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Canada
Trade restrictions
Export ban
Russia
Technology and dual-use goods
Prohibition to any person in Canada or any Canadian outside Canada to export, sell, supply or ship any goods and technologies on the “Restricted Goods and Technologies List”, with some exceptions, to Russia or to any person in Russia. The Restricted Goods and Technologies List is extensive and expands on the scope of items in categories similar to those contained in Canada's Export Control List, such as electronic devices including computers, coding software, and telecommunications equipment, sensors and lasers, navigation and avionics, marine, aerospace and transportation equipment and technology. As the list is incorporated by reference into the regulations, Canada can add to the list without the need for a regulatory amendment to the regulations. Link to the original

The amendments include a new Schedule 6 which lists “Partner Countries” to which several specific exceptions apply. The countries listed under Schedule 6 include NATO, EU and other states which have coordinated their sanctions measures imposed on Russia in response to Russia’s invasion of Ukraine,
The exceptions listed in the amendment include:
– Goods temporarily exported for use by a representative of the media from Canada or from a partner country referred to in Schedule 6
(a) goods temporarily exported for use by a representative of the media from Canada or from a partner country that is listed in Annex 1 to the Restricted Goods and Technologies List (changed by Regulations Amending the Special Economic Measures (Russia) Regulations: SOR/2022-95);
– Goods for use in support of international nuclear safeguards verifications
– Goods for use by a department or agency of the Government of Canada or of a partner country referred to in Schedule 6
(c) goods for use by a department or agency of the Government of Canada or of a partner country that is listed in Annex 1 to the Restricted Goods and Technologies List (changed by Regulations Amending the Special Economic Measures (Russia) Regulations: SOR/2022-95);
– Goods for use in inspections under the Convention on the Prohibition of the Development, Production, Stockpiling and Use of Chemical Weapons and on their Destruction, signed at Paris, France on 13 January 1993, as amended from time to time
– Goods for use in relation to the activities of the International Space Station
– Software updates for end-users that are civilian entities that are owned, held or controlled by a Canadian or a national of a partner country referred to in Schedule 6, or subsidiaries of those entities
(f) software updates for an end-user that is a civilian entity that is owned, held or controlled by a Canadian or a national of a partner country that is listed in Annex 1 to the Restricted Goods and Technologies List, or a subsidiary of such an entity (changed by Regulations Amending the Special Economic Measures (Russia) Regulations: SOR/2022-95);
– Civil aircraft registered in a foreign state that are departing from Canada after a temporary sojourn in Canada or civil aircraft registered in Canada departing for a temporary sojourn abroad
– The following goods, if stored on board an aircraft or ship:
– Equipment and spare parts that are necessary for the proper operation of the aircraft or ship, or
– Usual and reasonable quantities of supplies intended for consumption on board the aircraft or ship during the outgoing and return flight or voyage
– Goods exported for use or consumption on an aircraft or ship that is registered in Canada or the US
– Goods exported by an air carrier that is owned by a Canadian or a national of the US for use in the maintenance, repair or operation of an aircraft registered in Canada or the US
– Consumer communication devices that are generally available to the public and designed to be installed by the user without further substantial support
– Personal effects exported by an individual that are solely for the use of the individual or the individual’s immediate family and are not intended for sale or to remain in Russia unless consumed there.
Schedule 6 to the Regulations was repealed by Regulations Amending the Special Economic Measures (Russia) Regulations: SOR/2022-95.

24.03.2022
24.03.2022
Canada
Trade restrictions
Insurance ban
Russia
Industry - Aerospace
Prohibition for any person in Canada and any Canadian outside Canada on the provision of insurance and reinsurance to or for the benefit of Russia or any person in Russia in relation to any good described in Chapter 88 of the Harmonized Commodity Description and Coding System (Aircraft, spacecraft, and parts thereof) or in relation to technology for a good described in that chapter. The prohibition includes insurance coverage for aircraft, and aviation and aerospace products, which includes technology, technical data, and/or any form of technical assistance, either owned by, controlled by, registered to, chartered by, or operated by entities and individuals resident, incorporated, or domiciled in Russia. Link to the original
05.04.2022
Completion date: not specified
End of grace period: 05.05.2022
05.04.2022
Canada
Financial restrictions
Tax
Russia
Other
Canada stopped sharing tax information with the Russian tax administration in response to Russia’s invasion of Ukraine. Link to the original
14.04.2022
14.04.2022
Canada
Trade restrictions
Insurance ban
Belarus
Industry - Aerospace
Prohibition for any person in Canada and any Canadian outside Canada on the provision of insurance or reinsurance to or for the benefit of any person in Belarus in relation to any good described in Chapter 88 of the Harmonized Commodity Description and Coding System (Aircraft, spacecraft, and parts thereof) or in relation to technology for a good described in that chapter. Link to the original
05.04.2022
Completion date: not specified
End of grace period: 05.05.2022
05.04.2022
Canada
Trade restrictions
Export ban
Belarus
Technology and dual-use goods
Prohibition, subject to specific exceptions, on the export, sale, supply, transfer or shipment of any good or technology, wherever situated, to Belarus or to any person in Belarus or to any person in Belarus of all items listed in the “Restricted Goods and Technologies List”. Link to the original

