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published on 23 December 2024 | reading time approx. 3 minutes
The new sanctions package sends a message to EU operators that they should consider winding down their operations in Russia and/or not setting up new operations there. As a result, the extended derogations are granted to ensure an orderly divestment process.
A newly adopted Council Decision (CFSP) 2024/3187 of 16 December 2024 amends Decision 2014/512/CFSP and states that there are still significant risks in maintaining business activities in Russia. The new package raises awareness that Russia is a country where the rule of law no longer applies. Finally, there is a much-needed extension of the deadline for divestment from Russia. The new deadline is 31 December 2025. The affected goods and technologies are those listed in Articles 2, 2a, 3, 3b, 3c, 3f, 3h and 3k of Council Regulation (EU) No 833/2014, for example dual-use goods and technologies, goods and technologies that could contribute to Russia's military and technological enhancement, etc. In order to obtain an authorisation for these goods and technologies, specific requirements have to be met:
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