED]

      Grants an exemption to3 April 2022to permit non-designated persons/entities to wind-down any transactions with Bank Otkritie, Promsvyazbank, Bank Rossiya, Sovcombank, Vnesheconombank (VEB), Novikombank, or any subsidiary thereof.

      Exemption permits the winding down of any transactions and "any activity reasonably necessary to effect this".

      3 March 2022 Asset freeze Two individuals: Igor Ivanovich Shuvalov (Chairman of VEB) and Alisher Burkhanovich Usmanov (prominent Russian businessman and pro-Kremlin oligarch)

      Asset freeze– all Russian Banks

      (announced but not yet implemented)

      The Government announced that it intends to "asset freezeevery Russian bank".

      The Foreign Secretary also stated at apress conferencethat "We need to make sure no Russian bank has access toSWIFT". Boris Johnson repeated this message in anarticlepublished on 6 March 2022 ("We must go further on economic sanctions, expelling every Russian bank from SWIFT.")

      1 March 2022

      Financial restrictions – dealing with Central Bank and others

      The Russia (Sanctions) (EU Exit) (Amendment) (No. 5) Regulations 2022

      Prohibition on UK individuals/entities from providing financial services for the purpose of foreign exchange reserve and asset management to:

      • the Central Bank of the Russian Federation
      • 俄罗斯联邦的国家财富基金
      • the Ministry of Finance of the Russian Federation
      • a person owned or controlled, or acting by, or on behalf of/at the direction of, any of the persons above

      "foreign exchange reserve and asset management" includes money market instruments (including cheques, bills and certificates of deposit); foreign exchange; derivative products (including futures and options); exchange rate and interest rate instruments (including products such as swaps and forward rate agreements); transferable securities; other negotiable instruments and financial assets (including bullion); and/or special drawing rights.

      Licences may be granted in certain circumstances, including humanitarian assistance, financial regulation, financial stability, soundness of a firm or extraordinary circumstances.

      General licence– financial restrictions –VTB(regulators)

      Grants an exemption to UK financial regulators in relation to VTB Capital plc / any other VTB UK subsidiary "for the purposes of the functions of that authority including as they relate to prudential supervision or protecting, maintaining or enhancing the stability of the financial system of the United Kingdom" until1 March 20233 April 2025

      [注意:这个通用许可证延长Febr 24日uary 2023, please see entry above for more information]

      Relevant UK regulators include the FCA, FSCS, PRA and Bank of England.

      General licence- financial restrictions –VTB(basic needs)

      Grants an exemption to VTB Capital plc / any other VTB UK subsidiary to permit it to make payments for basic needs, including:

      • insurance premiums, property management, salaries, tax, mortgage and utility payments;
      • charges arising from the routine holding and maintenance of its frozen funds or economic resources; and
      • legal fees.

      Grants an exemption to allow persons to receive, and UK financial institution to process, such payments.

      [Amendment on 1 April 2022] Any person, including any subsidiary of VTB incorporated in the UK, may make, receive or process any payments, or take any other action, in connection with any insolvency proceedings relating to VTB Capital plc. Permits the receipt and processing of any such payments.

      • "insolvencyproceedings" includes all those set out in the Insolvency Act 1986 and the Banking Act 2009

      [Amendment on 22 April 2022] The General Licence now also includes Sberbank CIB (UK) Ltd, the UK subsidiary of Sberbank.

      [Amendment on 22 August 2022] The General Licence now also includes Guernsey subsidiary VTBC Asset Management International Limited and EU subsidiary VTB Bank (Europe) SE (VTBE) and any entity owned or controlled by VTBE incorporated in Germany.

      [Amendment on 6 October 2022] The General Licence now includes payments related to Insolvency Proceedings under the German Banking Act.The General Licence expires on3 April 2023

      [Amendment on 24 February 2023] The general licence was extended to expire on3 April 2025at 23:59- please see the entry above for more information].

      Prohibition on port entry

      The Russia (Sanctions) (EU Exit) (Amendment) (No. 4) Regulations 2022

      Ban on Russian ships entering UK ports. Includes ships:

      • Owned/controlled/chartered by a designated person or a person "connected with Russia" (see definition below);
      • Flying the flag of Russia or registered in Russia; or
      • Specified ships [Note – as far as we are aware, none have yet been "specified"]

      Any such ship can be directed to enter or leave a port in a specific direction, proceed to a specific location or remain where it is, including that a ship be detained in a UK port.

