The US joins the UK in placing comprehensive sanctions on Rosneft and Lukoil
October 24, 2025
The US joins the UK in placing comprehensive sanctions on Rosneft and LukoilOctober 24, 2025 On October 22, 2025 the US Department of the Treasury’s Office of Foreign Assets Control (OFAC) sanctioned Open Joint Stock Company Rosneft Oil Company (Rosneft) and Lukoil OAO (Lukoil), placing both companies, including all majority held subsidiaries worldwide, on the Specially Designated Nationals and Blocked Persons (SDN) List. The sanctions apply to any entity that is owned, directly or indirectly, individually or in the aggregate, 50 percent or more by Rosneft, Lukoil, including but not limited to 34 designated subsidiaries. The sanctions come in response to Russia’s continued war in Ukraine, with the objective of pressuring Russia into agreeing to an “immediate ceasefire” by “increase[ing] pressure on Russia’s energy sector and degrad[ing] the Kremlin’s ability to raise revenue for its war machine and support its weakened economy.” As a result, US persons, companies, and banks are prohibited from engaging in or facilitating any direct or indirect dealings with Rosneft or Lukoil and their subsidiaries unless authorized by a general or specific license. In addition, non-US persons and companies are prohibited from utilizing the US financial system in processing transactions involving or benefiting these entities. Summary of General Licenses issued (or reissued) today in connection with the action:
Considerations for companies engaged in transactions with Rosneft, Lukoil, or their subsidiaries: Companies engaged in ongoing dealings with Rosneft, Lukoil, or their subsidiaries should consider (i) their ability to take advantage of General License 126 for authorized wind down, (ii) contractual issues related to force majeure and early termination, and (iii) potential secondary sanctions risks for foreign financial institutions. Further, any measures taken must also account for the recent UK sanctions on Rosneft and Lukoil which have a separate wind down period. (Please refer to the linked alert for more information on the UK sanctions action.) __________ If you have any questions about this Legal Briefing, please feel free to contact any of the attorneys listed or the Eversheds Sutherland attorney with whom you regularly work. Key contacts
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