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RIPE NCC Quarterly Sanctions Transparency Report (Q4 2024)

RIPE-830
Publication date:
17 Oct 2024
State:
Published
Author
  • RIPE NCC
File(s)
PDF (219.5 KB)

Introduction

This quarterly report provides data on how RIPE NCC members, End Users and legacy resource holders are affected by sanctions, while respecting their confidentiality and privacy.

As an organisation based in the Netherlands, the RIPE NCC must comply with EU sanctions. If we believe that a member or other resource holder is subject to EU sanctions that are applicable to our services, we freeze the registration (not the use) of their resources in the RIPE Database. This means that sanctioned entities cannot acquire further resources or transfer existing ones. However, we do not deregister their resources or terminate their Standard Service Agreement (SSA) if they are RIPE NCC members.

If a member or End User does not cooperate with our checks, or if no documentation can be provided to conclude our investigation, we treat them as though they are sanctioned. This is because we have no way to establish otherwise. We have decided to include these members and End Users in this report for transparency; these cases are mentioned as ‘on hold’. This replaces the ‘non-cooperation’ status used in previous reports, as this term does not cover situations where the member or End User is cooperative but unable to obtain the documentation requested.

We also check against the Office of Foreign Asset Control (OFAC) sanctions list, which is maintained by the United States Government. While we are under no obligation to comply with US sanctions, they are a factor for banking institutions in the Netherlands. This causes an impact for us on our ability to invoice members and receive payments from them.

Sanctions Data

The tables below show any changes since the previous quarter, as well as the total number of resource holders and resources affected. This includes the date of action and what action was taken. The table also shows our relation to a sanctioned entity – whether they are a RIPE NCC member, End User or legacy resource holder. We also specify the country in which the resource holder is legally registered.

Summary of Changes

Since our last report, one End User has been identified as subject to EU sanctions that are applicable to our services and therefore their resources were frozen according to our sanctions procedure. The freezing is not necessarily due to new EU sanctions or the addition of names to already existing EU sanction regulations. As can be seen in this and prior Sanctions Transparency Reports, there are still many sanction alerts from our Sanction Screening Tool that are awaiting a conclusion after investigation.

Note that we will not process any requests from an End User or member for new resources or transfer existing ones until a potential sanctions case has been cleared.

Changes Since Last Quarter
Date Action Relation Country IPv4 IPv6 ASNs

09/07/2024

Frozen

End User

RU

256

0

1

Status on 1 October 2024
Date Action Relation Country IPv4 IPv6 ASNs

01/04/2020

Frozen

Member

IR

17,408

/32

1

01/04/2020

Frozen

Member

SY

230,400

/29

1

16/01/2023

On hold

Member

IR

1,024

/29

1

07/02/2023

On hold

Member

IR

9,216

0

1

07/03/2023

On hold

Member

IR

1,024

/29

1

19/07/2023

On hold

Member

IR

8,192

/32

1

20/12/2023

On hold

Member

IR

58,368

/29

1

20/12/2023

On hold

End User

IR

0

0

1

15/05/2024

Frozen

Member

IR

2,048

0

1

15/05/2024

Frozen

Member

IR

33,792

/29

2

15/05/2024

Frozen

Member

IR

1,024

/29

1

15/05/2024

Frozen

Member

IR

1,024

0

1

15/05/2024

Frozen

End User

IR

0

0

1

15/05/2024

Frozen

End User

BY

0

0

1

15/05/2024

Frozen

End User

BY

512

0

1

15/05/2024

Frozen

End User

BY

0

0

1

01/07/2024

Frozen

Member

IR

99,328

/32,
/29

3

09/07/2024

Frozen

End User

RU

256

0

1

Total

-

-

-

463,616

3x/32,
7x/29

21

Cases Under Investigation

Alongside the number of resource holders confirmed to be subject to EU sanctions that are applicable to our services, there is a much larger number of potential matches under investigation. These statistics show the wider impact that sanctions are having on the Internet as well as the work needed to contact potential matches and request supporting documentation.

Most of these cases turn out to be false positives. However, because there is no grace period allowed for sanctions compliance, potential matches must be treated as though they are sanctioned until our staff can confirm otherwise. This means that we will not process any requests for new resources or transfer existing ones until a potential sanctions case has been cleared.

Important note:
As stated above, we also check against the Office of Foreign Asset Control (OFAC) sanctions list, as they are a factor for banking institutions in the Netherlands. In order to issue an invoice safely, we need to conduct an investigation for members with OFAC alerts received by our sanctions screening tool. As this is a big part of our sanctions screening work, we are now adding these numbers to the table below for transparency about our workload. Therefore, the numbers are higher than the last reports (with an additional 270 cases across all categories). Since early 2021 updates to the EU and OFAC sanctions list have resulted in a total of 1,608 cases requiring investigation.

Cases Under Investigation: Status of Cases
Date Total alerts for EU and OFAC investigations Not yet started Under investigation Confirmed false positive, EU sanctioned not applicable, exempted, or OFAC On hold Confirmed sanctioned and applicable to RIPE NCC services

20/04/2022
OFAC investigations excluded

766

362

173

227

0

4

01/07/2022
OFAC investigations excluded

843

309

207

323

0

4

17/10/2022
OFAC investigations excluded

932

368

184

372

0

8

02/01/2023
OFAC investigations excluded

988

384

170

423

2

9

31/03/2023
OFAC investigations excluded

1,046

411

181

435

10

9

10/07/2023
OFAC investigations excluded

1,205

456

145

596

6

2

11/10/2023
OFAC investigations excluded

1,218

410

118

682

6

2

05/01/2024
OFAC investigations excluded

1,266

385

61

811

7

2

15/05/2024
OFAC investigations excluded

1,324

414

17

877

6

10

01/07/2024
OFAC investigations excluded

1,338

316

33

972

6

11

01/10/2024
OFAC investigations included

1,608

228

29

1,333

6

12

Clarification of the statuses:

Not yet started: our sanctions screening alerted us to a possible EU and/or OFAC sanction match/update, and an investigation has been added to the backlog.

Under investigation: an EU and/or OFAC alert is being investigated.

On hold: a member or End User is not cooperating with our checks, or cannot obtain documentation to conclude our investigation for EU sanctions. Service restrictions are in place. The 'On hold' status replaces the 'Non-cooperation' status from previous reports. Numbers for this status used to be part of 'Under investigation', but now have a separate column for transparency.

Confirmed false positive: an EU sanctions screening alert was not related to the member or End User.

Not applicable: an EU sanctions alert is confirmed to be related to the member or End User, but is not applicable to the RIPE NCC, or else the member or End User have terminated their contractual relationship.

Exempt: an EU sanctions alert is relevant but the member or End User falls underneath EU sanctions exemptions as they relate to Internet resources.

OFAC: an OFAC sanctions alert is not related to our services, but investigations are necessary for billing purposes.

Cases Requiring Investigation: Type of Resource Holder
Date Member End User Inter-RIR transfer Total

20/04/2022

343

420

4

767

01/07/2022

375

464

4

843

17/10/2022

411

517

4

932

02/01/2023

443

540

5

988

31/03/2023

464

577

5

1,046

10/07/2023

519

681

5

1,205

11/10/2023

543

670

5

1,218

05/01/2024

568

693

5

1,266

15/05/2024

587

732

5

1,324

01/07/2024

595

738

5

1,338

01/10/2024
OFAC investigations included

818

785

5

1,608