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Section 3
Changes to UK sanctions regulations – overview for firms
We are writing to give you notice of changes made to the Sanctions (EU Exit) (Miscellaneous Amendments) Regulations 2026. The regulations have now come into force.
Changed relevant firms reporting from euros to pounds
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Across all UK sanctions regulations, the definitions of high value dealers and art market participants within the relevant firms regulations are updated so that monetary thresholds are expressed in pounds sterling (£) rather than euros (€). In particular, the €10,000 threshold is being replaced with a £10,000 threshold.
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This aligns sanctions reporting obligations with upcoming changes to those in the UK money laundering regulations, so firms are not reporting in two different currencies.
Electronic notices for licences
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The law has been updated to confirm that OFSI and other authorities can send notices for licences electronically without needing consent for this approach. This reflects how communications already work and removes an outdated technical requirement.
HM Treasury debt exception
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A clarification that the exception for Treasury debt applies to all transfers of funds across the entire payment chain, including intermediaries.
Updates to the prior obligations licensing ground
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The SI broadens the prior obligations licensing ground, giving OFSI greater flexibility to license legitimate pre-designation obligations in appropriate cases while maintaining safeguards against sanctions circumvention.
FAQs updated
Further information can be found here
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