Hogan Lovells 2024 Election Impact and Congressional Outlook Report
The U.S. Government has imposed additional punitive measures against Russia in response to Russia’s actions in Ukraine. The new measures include a prohibition on imports of Russian gold into the United States, new SDN and Entity List designations, and target Russia’s defense industrial base, its military and intelligence units, and alleged sanctions evaders.
On 28 June, 2022, the U.S. Government imposed a new tranche of sanctions and other punitive measures against Russia in response to Russia’s actions in Ukraine. At a high level, the actions prohibit gold imports into the United States, while targeting Russia’s defense industrial base, its military and intelligence units, and alleged sanctions evaders. There are new Specially Designated National (“SDN”) and Entity List designations of Russian parties, especially in the defense sector. The full list of new U.S. Department of Treasury Office of Foreign Assets Control (“OFAC”) designations is available here. These actions build upon the existing foundation of extensive U.S. sanctions and export control measures in effect against Russia and Belarus. The highlights are summarized below:
Sanctions Designations Targeting Russian Military Production and Supply Chains: According to a White House Fact Sheet, the U.S. Departments of State and Treasury have targeted “defense supply chains by imposing blocking sanctions on major state-owned defense enterprises, in addition to defense research organizations, and dozens of other defense-related entities”.
SDN listings under E.O. 14024 have implications under both primary and secondary sanctions. From a primary sanctions perspective, U.S. persons are prohibited from transacting or dealing with these SDNs, as well as any entities owned 50% or more, directly or indirectly, by any of these SDNs. U.S. persons must also block the property and interests in property of the designated persons of such SDNs and report such blocked property to OFAC. From a secondary sanctions perspective, non-U.S. persons can be targeted by OFAC for providing “material support” to any of the listed SDNs, as well as entities owned 50% or more, directly or indirectly, by all of the listed SDNs, even if not identified by OFAC.
Prohibitions Relates to Imports of Gold of Russian Federation Origin into the United States: OFAC issued a determination prohibiting the importation into the United States of gold of Russian Federation origin pursuant to section 1(a)(i) of E.O. 14068. Notably, this determination excludes gold of Russian Federation origin that was located outside of the Russian Federation prior to the date of the determination. Per FAQ 1029, there are a variety of gold-related transactions involving Russia or the Russian Federation may be sanctionable under E.O. 14024 or other Russia-related sanctions authorities.
FinCEN/BIS Joint Alert Urging Increased Vigilance for Potential Export Control Evasion Attempts: The Treasury Department’s Financial Crimes Enforcement Network (“FinCEN”) and the U.S. Commerce Department’s Bureau of Industry and Security (“BIS”) issued a joint alert regarding potential evasion of U.S. export controls. The joint alert urges financial institutions to remain vigilant for possible attempts by individuals and entities to evade U.S. export controls related to Russia. The joint alert provides financial institutions with an overview of BIS’s current export restrictions; a list of commodities of concern for possible export control evasion; and select transactional and behavioral red flags to assist financial institutions in identifying related suspicious transactions. The joint alert further reminds financial institutions of their Bank Secrecy Act (“BSA”) reporting obligations and details how suspected export control evasion activity may also be reported to BIS enforcement authorities.
New Additions to BIS Entity List for Support of Russian Military Activities: BIS added several entities to the Entity List for continuing to contract to supply for Russia after its further invasion of Ukraine. BIS issued a new rule adding a total of 36 entities in nine countries to the Entity List, including six specifically for their continued support of Russia’s military efforts since imposition of export controls in response to Russia’s invasion of Ukraine. The six entities are subject to severe restrictions on access to U.S.-origin goods and technologies for allegedly having contracted to continue to supply Russian military end users.
Proclamation on Increasing Duties on Certain Articles from the Russian Federation: On 27 June, President Biden issued a proclamation, pursuant to the US Congress’s revocation of Russia’s trade status in the U.S., to raise tariffs on over 570 groups of Russian products worth approximately $2.3 billion to Russia.
The Russia sanctions landscape continues to expand. Companies should continue to review their business activities and compliance procedures regularly to ensure they comply with applicable new restrictions. Hogan Lovells lawyers can assist you with assessing the potential impact of these and other trade restrictions on your company.
In the current rapidly changing landscape, keeping on top of international sanctions regimes is more challenging than ever. Our comprehensive Sanctions Navigator collates sanctions regimes from the European Union, France, the United Kingdom, United Nations, and United States in one place, to help our clients answer any questions or address any sanctions-related issues they may have. Explore the Sanctions Navigator here.
Please contact any of the listed Hogan Lovells lawyers for further information or assistance.
Authored by Ari Fridman, Aleksandar Dukic, Anthony Capobianco, Beth Peters, Ajay Kuntamukkala, and Andrea Fraser-Reid.