1. The Russia (Sanctions) (EU Exit) Regulations 2019 (the “UK Regulations”) were made under the Sanctions and Anti-Money Laundering Act 2018 and provide for the freezing of funds and economic resources of certain persons, entities or bodies involved in destabilising Ukraine or undermining or threatening the territorial integrity, sovereignty or independence of Ukraine, or obtaining a benefit from or supporting the government of Russia.
2. On 4 July 2022 the Foreign, Commonwealth and Development Office updated the UK Sanctions List to reflect changes to those persons designated under the UK Regulations. A link to the UK Sanctions List can be found below.
3. The Sanctions and Asset-Freezing (Implementation of External Sanctions) (Jersey) Order 2021 (the “Order”), made under the Sanctions and Asset-Freezing (Jersey) Law 2019 (“SAFL”), links to the UK Regulations.
4. Any changes to asset-freeze designations made under the UK Regulations are effective immediately by virtue of the ambulatory provisions in Jersey’s sanctions legislation.
5. An asset freeze now applies to the persons listed in the Annex to this Notice under Part 3 of SAFL.
6. 1 entry has been corrected on the UK Consolidated List, bringing the entry in line with the UK Sanctions List.
Notice summary (Full details are provided in the Annex to this Notice)
7. The following designations have been made and are now subject to an asset freeze:
- Aleyona Anatolyevna CHUGULEVA
- Yuriy Sergeyevich FEDIN
- Darya Aleksandrovna DUGINA
- Yevgeniy Eduardovich GLOTOV
- Aelita Leonidovna MAMAKOVA
- Mikhail Anatolyevich SINELIN
- UNITED WORLD INTERNATIONAL
8. 45 designations have been amended and remain subject to an asset freeze.
9. The following designation has been corrected on the UK Consolidation List and remains subject to an asset freeze:
What you must do
10. You must:
- immediately check whether you maintain any accounts or hold any funds or economic resources for the persons set out in the Annex to this Notice.
- freeze such accounts, and other funds or economic resources without notice and without delay.
- refrain from dealing with the funds or assets or making them available (directly or indirectly) to such persons unless licensed by the Minister for External Relations and Financial Services (“MERFS”).
- report any findings to MERFS, together with any additional information that would facilitate compliance with SAFL.
- provide any information concerning the frozen assets of designated persons that MERFS may request. Information reported to MERFS may be passed on to other regulatory authorities or law enforcement.
11. Where a relevant institution has already reported details of accounts, other funds or economic resources held frozen for designated persons, they are not required to report these details again.
12. Failure to comply with sanctions legislation or to seek to circumvent its provisions is a criminal offence.
13. Further information on sanctions can be found on the Government of Jersey website and the Jersey Financial Services Commission (JFSC) website.
14. Jersey guidance on the Russia sanctions regime is available on JFSC website.
15. Copies of Jersey sanctions legislation, including the Order and SAFL, can be found on the Jersey Legal Information Board website.
16. A copy of the UK Regulations can be obtained from legislation.gov.uk and other relevant information about this regime can be found on gov.uk.
17. A copy of the UK Sanctions List can be found here.
18. A copy of the UK Office of Financial Sanctions Implementation Consolidated List can be found here.
19. Non-media enquiries, sanctions compliance reporting, and licence applications should be addressed to:
Head of International Compliance
Office of the Chief Executive
Annex to Notice