The amendments include a new Schedule 3 which lists “Partner Countries” (include NATO, EU and other states which have coordinated their sanctions measures imposed on Belarus) to which several specific exceptions apply.
The exceptions listed in the amendment include goods and technology provided in relation to a goods:
– temporarily exported for use by a representative of the media from Canada or from a partner country referred to in Schedule 3;
– for use in support of international nuclear safeguards verifications;
– for use by a department or agency of the Government of Canada or of a partner country referred to in Schedule 3;
– for use in inspections under the Convention on the Prohibition of the Development, Production, Stockpiling and Use of Chemical Weapons and on their Destruction, signed at Paris, France on January 13, 1993, as amended from time to time;
– for use in relation to the activities of the International Space Station;
– software updates for end-users that are civilian entities that are owned, held or controlled by a Canadian or a national of a partner country referred to in Schedule 3, or subsidiaries of those entities;
– civil aircraft registered in a foreign state that are departing from Canada after a temporary sojourn in Canada or civil aircraft registered in Canada departing for a temporary sojourn abroad;
– if stored on board an aircraft or ship: equipment and spare parts that are necessary for the proper operation of the aircraft or ship, or usual and reasonable quantities of supplies intended for consumption on board the aircraft or ship during the outgoing and return flight or voyage;
– exported for use or consumption on an aircraft or ship that is registered in Canada or the United States;
– exported by an air carrier that is owned by a Canadian or a national of the United States for use in the maintenance, repair or operation of an aircraft registered in Canada or the United States;
– consumer communication devices (as defined in the implementing Regulation) that are generally available to the public and designed to be installed by the user without further substantial support; and
– personal effects exported by an individual that are solely for the use of the individual or the individual’s immediate family and are not intended for sale or to remain in Belarus unless consumed there.

05.04.2022
05.04.2022
Canada
Financial restrictions
Investment screening
Russia
Investments
Minister of Innovation, Science and Industry issued a policy statement advising non-Canadian investors and Canadian businesses to review their investment plans involving potential connections to Russian investors and entities, including controlling and minority interests. Minister stated that Russia's invasion of Ukraine has created an "environment of elevated national security and economic risk to Canada". Effective immediately, investments involving direct or indirect ties to Russian investors and/or entities will be subject to heightened scrutiny under the net benefit review and national security review mechanisms under the Investment Canada Act (ICA). In certain cases (i.e., where an investment meets the relevant threshold for review), an acquisition of control of a Canadian business by a non-Canadian investor will be reviewable under the ICA. Before such an investment may be completed, it must undergo a "net benefit review." The investor is required to prove to the Minister of Innovation, Science and Industry that the proposed investment is likely to be of net benefit to Canada. The Minister must consider several factors in making his determination as to whether the investment may be completed. Pursuant to the new policy statement, reviewable investments by direct or indirect Russian investors will be found to be of net benefit to Canada on an exceptional basis only. The fact that an investment has ties to or is subject to influence by the Russian state will support a finding that there are reasonable grounds to believe the investment could be injurious to Canada's national security. Link to the original
08.03.2022
TBD
Canada
Trade restrictions
Import ban
Russia
Energy - Oil
Prohibition to any person in Canada and any Canadian outside Canada from importing, purchasing or acquiring any petroleum products (listed in Schedule 5), wherever situated, from Russia or any person in Russia. The goods listed under Schedule 5 consist of: 1) petroleum oils and oils obtained from bituminous minerals, crude (HS 2709); 2) petroleum oils and oils obtained from bituminous minerals, other than crude; preparations not elsewhere specified or included, containing by weight 70% or more of petroleum oils or of oils obtained from bituminous minerals, these oils being the basic constituents of the preparations; waste oils (HS 2710); 3) petroleum gases and other gaseous hydrocarbons (HS 2711). Link to the original

Exceptions may exist with respect to the import of these goods if contracts in respect of their procurement were concluded prior to March 10th

28.02.2022
10.03.2022
Canada
Trade restrictions
Import ban
Temporary occupied territories
Comprehensive
Prohibition for any person in Canada and any Canadian outside Canada to import, purchase or acquire goods, wherever situated, from the DNR and LNR regions of Ukraine or any person in the DNR region of Ukraine. Link to the original

do not apply in respect of contracts that were entered into before the day that those sections came into force

24.02.2022
24.02.2022
Canada
Trade restrictions
Export ban
Temporary occupied territories
Comprehensive
Prohibition for any person in Canada and any Canadian outside Canada to export goods destined for the DNR and LNR regions of Ukraine or sell, supply or transfer goods, wherever situated, to any person in the DNR and LNR regions of Ukraine. Link to the original

do not apply in respect of contracts that were entered into before the day that those sections came into force

24.02.2022
24.02.2022
Canada
Trade restrictions
Technical assistance services ban
Temporary occupied territories
Comprehensive
Prohibition for any person in Canada and any Canadian outside Canada to provide technical assistance to the DNR and LNR regions in Ukraine or any person in the DNR and LNR regions of Ukraine. Technical assistance is defined as "any form of assistance, such as providing instruction, training, consulting services or technical advice or transferring know-how or technical data." Link to the original

do not apply in respect of contracts that were entered into before the day that those sections came into force

24.02.2022
24.02.2022