Restricted-party evidence record

Crimean enterprise "Azov distillery plant"

Ukraine

Azov Distillery PlantAzov distillery plantCRIMEAN ENTERPRISE AZOV DISTILLERY PLANTCrimean Enterprise Azov Distillery PlantAZOVSKY LIKEROGORILCHANY ZAVOD, KRYMSKE RESPUBLIKANSKE PIDPRYEMSTVOAZOVSKY LIKEROVO-DOCHNY ZAVOD+12 more
Model risk indicator
100HIGH RISK
Context only — not a transaction decision
5 Appearances5 Jurisdictions

Quick Answers

Is Crimean enterprise "Azov distillery plant" sanctioned?
Yes, Crimean enterprise "Azov distillery plant" appears on 5 restricted-party lists across 5 jurisdictions. Risk score: 100/100.
What sanctions lists is Crimean enterprise "Azov distillery plant" on?
Swiss SECO Sanctions, BIS Entity List, OFAC SDN List, Australia DFAT Sanctions, Canada SEMA Sanctions
When was Crimean enterprise "Azov distillery plant" first listed?
Crimean enterprise "Azov distillery plant" was first listed on 6 August 2014.
What country is Crimean enterprise "Azov distillery plant" associated with?
Crimean enterprise "Azov distillery plant" is associated with Ukraine.
Current registry evidence — an active record appears on Swiss SECO Sanctions · BIS Entity List · OFAC SDN List · +2 more. Confirm identity and scope against the issuing authority before making a transaction decision.

How to use this record

This page assembles registry identity and authority evidence for review. It does not establish that your counterparty is the same party, decide whether a restriction applies to a transaction, or replace the latest issuing-authority publication.

Authority Record History

EU Official Journal14 Mar 2024
UK ECJU02 Nov 2023

2 more entries across 5 jurisdictions

Sign in to view the full sanction timeline. Watch this entity for alerts when its status changes.

Permanent free plan available · paid trials require a card

HIGH RISK

Evidence Summary

Embargo's active registry records 5 current list appearances across 5 jurisdictions for this record. The model indicator summarizes this registry context; it does not establish identity, legal scope, or a transaction outcome. Review each current membership and the latest issuing-authority publication before reliance.

5 list appearances5 jurisdictionsFirst listed 2014

What These Restrictions Mean

Swiss sanctionsSwiss SECO Sanctions

Consult the applicable Swiss ordinance and SECO entry for the exact financial and trade restrictions.

Licence requirementBIS Entity List

A BIS licence is required for items subject to the EAR. Review policy and item scope vary by entry and must be verified against the official Entity List.

Blocking sanctionsOFAC SDN List

Property and interests in property are blocked where US jurisdiction applies. OFAC’s 50 Percent Rule may extend blocking to owned entities.

Australian targeted sanctionsAustralia DFAT Sanctions

Consult the applicable Australian sanctions regime for asset-freeze, travel, and trade restrictions.

Canadian sanctionsCanada SEMA Sanctions

Consult the applicable SEMA regulation and official consolidated listing for the exact dealings prohibitions.

What These Lists Mean

Swiss SECO1 entry

Switzerland's State Secretariat for Economic Affairs sanctions list, implementing autonomous and UN-mandated measures.

Compliance implication: Swiss persons must freeze assets of listed parties and require SECO authorisation before making funds or economic resources available.

US BIS1 entry

US Bureau of Industry and Security regulatory evidence. BIS maintains several lists with materially different legal effects.

Compliance implication: Consult the exact BIS list and underlying order or entry; jurisdiction alone does not establish a licence policy or prohibition.

OFAC1 entry

US Treasury sanctions list covering SDNs, sectoral sanctions, and country-based programs.

Compliance implication: US persons must block assets and are prohibited from dealing with listed parties.

Australia DFAT1 entry

Australia DFAT Consolidated List of persons and entities subject to autonomous and UN Security Council sanctions.

Compliance implication: It is an offence under Australian law to directly or indirectly make an asset available to, or deal with the assets of, a listed party.

Canada SEMA1 entry

Canada Special Economic Measures Act autonomous sanctions list, administered by Global Affairs Canada.

Compliance implication: Canadian persons are prohibited from dealing in property of listed parties and must freeze all related assets.

Listed By

Swiss SECO1 entry
US BIS1 entry
OFAC1 entry
Australia DFAT1 entry
Canada SEMA1 entry

Details

First listed6 Aug 2014
Last listed27 Aug 2023
CountryUkraine
Model risk indicator100 / 100

Export Control Profile

Current listSwiss SECO Sanctions List

Swiss sanctions. Consult the applicable Swiss ordinance and SECO entry for the exact financial and trade restrictions.

Current listBIS Entity List

Licence requirement. A BIS licence is required for items subject to the EAR. Review policy and item scope vary by entry and must be verified against the official Entity List.

Current listOFAC SDN List

Blocking sanctions. Property and interests in property are blocked where US jurisdiction applies. OFAC’s 50 Percent Rule may extend blocking to owned entities.

Current listAustralia DFAT Sanctions List

Australian targeted sanctions. Consult the applicable Australian sanctions regime for asset-freeze, travel, and trade restrictions.

Current listCanada SEMA Sanctions List

Canadian sanctions. Consult the applicable SEMA regulation and official consolidated listing for the exact dealings prohibitions.

TypeEntity
Sanction programmes
Crimea Sanctions — EO 13685
OFAC ref#18966

Known Addresses

Bud. 40 vul. Zaliznychna, Smt Azovske, Dzhankoisky R-N, Crimea, 96178, UA
40 Railway St., Azov, Dzhankoy District, 96178, UA
40 Zeleznodorozhnaya str., Azov, Jankoysky District, 96178, UA

Full Intelligence

See related regulatory alerts, intelligence feed, and export a compliance report.

Screen another counterparty

← Back to entity search