Further to previous advice, the following notice highlights important recent developments in the sanctions imposed against Russia by the UK, EU and US
Owners should refer to our circular The Russian Oil Price Cap dated 15 March 2023 for details of the Price Cap scheme which regulates the transport and insurance of Russian CN 2709 and CN 2710 cargoes. Retention and sharing of attestations have been a feature of compliance with the Price Cap scheme since it was introduced. Changes to this attestation model have now been announced.
The Price Cap Coalition (G7, Australia and the EU) has published a statement of updates to the Price Cap rules Coalition Statement on Price Cap Rule Updates (treasury.gov). The changes are designed to support the implementation of the Price Cap and disrupt circumvention by reducing opportunities for bad actors to use opaque shipping costs to disguise oil purchased above the cap. These changes will come into effect on 19 February 2024 (UK and US) and for cargoes loaded on or after 20 February 2024 (EU).
The two key changes are:
The per voyage attestations should be provided as follows:
The itemised ancillary costs to be recorded and shared as set out in the UK and EU guidance should include the following:
“For cost, insurance, and freight (CIF) contracts, the following should be covered:
For free on board (FOB) contracts, the following should be covered:
In order to be able to rely on attestations and other costs information provided, Assureds must also conduct appropriate due diligence on the reliability and accuracy of the information provided.
On 1 February 2024 the Price Cap Coalition published a Compliance and Enforcement Alert which includes an overview of key Price Cap evasion methods and recommendations for identifying such methods and mitigating their risks and negative impacts. The Alert provides important guidance to shipowners and service providers and should be considered in detail.
Finally, it should also be noted that parties engaged in Price Cap oil shipments were originally placed into one of three “tiers”, with tier 3 entities being those, including shipowners and P&I insurers, without direct access to information on the price of the cargo. The UK and EU have now split tier 3 entities into tier 3A and tier 3B. Included in tier 3A are P&I insurers, H&M insurers, cargo insurers, insurance brokers, shipowners and ship management companies. Tier 3B entities are reinsurers and financial institutions providing general financing facilities. The changes to the attestation model set out in the UK and EU guidance do not apply to 3B entities.
The changes set out above mean that for the 2024/2025 policy year per voyage attestations will be required in the revised form set out in the below / attached document.
In order for British Marine to provide assistance where an insured vessel is engaged in the carriage of Russian oil or petroleum products, the Assured must have:
Once the above information and documentation has been submitted, it will be reviewed by British Marine, who may request further or clarificatory information from the Assured. This may include a request for the itemised price information for ancillary costs referred to in this Circular and Assureds are reminded that failure to provide this information to British Marine may jeopardise the provision of cover. Assureds can expect such a request for itemised price information where British Marine does not have sufficient comfort that the requirements of the Price Cap scheme have been complied with, or in response to a request from a relevant authority. Reasons why British Marine may not have sufficient comfort could include because there are concerns about the parties involved in the trade, concerns arising from British Marine’s own due diligence or where they have received information about a suspected violation (i.e. from open-source reporting or a request from a relevant authority).
The EU Regulation states that “competent authorities can request that [the itemised price] information from any actor, regardless of their place in the supply chain, at any time, in order to verify compliance with the price cap mechanism”.
Assureds should anticipate that there may be delays in the provision of assistance by British Marine due to the need to first ensure compliance with the Price Cap scheme.
The EU adopted its 12th package of sanctions against Russia on the 18 December 2023. In addition to the changes to the Price Cap scheme set out above, key features for the shipping industry of the 12th package of sanctions include:
The EU has now clarified its position by adding the wording in italics below to its FAQ18a “Is it prohibited for an EU vessel to bunker Russian petroleum products?”:
“The bunkering by an EU vessel of Russian petroleum products in Russia is possible provided this purchase is required to meet the essential needs of the purchaser in Russia (Article 3m paragraph 9), meaning bunkering for the operation of the tanker pursuing the voyage”.
Although the FAQ refers to the bunkering being possible if required for the operation of the “tanker” pursuing the voyage, this is in the context of an update to the “Oil Price Cap” FAQs and it is assumed that the position would be the same for all ship types.
All trade involving Russia continues to be subject to very significant legal restrictions. Cover is not available for trade that breaches applicable sanctions and Assureds are encouraged to conduct thorough due diligence on the parties, cargoes and trade involved before engaging in trade to, through or from Russia.
Further information:
OFAC Guidance on Implementation of the Price Cap Policy for Crude Oil and Petroleum Products of Russian Federation Origin: download (treasury.gov)
UK Maritime Services Ban and Oil Price Cap Industry Guidance: OFSI OPC Guidance - December 2023.docx (publishing.service.gov.uk)
EU Guidance on oil price cap: Oil price cap - European Commission (europa.eu)
1 February 2024 Compliance and Enforcement Alert: https://ofac.treasury.gov/media/932571/download?inline
Please complete the below document titled ‘British Marine assured oil price cap attestation form’ and send this to your British Marine contact or managers@britishmarine.com.