Ukraine - Designated War and Sanctions- Sanctioned Individuals & Entities

This page provides a comprehensive list of individuals and entities sanctioned by Ukraine in response to ongoing conflicts and geopolitical tensions. These sanctions aim to prevent further escalation and promote stability. Stay informed and ensure adherence to regulatory requirements when dealing with these sanctioned individuals and entities.

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4,766 Entities in Ukraine - Designated War and Sanctions- Sanctioned Individuals & Entities
Entity NameEntity TypeEffective DateStatus

KOROTCHENKO Igor Yurievich

IndividualSep 15, 2023active

SPICHAK Mikhail Grigoryevich

IndividualFeb 25, 2024active

KULEMIN German Nikolaevich

IndividualSep 15, 2023active

CHAIKA Artem Yurevich

IndividualSep 15, 2023active

ONOPKO Oleg Vladimirovich

IndividualSep 15, 2023active

ULBASHEV Mukharbii Magomedovich

IndividualSep 15, 2023active

SHABAN Oleg Mikhailovich

IndividualSep 15, 2023active

NADEN Zinaida Gavrilovna

IndividualSep 15, 2023active

GALIN Dmitry Vladimirovich

IndividualSep 15, 2023active

DMITRIEVA Oksana Genrikhovna

IndividualSep 15, 2023active

FAQs

Why is compliance with the UN Consolidated Sanction List necessary?

Compliance with the UN Consolidated Sanctions List is essential to uphold international peace and security. These sanctions aim to deter and mitigate threats posed by entities involved in terrorism, human rights violations, and nuclear proliferation. Adhering to these regulations helps prevent the financing of illegal activities and promotes adherence to global norms. By complying, individuals and organizations contribute to a unified international response against destabilizing actions, fostering a safer and more stable world for everyone.

Which companies should comply with UN Consolidated Sanction List?

Companies across various industries, particularly Financial Services, Energy, and International Trade, must comply with the UN Consolidated Sanction List to avoid legal penalties and reputational damage. Compliance prevents engagement with sanctioned entities, ensuring adherence to international law and promoting ethical business practices. Additionally, organizations involved in cross-border transactions are particularly vulnerable to sanctions, necessitating vigilant monitoring of the list.