ARTICLE
12 March 2024

UK Weekly Sanctions Update - Week Of February 26, 2024

MB
Mayer Brown
Contributor
Mayer Brown is a distinctively global law firm, uniquely positioned to advise the world’s leading companies and financial institutions on their most complex deals and disputes. With extensive reach across four continents, we are the only integrated law firm in the world with approximately 200 lawyers in each of the world’s three largest financial centers—New York, London and Hong Kong—the backbone of the global economy. We have deep experience in high-stakes litigation and complex transactions across industry sectors, including our signature strength, the global financial services industry.
In this weekly update, we summarise the most notable updates in the UK sanctions world. If you have any questions in respect of any of the developments set out below, please do not hesitate to contact a member of our London Global and Government Trade team listed above.
UK International Law
To print this article, all you need is to be registered or login on Mondaq.com.

In this weekly update, we summarise the most notable updates in the UK sanctions world. If you have any questions in respect of any of the developments set out below, please do not hesitate to contact a member of our London Global and Government Trade team listed above.above.

1. Russia Sanctions

  • UK Government amends one entry on the UK sanctions list under the Russia regime: On March 1, 2024, the UK Government made a correction to the entry for Vladimir Vladimirovich Mikheychik under the Russia sanctions regime. This individual remains subject to an asset freeze and trust services sanctions. (Notice_Russia_01032024.pdf (publishing.service.gov.uk))
  • UKGovernment amends one entry on the UK sanctions list under the Russia regime: On February 28, 2024, the UK Government made one administrative amendment to the entry for Ilya Borisovich Brodskiy under the Russia sanctions regime. This individual remains subject to an asset freeze, travel ban, trust services sanctions, and transport sanctions. (https://www.gov.uk/government/publications/the-uk-sanctions-list)
  • UK Court of Appeal rejects appeal on de-listing challenges: On February 27, 2024, the UK Court of Appeal rejected appeals against the judgments in Dalston Projects Ltd and Eugene Shvidler v FCDO ([2024] EWCA Civ 172). This was the first Court of Appeal judgment to consider the proper approach to sanctions challenges in the UK, in particular on the grounds of proportionality. . The Court upheld the rejection of Eugene Shvidler's challenge to his sanctions designation and the challenge by Sergei Naumenko and Dalston Projects Ltd to the detention of superyacht Phi under the UK's Russia sanctions regulations. (Dalston Projects Lt & Ors v Secretary of State for Transport [2024] EWCA Civ 172 (27 February 2024) (bailii.org))
  • UK Government amends general licence for Russian iron and steel imports: On February 26, 2024, the UK Government amended the General Trade Licence for sanctioned iron and steel to permit the import of Russian iron and steel products manufactured or produced before 23 June 2023 (this date was previously 21 April 2023). (General Trade Licence for sanctioned iron and steel - GOV.UK (www.gov.uk))

2.Democratic Republic of the Congo Sanctions

  • UK Government amends one entry to the UK sanctions list under the DRC regime: On February 28, 2024, the UK Government made one administrative amendment to the entry for Ahmad Mahmood Hassan under the Democratic Republic of the Congo sanctions regime. This individual remains subject to an asset freeze and travel ban. (https://www.gov.uk/government/publications/the-uk-sanctions-list)

3. Iran Sanctions

  • UK Government adds five entries to the UK sanctions list under the Iran regime: On February 27, 2024, the UK Government, in a coordinated effort with the US, sanctioned two individuals and three organisations under the Iran sanctions regime for their role in providing financial or military support to the Houthis and undermining regional stability. The sanctioned parties are: (i) Mohammad Reza Fallahzadeh; (ii) Sa'id Al-Jamal; (iii) Islamic Revolutionary Guard Corps Quds Force (IRGC-QF) Unit 190; (iv) Islamic Revolutionary Guard Corps Quds Force (IRGC-QF) Unit 6000; and (v) Islamic Revolutionary Guard Corps Quds Force (IRGC-QF) Unit 340. (Notice_Iran_270224.pdf (publishing.service.gov.uk))

4.ISIL (Da'esh) and Al-Qaida Sanctions

  • UK Government adds one entry to the UK sanctions list under the ISIL (Da'esh) and Al-Qaida regime: On March 1, 2024, the UK Government made a correction to the entry for KHATIBA AL-TAWHID WAL-JIHAD (KTJ) under the ISIL (Da'esh) and Al-Qaida regime. This individual remains subject to an asset freeze and trust services sanctions. (Notice_ISIL__Da_esh__and_Al-Qaida_010324.pdf (publishing.service.gov.uk))

5. Yemen Sanctions

  • UK Government adds one entry to the UK sanctions list under the Yemen regime: On February 27, 2024, the UK Government sanctioned Ali Hussein Badr Al Din Al-Houthi, a Houthi security minister under the Yemen Regime, for threatening the peace, security and stability of Yemen by supporting attacks against shipping in the Red Sea. (Notice_Yemen_270224.pdf (publishing.service.gov.uk))

6.Other Sanctions

Originally published on 4 March 2024

Visit us at mayerbrown.com

Mayer Brown is a global services provider comprising associated legal practices that are separate entities, including Mayer Brown LLP (Illinois, USA), Mayer Brown International LLP (England & Wales), Mayer Brown (a Hong Kong partnership) and Tauil & Chequer Advogados (a Brazilian law partnership) and non-legal service providers, which provide consultancy services (collectively, the "Mayer Brown Practices"). The Mayer Brown Practices are established in various jurisdictions and may be a legal person or a partnership. PK Wong & Nair LLC ("PKWN") is the constituent Singapore law practice of our licensed joint law venture in Singapore, Mayer Brown PK Wong & Nair Pte. Ltd. Details of the individual Mayer Brown Practices and PKWN can be found in the Legal Notices section of our website. "Mayer Brown" and the Mayer Brown logo are the trademarks of Mayer Brown.

© Copyright 2024. The Mayer Brown Practices. All rights reserved.

This Mayer Brown article provides information and comments on legal issues and developments of interest. The foregoing is not a comprehensive treatment of the subject matter covered and is not intended to provide legal advice. Readers should seek specific legal advice before taking any action with respect to the matters discussed herein.

ARTICLE
12 March 2024

UK Weekly Sanctions Update - Week Of February 26, 2024

UK International Law
Contributor
Mayer Brown is a distinctively global law firm, uniquely positioned to advise the world’s leading companies and financial institutions on their most complex deals and disputes. With extensive reach across four continents, we are the only integrated law firm in the world with approximately 200 lawyers in each of the world’s three largest financial centers—New York, London and Hong Kong—the backbone of the global economy. We have deep experience in high-stakes litigation and complex transactions across industry sectors, including our signature strength, the global financial services industry.
See More Popular Content From

Mondaq uses cookies on this website. By using our website you agree to our use of cookies as set out in our Privacy Policy.

Learn More