      A British cruise ship may be directed not to enter a Crimean port.

      Persons/entities can be "designated" for the purposes of the above restrictions

      Asset freeze One individual: Kirill Alexandrovich Dmitriev (CEO of Russian Direct Investment Fund)

      One entity: Russian Direct Investment Fund (Russia's sovereign wealth fund)

      Financial restrictions – capital markets / loans

      The Russia (Sanctions) (EU Exit) (Amendment) (No. 2) Regulations 2022

      Extended the existing capital markets prohibition, as follows:

      1. Prohibition on dealing with atransferable security or money-market instrumenta maturity exceeding 30 days and issued on or after 1 March 2022 by:
      2. Prohibition on dealing withanytransferable security or money-market instrument issued on or after 1 March 2022 by:

      Extended the existing restrictions on thegranting of loans/credit.It is prohibited to grant the following loans/credit:

      1. Category 1 Loan: loan/credit with a maturity exceeding 30 days to a Schedule 2 Entity, or a non-UK entity owned by a Schedule 2 Entity, or any entity acting on their behalf, at any time after 31 December 2020. [Note: existing exemptions still apply.]
      2. Category 2 Loan: loan/credit with a maturity exceeding 30 days to a UK entity owned by a Schedule 2 Entity, or any entity acting on their behalf, at any time after 1 March 2022.
      3. Category 3 Loan: loan/credit with a maturity exceeding 30 days to an entity connected with Russia (or to an entity owned by a person connected with Russia, or acting at its direction/behalf), except if that entity is not Russian-domiciled or owned by an entity which is not Russian-domiciled, at any time after 1 March 2022.
      4. Category 4 Loan: loan/credit to the Government of Russia at any time after 1 March 2022.

      "connected with Russia" means:

      • an individual/group of individuals who are ordinarily resident or located in Russia
      • an entity which is incorporated/constituted under Russian law or domiciled in Russia.

      Financial restrictions - correspondent banking relationships

      The Russia (Sanctions) (EU Exit) (Amendment) (No. 2) Regulations 2022

      Prohibition on UK credit/financial institutions:

      • having acorrespondent bankingrelationship with; or
      • processing sterling paymentsto/from/via,

      any designated person or any credit/financial institutions owned/controlled by a designated person.

      Note: OFSI has expressly confirmed that these restrictions apply to Sberbank (but when the restriction was introduced, Sberbank was not subject to an asset-freeze). Sberbank became subject to an asset freeze on 6 April 2022.

      Trade restrictions

      The Russia (Sanctions) (EU Exit) (Amendment) (No. 3) Regulations 2022

      Extension of existing trade restrictions applicable to military goods/technology to dual-use goods and certain specified goods referred to as "critical-industry goods/technology" (set out in Schedule 2A), which include:

      • electronic devices/components and related equipment
      • computers and related equipment
      • telecommunications and information security equipment
      • sensors and lasers
      • navigation and avionics equipment
      • marine vessels and equipment
      • aerospace and propulsion equipment, including engines and aircraft

      Certain exceptions for: personal effects, consumer communication devices and software updates

      General Licence– capital markets restrictions

      [EXPIRED]

      [THIS GENERAL LICENCE HAS NOW EXPIRED]

      Grants anexemptionto the extended capital markets restrictions until 23:59 on08 March 2022for:

        Note:that there isno exemptionfor a Category 4 Loan (to the Russian Government).

        General Licence– correspondent banking relationships & processing sterling payments -Sberbank

        [EXPIRED]

        [THIS GENERAL LICENCE HAS NOW EXPIRED]

        Grants an exemption to the prohibition on maintaining a correspondent banking relationship and processing sterling payments in respect ofSberbankuntil 23:59 on31 March 2022

        General Licence- processing sterling payments –energy/Sberbank

        Grants anexemptionto the prohibition on the processing of sterling payments from/to/via:

        • Sberbank; or
        • any non-UK financial institution owned/controlled by Sberbank,

        for the purposes of makingcrude oil, petroleum products or gasavailable for use in the UK until on24 June 2022

        [General licence was amended on 6 April 2022 – see above]

        Asset freeze

        Four individuals: Andrei Burdyko, Victor Vladimirovich Gulevich, Sergei Simonenko and Andrey Zhuk (all senior members of the Belarussian Military/Ministry of Defence)

        Two entities: JSC 558 Aircraft Repair Plant, JSC Integral (both Belarussian defence companies)

