PREPENALTY NOTICE
ENF 891989
Duluth, GA 30097
[email protected]
Dear Dr. Arora:
The U.S. Department of the Treasury’s Office of Foreign Assets Control (OFAC) has reason to believe that you have engaged in conduct prohibited by executive orders and/or regulations promulgated pursuant to the International Emergency Economic Powers Act (IEEPA), 50 U.S.C. § 1701 et seq. As described further below, OFAC has reason to believe that you dealt in the property or interests in property of Specially Designated National (SDN) Karina Yurevna Rotenberg, in violation of the Russian Harmful Foreign Activities Sanctions Regulations (RuHSR), 31 C.F.R. part 587 (the “RuHSR Violations”). OFAC also has reason to believe that you failed to furnish complete information relative to certain acts or transactions, in violation of the Reporting, Procedures and Penalties Regulations (RPPR), 31 C.F.R. part 501 (the “RPPR Violation”)....
See comments on this and related documents at Consolidated Comment on the Civil Penalty Issued to an Individual Associated with King Holdings LLC (2025) and Related Documents.