On July 16, 2014, the U.S. Treasury Department’s Office of Foreign Assets Control (“OFAC”) imposed an additional wave of sanctions against Russian entities in the financial, energy, and defense sectors.  OFAC established a new Sectoral Sanctions Identifications List (the “SSI List”), which identifies two Russian financial institutions and two Russian energy companies for targeted sanctions.  Simultaneously, OFAC announced the addition of five individuals and 11 entities to the List of Specially Designated Nationals and Blocked Persons (the “SDN List”). The U.S. Department of Commerce’s Bureau of Industry and Security (“BIS”) added the same 11 entities to its Entity List.

The highly anticipated sectoral sanctions target Russian banks Gazprombank OAO and Bank for Development and Foreign Economic Affairs State Corporation (otherwise known as “VEB”), and Russian energy firms Rosneft Oil Company and OAO Novatek.  These four parties are not subject to comprehensive blocking measures; rather, the new sanctions prohibit U.S. persons and persons in the United States from dealing in certain new debt of these parties and, in the case of the two banks, new equity. These targeted sanctions were authorized by the Secretary of the Treasury under Executive Order 13662, which was signed by the President in March.

The new additions to the SDN List include eight Russian arms firms, three parties asserting unauthorized governmental control over parts of Ukraine, one entity allegedly involved in the misappropriation of Ukrainian state assets, and four Russian government officials.

At the same time, the European Council has taken action to expand the EU sanctions relating to the Ukraine crisis.  It has added 11 additional individuals to the sanctions list.  It has agreed to take additional measures in the near term to expand the EU sanctions list and to impose certain investment- related sanctions targeting Russia and Crimea.

Photo of Kimberly Strosnider Kimberly Strosnider

Co-chair of the firm’s International Trade Controls Practice Group, Kim Strosnider has more than 20 years’ experience advising companies on the application of international trade controls, including export controls, economic sanctions, and antiboycott laws and regulations.

Kim counsels clients across a range of…

Co-chair of the firm’s International Trade Controls Practice Group, Kim Strosnider has more than 20 years’ experience advising companies on the application of international trade controls, including export controls, economic sanctions, and antiboycott laws and regulations.

Kim counsels clients across a range of industries on trade controls matters, including resolving complex compliance, enforcement, licensing, and jurisdiction/classification issues. She regularly advocates for clients before the key trade controls agencies, including the U.S. Departments of State, Commerce, and Treasury.

Kim has led numerous internal investigations for clients on trade controls matters and has helped companies design and implement compliance programs. She also frequently advises on trade control issues in mergers, acquisitions, and divestitures.

Among the areas in which Kim counsels clients are compliance with the International Traffic in Arms Regulations (ITAR), Export Administration Regulations (EAR), economic sanctions programs administered by the Treasury Department’s Office of Foreign Assets Control (OFAC), and antiboycott programs administered by the Commerce and Treasury Departments. She has particular experience in advising on the complex and changing U.S. trade controls applicable to China and Russia.