        28 February 2022 Asset freeze Three entities: VEB, Bank Otkritie, Sovocombank.
        28 February 2022

        Financial restrictions– Russian Central Bank and others

        (announced but not yet implemented)1

        In addition to those measures announced on 24 February 2022 (see below), new sanctions will include a prohibition on any UK natural or legal persons from undertaking financial transactions involving the CBR or the Ministry of Finance of the Russian Federation.[Implemented in part – see above (1 March ) - but not subject to asset freezes.]
        26 February 2022
        (announced but not yet implemented)
        Visa restrictions– "golden passports" Introduction of measures to limit the sale of citizenship—so called golden passports—that let wealthy Russians connected to the Russian government become citizens of Western countries and gain access to their financial systems.[Note: the UK ended its Tier-1 investor visa scheme on17 February 2022]
        25 February 2022 Asset freeze Two individuals: Vladimir Putin and Sergei Lavrov.

        General Licence– Wind Down of Positions InvolvingVTB

        [EXPIRED]

        [THIS GENERAL LICENCE HAS NOW EXPIRED]

        Allows until27 March 2022to wind down any transactions with VTB/any UK subsidiary, including closing out any positions. Any activity "reasonably necessary" to effect this is permitted.

        24 February 2022
        Asset freeze and travel ban Five individuals: Kirill Shamalov, Petr Fradkov, Denis Bortnikov, Yury Slyusar and Elena Aleksandrovna Georgieva (described as being part of "Putin’s inner circle").
        Asset freeze VTB Bank (one of Russia's largest banks) – see General Licence below.
        Five Russian defence companies:
        1. Rostec (Russia's largest defence company).
        2. Uralvagonzavod (one of the world’s largest tank manufacturers).
        3. Tactical Missile Corporation (Russia’s leading supplier of air and sea missiles).
        4. United Aircraft Corporation (a holding company that includes all major Russian aircraft manufacturers).
        5. United Shipbuilding Corporation (the largest shipbuilding company in Russia).
        24 February 2022

        Asset freeze(announced, awaiting implementation)2

        All Russian banks (to the extent not already covered) –implemented in part (see below/above)

        Financial and investment restrictions

        (announced, awaiting implementation)3

        Prohibition on Russian individuals' access to UK banks, including £50,000 limits on bank accounts.

        22 February 2022 Asset freeze and travel ban Three individuals: Gennady Timchenko, Igor Rotenberg and Boris Rotenberg.
        Asset freeze Five Russian banks: Bank Rossiya, Black Sea Bank, Genbank, IS Bank, and Promsvyazbank.
        10 February 2022

        Additional basis for designation under UK sanctions regime:

        The Russia (Sanctions) (EU Exit) (Amendment) Regulations 2022

        Amended the Russia (Sanctions) (EU Exit) Regulations 2019 to include an additional basis for designation under the UK sanctions regime, namely if a person is/has been involved in "obtaining a benefit from or supporting the Government of Russia". This is defined as including:

        a) carrying on business as a Government of Russia-affiliated entity;

        b) carrying on business of economic significance to the Government of Russia; or

        c) carrying on business in a sector of strategic significance to the Government of Russia, those sectors being: chemicals, construction, defence, electronics, energy, extractives, financial services, information, communications and digital technologies, and transport.

        UK Useful Links

        TYPE GUIDANCE
        Consolidated list

        Designated person/asset freeze(Russia-specific)

        Investment ban targets(Russia-specific

        Consolidated list search tool(not Russia-specific)

        Notices

        OFSI Financial sanctions -Russia

        OFSI Financial sanctions -Belarus

        General Licences(OFSI)

        Guidance

        Financial sanctions: general guidance(OFSI)

        Statutory guidance(Russia sanctions)

        Russia guidance(OFSI)

        Enforcement and monetary penalties guidance(OFSI)

        Statutory guidance(Republic of Belarus sanctions)

        Guidance(Trading under sanctions with Russia)

        Additional contributors: Adela Mackie and Aaron Marchant


        脚注

        1.任何措施已实施their announcement have not been listed here.
        2. Any measures which have been implemented since their announcement have not been listed here.
        3. Any measures which have been implemented since their announcement have not been listed here.

        The information provided is not intended to be a comprehensive review of all developments in the law and practice, or to cover all aspects of those referred to.
        Readers should take legal advice before applying it to specific issues or transactions.

        Key contacts