OFAC FAQ (Current) # 1073 - Russian Harmful Foreign Activities Sanctions

Date issued: Aug. 02 2022

Last substantive commentary amendment:
Aug. 13 2023

You've hit a wall. Sign in if you have an account, learn more about TURBOFAC and subscription options, or purchase access to the text of the document on this page, the native .pdf file, and the associated TURBOFAC original commentary.
TURBOFAC is a module of the compliance platform OverRuled. To learn more about OverRuled, visit www.overruled.com.

TURBOFAC Commentary (265 words)

Notes:

1) This FAQ is one of several FAQs published by OFAC assuring the regulated public that one or more entities in which sanctioned individuals have or have had a significant ownership stake are not blocked—pursuant to the 50% Rule or otherwise–as a result of such individuals being pursuant to the RuHSR. As of 8-13-23 these are FAQ # 1073, FAQ # 1074, FAQ # 1075, FAQ # 1104, FAQ # 1129 and FAQ # 1131).

The apparent reason for the issuance of this FAQ stems from the fact that the company that owns the airport (JSC SIA) is majority owned by "Limited Liability Company Sheremetyevo Holding (LLC Sheremetyevo Holding)" (see https://www.svo.aero/bitrix/upload/sprint.editor/4ee/4ee72ae7da6574e2ff0e753151939e8d.pdf). See "Announcement of A.A. Ponomarenko, the Chairman of the Board of Directors of Sheremetyevo International...