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PENALTY NOTICE
ENF 885319
December 4, 2025
Mr. Andrey Asainov
President
Gracetown, Inc.
174 W 4th Street,
Suite 161
New York, NY 10014
Dear Mr. Asainov:
On October 8, 2024, the U.S. Department of the Treasury’s Office of Foreign Assets Control (OFAC) issued a Pre-Penalty Notice (“the PPN”) to Gracetown, Inc. (Gracetown) arising from 24 transactions in which OFAC had reason to believe Gracetown dealt in the property or interests in property of a person on the Specially Designated Nationals and Blocked Persons (SDN) List, Oleg Deripaska, in violation of the Ukraine-/Russia-Related Sanctions Regulations (URSR), 31 C.F.R. part 589, promulgated pursuant to the International Emergency Economic Powers Act, 50 U.S.C. §§ 1701–06. See URSR §§ 589.201. The PPN also alleged that Gracetown failed to timely report...
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1) These Pre-Penalty and Penalty Notices (PDF pages 118 and 143, respectively) are the two most recent examples of such documents in the Research System, and set out OFAC’s views as to why OFAC believed the imposition of $8,022,832 was justified in light of the circumstances described in the notices. The native PDF file contains Gracetown Inc’s responses to the Penalty and Penalty Notices, which focus almost exclusively on OFAC application of the enforcement guidelines, rather than the threshold determination that violations were committed.
2) As noted in the comments to Enforcement Release: Gracetown, Inc., OFAC evidently did not consider Gracetown, Inc. to be a blocked person subsequent to the divestment by Deripaska shortly prior to his becoming a blocked person, notwithstanding that the owner after...