Sanctions Notice - Russia
20th May 2025Please be advised that the following ships have been specified under the Russia (Sanctions) (EU Exit) Regulations 2019 (the UK regulations):
CORTEX |
IMO 9291250 |
|
MAIN |
IMO 9387255 |
|
OTLA |
IMO 9299719 |
|
FURIA |
IMO 9257802 |
|
RAGNAR |
IMO 9384095 |
|
CETUS |
IMO 9418482 |
|
ARABELA |
IMO 9253313 |
|
NAUTILUS |
IMO 9434890 |
|
RICCA |
IMO 9292577 |
|
TEAM |
IMO 9292589 |
|
TORONTO |
IMO 8808525 |
|
NEXT |
IMO 9286023 |
|
LEOPARD |
IMO 9284594 |
|
SPRING FORTUNE |
IMO 9386536 |
|
PIERRE |
IMO 9266877 |
|
JAMES II |
IMO 9253909 |
|
LIETO |
IMO 9389679 |
|
MISSONI |
IMO 9296810 |
The UK regulations are given effect within the Bailiwick under the Sanctions (Implementation of UK Regimes) (Bailiwick of Guernsey) (Brexit) Regulations, 2020 that have been made under the Sanctions (Bailiwick of Guernsey) Law, 2018 (the Sanctions Law).
MEASURES WHICH SHOULD BE TAKEN
All businesses must check whether they have any business relationships linked to these ships and familiarise themselves with the obligations applicable. Businesses must report any findings to the Policy & Resources Committee immediately. They must also ensure that they have taken all other steps that may be required in order to comply with the reporting obligations at section 14 of the Sanctions Law.
The information referred to above is required by the Policy & Resources Committee in the exercise of its powers under section 15 of the Sanctions Law.
Any information or queries should be sent to [email protected] with the subject line “Russia Sanctions - Ships”.
Where you have identified an affected relationship as set out above, please also inform the Guernsey Financial Services Commission via email to [email protected] providing short form information on the nature of the sanction connection and the measures you have taken or intend to take.
Handbook Rule 12.37, requires that, where you have identified an affected relationship as set out above, the firm must provide a report to the Commission which sets out, as a minimum: a) the name of the customer, beneficial owner, key principal or the transaction and/or asset linked to a sanctioned/designated person; and b) the nature of the business relationship or occasional transaction, including the transaction and/or asset value.
This report should be provided to the Commission as soon as reasonably practicable after the firm has met the statutory reporting requirements to the States of Guernsey Policy and Resources Committee.
Further information on the effect of asset freezes and related issues including licences is available on the States of Guernsey website at http://www.gov.gg/sanctions.