Hogan Lovells 2024 Election Impact and Congressional Outlook Report
The below alert provides a high-level overview of several measures recently adopted by the European Union (the “EU”) targeting Russia and Belarus, which include:
(1) A new Russia sanctions regime, adopted on 27 May 2024, imposing asset-freeze measures and export restrictions in view of the situation in Russia and the internal repression therein;
(2) The expansion of the already existing EU Russia sanctions regime with the adoption of the EU’s 14th package of sanctions against Russia on 24 June 2024;
(3) New designations of persons connected with Russia under the EU’s cyber-attacks sanctions regime on 24 June 2024 and under the EU’s regime targeting Iran’s military support to Russia;
(4) The expansion of the already existing EU Belarus sanctions on 29 June 2024, closing loopholes between the Belarus and Russia sanctions regime and preventing circumvention of existing sanctions; and
(5) The decision, on 1 July 2024, to deny the Energy Charter Treaty’s protection to investments and investors from Russia and Belarus.
We have outlined key measures introduced below, but noting that this is not an exhaustive summary of all measures and amendments introduced.
Separately to the existing sanctions regime targeting Russia, as part of the EU’s response to the accelerating and systematic repression in Russia as well as the continuing deterioration of the human rights situation in Russia, on 27 May 2024, the Council adopted a new framework for restrictive measures in view of the situation in Russia. This new framework includes measures implemented through Council Regulation (EU) 2024/1485 of May 27, 2024 concerning restrictive measures due to the situation in Russia. These measures have come into force on 28 May 2024.
Export restrictions:
Asset freeze measures:
The restrictive measures introduced in the 14th sanctions package targeting Russia are implemented through Council Regulation (EU) 2024/1745 of 24 June 2024 amending the Council Regulation (EU) 833/2014 and Council Regulation (EU) 2024/1739 of 24 June 2024 amending the Council Regulation (EU) 269/2014. These measures came into force on 25 June 2024.
Compliance:
EU companies must ensure their foreign subsidiaries do not engage in activities that undermine EU sanctions. EU companies will have to undertake their "best efforts" to ensure this.
“No Russia” clause for Intellectual Property Rights transfers to prevent the use of industrial know-how for manufacturing Common High Priority (“CHP”) goods for Russia.
Trade:
Exports: Expanded restrictions on dual-use and advanced technology items, strengthened bans on key industrial sectors (chemicals, plastics, vehicle parts, machinery).
Imports: Ban on helium imports, adjustments to Russian diamond restrictions and adding 61 entities linked to Russia’s military-industrial complex to the sanctions list.
Energy:
Ban on supplying goods, technology, or services for new LNG projects in Russia.
Ban on Russian LNG transhipment through EU ports.
Ban on importing Russian LNG into terminals not connected to the EU gas network.
Listing of vessels involved in supporting Russian warfare.
Financial Sector:
Ban on EU banks outside of Russia using the Central Bank of Russia’s Financial Messaging System (“SPFS”).
Ban on transactions with third-country banks using SPFS to prevent financial circumvention.
Ban on transactions with banks and crypto asset providers in Russia and third countries supporting Russia’s defence industry.
Transport:
Aviation: Ban on non-scheduled flights directed by Russian persons; mandatory disclosure of flight details to avoid sanctions evasion.
Road: Tightening the ban on transporting goods by road within the EU.
Maritime: Ban on port access and services for 27 vessels supporting Russian military operations.
Protection of EU Operators:
New measures enabling EU operators to seek compensation for damages caused by Belarusian entities linked to sanctions.
Ban on transactions to safeguard arbitration processes.
Intellectual Property Rights:
Combatting Russian Interference:
Asset Freeze Measures:
Additional Measures:
Ban on EU and Member States funding to all Russian entities, aligning with public procurement restrictions.
Ban on importing stolen Ukrainian cultural heritage items.
The Council designated 7 new targets to the EU’s asset freeze and travel ban measures:
The new restrictive measures targeting Belarus are implemented through Council Regulation (EU) 2024/1865 of 29 June 2024 amending Regulation (EC) No 765/2006. These measures have came into force on 1 July 2024.
Compliance:
EU firms must prevent their foreign subsidiaries from undermining sanctions, undertaking their "best efforts".
Ban on transit of sensitive goods via Belarus with the inclusion of a “no-Belarus clause” in new contracts.
Council can impose measures on individuals or entities circumventing sanctions.
Trade:
Extended export restrictions on dual-use and advanced technology goods, new bans on goods enhancing Belarusian industrial capabilities.
Ban on imports of goods that diversify Belarusian revenue sources, including gold and diamonds.
Professional Business Services:
Road Transport:
Other:
The Energy Charter Treaty (the “ECT”) is a multilateral trade and investment agreement applicable to the energy sector that was signed in 1994 and entered into force in 1998. The ECT contains provisions on investment protection, trade and transit in energy materials and products, and dispute settlement mechanisms. The ECT also sets up a framework for cooperation in the energy field between its Contracting Parties.
Neither the Russian Federation nor the Republic of Belarus is a Contracting Party to the ECT. However, investors from these countries could use corporations established in the territory of a Contracting Party to the ECT to allege that the European Union or its Member States have acted inconsistently with the investment protection obligations of the ECT and hence bring investor-state dispute settlement proceedings against the EU or its Member States.
The EU has decided, as a matter of caution, to explicitly deny the protections of the Energy Charter Treaty (ECT) to any legal entity that is owned or controlled by Russian or Belorussian citizens or nationals and to investments and investors from Russia and Belarus, in order to reinforce the application of EU sanctions against these countries.
These new measures augment an already extensive and complex sanctions regime targeting Russia and Belarus. Hogan Lovells will continue to monitor the ongoing developments regarding this and future sanctions packages.
Please contact any of the Hogan Lovells contacts listed above with any questions or concerns regarding the potential implications of these updates and other related sanctions and export controls.
Authored by Aline Doussin, Kate Poppitt, Pierre Estrabaud, Helka Kittila, and Madeleine Canning.