OFSI issues its first circumvention penalty — £1,000,920.59 on Sabre Global Technologies for Russia sanctions breaches
UK firms serving or paid by designated parties face OFSI penalties — including for rerouting payments after a sanctions block
- — UK persons providing services to, or receiving payments from, parties on the Russia sanctions list must verify they suspend or terminate the relationship from the designation's effective date — SGTL was notified on the day designation took effect yet continued Global Distribution System access to Ural Airlines for seven months, the exposure OFSI penalised.
- — Sanctions-compliance and treasury/payments functions must check that, once a payment from or to a designated party is blocked on sanctions concerns, the firm does not explore alternative routing to receive those funds — OFSI treated SGTL's test payment to a non-UK account as circumvention, and this is its first penalty for a circumvention offence, so the control gap is the attempt to re-establish a blocked payment channel.
- — Firms across any sector with designated-party exposure should treat this as a class signal rather than a travel-technology issue — the largest Russia-sanctions penalty since 2022 turns on continued service after designation and post-block payment rerouting, controls every UK-nexus operator should confirm before its own review.
- — UK persons and firms providing services to, or receiving payments from, parties designated under the Russia sanctions regime
- — Sanctions-compliance functions screening counterparties against UK designations
- — Treasury and payments teams handling cross-border settlements that could involve designated parties