SOME OF THE AREAS OF POTENTIAL DIVERGENCE BETWEEN THE EU AND UK SANCTIONS REGIMES POST-BREXIT

On 9 June, Clyde & Co published Part 2 of a multi-part blog post says that any such divergence will add to sanctions compliance challenges across the supply chain as these restrictions target a number of systemically important entities.  It concludes that, despite UK and EU officials stating that they intend to coordinate as much as possible on sanctions policy going forward, it is already apparent that there are various avenues for divergences to materialise over time.

https://www.clydeco.com/blog/sanctions/article/uk-sanctions-post-brexit-part-ii#page=1

The first part of the post examined the key aspects of the UK sanctions policy during the post-Brexit transition period between 31 January and 31 December 2020.

http://www.clydeco.com/blog/sanctions/article/uk-sanctions-post-brexit-part-i

 

 

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Author: raytodd2017

Chartered Legal Executive and former senior manager with Isle of Man Customs and Excise, where I was (amongst other things) Sanctions Officer (for UN/EU sanctions), Export Licensing Officer and Manager of the Legal-Library & Collectorate Support Section

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