Sanctions and End-Use Controls. Paul Whitfield-Jones Norton Rose Fulbright Julie Taylor Meggitt PLC

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Sanctions and End-Use Controls Paul Whitfield-Jones Norton Rose Fulbright Julie Taylor Meggitt PLC

Overview Sanctions in the UK Asset freezes Funds or assets belonging to or held, owned or controlled by Designated Persons Making funds or assets available, directly or indirectly, to or for the benefit of Designated Persons Financial services Circumvention Other financial sanctions Sanctions on financial transactions / investments relating to certain countries Directions to cease business Circumvention Trade sanctions Arms embargoes Internal repression Export restrictions on certain items and certain end-users Financing and financial assistance, brokering and technical assistance Circumvention Office of Financial Sanctions Implementation National Crime Agency Export Control Organisation Import Licensing Branch HM Revenue & Customs Crown Prosecution Service Financial Conduct Authority

Origin of UK Sanctions UN Sanctions EU Sanctions Other (e.g. OSCE) UN EU autonomous UK Sanctions Autonomous UK Sanctions (crime and terrorism) Overseas Territories (e.g. Cayman Islands, BVI)

Who do UK sanctions apply to? Out of the UK: UK incorporated entities UK nationals In the UK: Any individual or entity UK nexus?

Overview of US sanctions Key points Similar kinds of sanctions to EU/UK: asset freezes (Specially Designated Nationals), various restrictions on trade and investment Comprehensive sanctions: Iran, Syria, Cuba, Crimea, North Korea Primary sanctions vs secondary sanctions Risks for non-us persons under primary sanctions where there is a US nexus (US, US persons, US-origin items) Facilitation risk for US persons Evasion risk

Who do US sanctions apply to? Primary sanctions Secondary sanctions US Persons : US citizens and permanent, resident aliens (inc. green card holders), US-incorporated entities, and any person in the US For Iran/Cuba: any person owned or controlled by US Persons Non-US Person where the transaction has a US nexus i.e. the involvement of US Persons, the United States and, in some cases US-origin items Primarily target the activities of non-us Persons outside the US Primarily target Iran, North Korea, Syria and Russia No need for a US nexus

Some Recent Developments Sanctions against Russia Until August 2017, EU and US sanctions similar: Arms embargo and dual use restrictions Asset freezes Restrictions on Crimea Restrictions on certain oil projects Sectoral sanctions: finance, energy, defence August 2017 Countering America s Adversaries through Sanctions Act (CAATSA) Strengthening sectoral sanctions Sanctions against Iran Joint Comprehensive Plan of Action certain EU and US sanctions lifted in January 2016 8 May President Trump announced US is withdrawing from JCPOA All previous US sanctions will be re-imposed 90 / 180 day wind down periods ending in August and November Sanctions being re-imposed are mainly secondary sanctions EU plans to reactive Blocking Regulation Increasing secondary sanctions April 2018 asset freezes targeting certain Russian oligarchs

EU End-Use Controls WMD End Use Control Unlisted dual-use item exported out of the EU to any country Exporter is: informed by competent authority that item is or may be intended for WMD end use aware that item is intended for WMD end use must inform the authorities WMD end-use note that this includes detection and identification UK additional requirement: Exporter suspects WMD end use Exporter must make all reasonable enquiries to satisfy themselves that items not for WMD end use Military End Use Controls Unlisted dual-use item exported to country under UN, EU or OSCE arms embargo Exporter is: informed by competent authority that item is or may be intended for military end use aware that item is intended for WMD end use Military end use Incorporation into military item Production, testing, analysis Use of unfinished products in a plant Additional control where item will be part of illegally exported military item

UK WMD End-Use Controls Various controls on transfers where there may be WMD end use: transfers of dual-use goods, software or technology (listed or not listed) within EU if final destination is outside the EU transfers within the UK of software or technology to be used outside EU transfers of software or technology between places outside EU, or into EU if final destination is outside EU non-electronic transfers of software or technology outside EU, or within EU if final destination is outside EU provision of technical assistance outside EU

Compliance basics What sanctions apply to you? Screening Counterparty Transaction Immediate counterparty Counterparty owners Other third parties (depending on transaction) Restrictions on destination country Restrictions on end-user or end-use Restrictions on items coming from or through a sanctioned country Other involvement of a sanctioned country What restrictions apply? Licence available? Restrictions under finance / insurance contracts?

Red Flags Red Flags Transaction not consistent with known business of customer or its counterparty Item being exported is incompatible with technical level of country of destination Counterparty has links to sanctioned parties (e.g. business relationship, shared directors) Counterparty reluctant to offer information Unusual payment arrangements between customer and counterparty Counterparty account is based in 3 rd country or is held by 3 rd party No contractual documentation for transaction Wire stripping Evasion / Circumvention False payment information Dealings through intermediary parties that act on behalf of sanctioned parties Use of opaque corporate structures (offshore companies, trusts, complex structures) Indirect exports through non-sanctioned countries Failure to identify true destinations / end-users in commercial orders Sham divestments by sanctioned persons Customer cannot identify end user/use, or inconsistency with stated end user/use Abnormal shipping routes

Case Study Part 1 Red Flags Unknown counterparty Unusually large order Order from an intermediary, not directly Customer is a joint venture entity Some subsidiaries of SinoSpaceTech involved in manufacturing defence systems, including missile propulsion systems Urgency of order Unusual payment terms Payment not direct from customer Shipment through Russia, a sanctioned country Follow-up Questions Where is Future Technologies incorporated and who are its owners? Who are the other joint venture partners in Fushang Aerotech? What percentage of shares does each partner have? What evidence does Mr Hu have that he is acting on behalf of Fushang Aerotech? What evidence is there that Fushang Aerotech will be the end user? Why does Fushang Aerotech require 7 machine tools, and why so urgently? What shipping / freight forwarding companies will Mr Hu use? Why are machine tools being transported through Russia?

Case Study Part 2 Additional Red Flags Future Technologies incorporated in Cayman Islands Customer owned 49% by parties in Russia, including an asset freeze target Liu Jianguo Head of Special Projects Letter from customer only places order for 6 items Is LL Project same as LuxLiner? Issues to Consider EU prohibition on exports of controlled dual-use items to Russia for military end use Indirect involvement of asset freeze target US secondary sanctions on significant transactions with entities in Russian defence and intelligence sectors WMD end use control for non-controlled dualuse items Previous supplier dropped out unexpectedly Unclear who will be transporting the items Future Technologies account in a different country to its countries of incorporation and operations