The Latest U.S. Sanctions on Russia


A double agent. Nerve gas. Violations of international law. The cause of the recently imposed sanctions on Russia have all the makings of a James Bond movie but, unfortunately, those sanctions may cause some less-than-entertaining headaches for your business.

Why These Sanctions

On August 8, the U.S. State Department notified Congress it would impose new sanctions on Russia based on the U.S. Government’s determination that the Russian Government has used chemical and biological weapons in violation of international law. That determination was made under the Chemical and Biological Weapons Control and Warfare Elimination Act of 1991 (“CBW”) after the Russian government’s use of the “Novichok” nerve agent in an attempt to assassinate UK citizen (and double agent to Russia and the UK) Sergei Skripal and his daughter Yulia Skripal.

Scope of the Sanctions

As of Monday, August 27, 2018, the following sanctions are in effect:

Potential Expansion of the Sanctions

If the Russian government does not cease its use of chemical weapons, provide assurances that it will do so, and allow inspections with respect to its use of chemical weapons, the President will impose at least three additional sanctions. The additional sanctions are likely to be imposed near the end of November 2018. Those sanctions could include the following:

Anticipated Impact of the Sanctions

The sanctions currently in place have the potential to disrupt business for those companies exporting USML or CCL goods controlled for NS reasons to Russia. However, several exceptions are available that may ease that disruption. Those exceptions make the current sanctions less restrictive than they may appear at first glance. Whether the Russian government will cease use of chemical weapons, provide the assurances, and allow the inspections remains to be seen. The menu of additional sanctions for that failure to cooperate could push the sanctions from somewhat restrictive to an absolute ban on exports to Russia and imports from Russia. Obviously, that drastic scenario would significantly restrict U.S. companies’ business with Russia and would limit non-U.S. companies with a certain U.S. nexus to their operations. We will keep you informed of additional developments as they arise this fall.


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National Law Review, Volume VIII, Number 263