Russia vs Iran:
Which Country Faces More Severe
Canadian Economic Sanctions?
July 26, 2016
Canada imposes unilateral economic sanctions against both Russia and Iran pursuant to the Special Economic Measures (Russia) Regulations and Special Economic Measures (Iran) Regulations, respectively. It was not long ago that Canadian export controls lawyers were saying that Canada imposed its most strict sanctions against Iran. However, on February 5, 2016, Canada lifted some of its sanctions against Iran. Canada is talking tough on Russia and Canada’s unilateral economic sanctions against Russia have been evolving. The question is, which country (Russia vs Iran) faces the more strict restrictions under Canadian laws? Which country poses the greater risk for Canadian companies seeking business opportunities?
I have not asked an easy question and they are different elements to look at to answer the questions. To help with the analysis, I have prepared a chart that sets out the unilateral economic sanctions and trade restrictions imposed by Canada against both countries (as at July 19, 2016).
Chart: Unilateral economic sanctions and
trade restrictions imposed by Canada:
Russia vs Iran (as at July 19, 2016)
Type of Restriction/Obligation | Russia | Iran |
---|---|---|
Number of Listed Entities | 55 + 6 (as at July 19, 2016) |
161 (as at July 19, 2016) |
Number of Listed Financial Institutions |
6 (as at July 19, 2016) |
Not separately listed |
Number of Listed Individuals |
93 (as at July 19, 2016) |
41 (as at July 19, 2016) |
Number of Listed Goods |
19 (as at July 19, 2016) |
41 (as at July 19, 2016) |
Prohibition to deal in any property, wherever situated, held by or on behalf of a listed person | Yes | Yes |
Prohibition to enter into or facilitate directly or indirectly, any transaction related to a dealing in any property, wherever situated, held by or on behalf of a listed person | Yes | Yes |
Prohibition to provide any financial or other related service in respect of to a dealing in any property, wherever situated, held by or on behalf of a listed person | Yes | Yes |
Prohibition to make any goods, wherever situated, available to a listed person | Yes | Yes |
Prohibition to provide any financial or related service to or for the benefit of a listed person | Yes | Yes |
Prohibition to provide financing for or otherwise deal in new debt of longer than 30 days’ maturity, including bonds, loans, debentures, extensions of credit, loan guarantees, letters of credit, bank drafts, bankers’ acceptances, discount notes, treasury bills, commercial paper and other similar instruments in relation to persons listed in Schedule 2 (financial institutions) | Yes | No |
Prohibition to provide financing for or otherwise deal in new debt of longer than 90 days’ maturity, including bonds, loans, debentures, extensions of credit, loan guarantees, letters of credit, bank drafts, bankers’ acceptances, discount notes, treasury bills, commercial paper and other similar instruments in relation to persons listed in Schedule 3 (entities) | Yes | No |
Prohibition to provide financing for or otherwise deal in new securities, including shares or any other ownership interest in relation to persons listed in Schedule 2 (financial institutions) | Yes | No |
Prohibition to export, sell, supply, or ship any listed good | Yes | Yes |
Prohibition to provide any financial, technical or other services related to any listed good whose export, sale, supply or shipment is prohibited | Yes | Yes |
Exemptions |
Yes – 7 (listed goods & services) |
Yes – 7 (listed goods) and 5 (technical data) |
Prohibition to transfer, provide or disclose to government entity or any person in the country any technical data related to listed goods | No | Yes |
Prohibition to do anything that causes, assists or promotes, or is intended to cause, assist or promote any prohibited act | Yes | Yes |
Ongoing duties to determine | Yes | Yes |
Ongoing disclosure obligations | Yes | No |
Ministerial Authorization potential | Yes | Yes |
UN Sanctions Restrictions | No | Yes |
Based on the chart above, Canada’s economic sanctions against both countries create risks for businesses. The Canadian sanctions against Russia include certain goods, services and financial services. As a result, more activities of Canadian businesses might be caught in a somewhat wider net of unilateral sanctions against Russia.
On the other hand, the Canadian sanctions against Iran are against more entities and more individuals and there are also multilateral UN sanctions restrictions to also consider when looking at Canada’s trade restrictions against Iran. The tracing of the relationships adds a level of complexity to any analysis. In addition, because services are not the subject of a specific prohibition, it is necessary to take time to interpret the scope of the goods and data related prohibitions. The total volume of restrictions against Iran is still complex and also rather broad.
While it appears from media reports that Iran is being opened up and Russia is being constricted, Canada’s economic sanctions against both countries create obstacles to Canadian business. I cannot conclude that the sanctions against Russia are more restrictive. I have to conclude that targeted sanctions are just that – targeted. What is desired to be open is open and what is desired to be closed is closed.
For more information, please contact Cyndee Todgham Cherniak at 416-307-4168 or at cyndee@lexsage.com.
This article was originally published on www.Canada-USBlog.com. Republished with permission.