f new sanctions and export controls restrictions.In addition, exporters and intermediaries facilitating global trade should consider the best methods to incorporate BIS’s decision to list addresses on its Entity List. While screening against addresses remains challenging, exporting or re-exporting to any companies listed at these addresses could be in violation of U.S. export controls. In addition, BIS signaled that it would consider adding new addresses to the Entity List in the future.Should you have any questions regarding these recent actions and their impact, please contact our team of sanctions and trade controls experts.[1] U.S. Department of the Treasury, “As Russia Completes Transition to a Full War Economy, Treasury Takes Sweeping Aim at Foundational Financial Infrastructure and Access to Third Country Support,” https://home.treasury.gov/news/press-releases/jy2404.[2] Executive Order 14114, “Taking Additional Steps With Respect to the Russian Federation’s Harmful Activities” (22 December 2023), 88 FR 89271, https://www.federalregister.gov/documents/2023/12/26/2023-28662/taking-additional-steps-with-respect-to-the-russian-federations-harmful-activities.[3] Executive Order 14024, “Blocking Property With Respect to Specified Harmful Foreign Activities of the Government of the Russian Federation” (15 April 2021), 86 FR 20249, h.[4] Sanctions Advisory, Updated Guidance for Foreign Financial Institutions on OFAC Sanctions Authorities Targeting Support to Russia’s Military-Industrial Base, 12 June 2024, https://ofac.treasury.gov/media/932436/download?inline.[5]Id.[6]Id.[7] See OFAC Frequently Asked Questions # 976, 1040, 1068, 1122, 1128, 1146, 1147, 1148, 1151, and 1152.[8] See K2 Integrity’s policy alert on EO 14114. Specified items include, among others, certain machine tools, manufacturing equipment or materials for semiconductor manufacturing; certain electronic test equipment; and other items.[9] Atlantic Council, “Russia and China Have Been Teaming Up to Reduce Reliance on the Dollar. H