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Chemical Weapons
- Last revised:28 August 2025
Purpose of the Sanctions Regime
This sanctions regime imposes restrictions for the purpose of deterring the proliferation and use of chemical weapons, including encouraging the effective implementation of the Chemical Weapons Convention.
Overview of current sanctions measures
Current sanctions measures implemented by Jersey in relation to chemical weapons include:
- asset freezes and restrictions on making funds, financial services, and economic resources available to designated persons
- travel ban
- director disqualification sanctions
Latest news
28 August 2025
The UK Sanctions List has been updated. All current asset-freezing sanctions designations effective in Jersey are available on the OFSI Consolidated List of financial sanctions targets. Further information can be found on the Jersey Gazette.
*All published Latest News notices relating to financial sanctions, including those extending beyond the last 30 days, may be obtained from the Jersey Gazette
Jersey regime
The Sanctions and Asset-Freezing (Implementation of External Sanctions) (Jersey) Order 2021 (the Jersey Order) implements the Chemical Weapons (Sanctions) (EU Exit) Regulations 2019 (the UK Regulations).
Article 3 of the Jersey Order imposes the asset-freeze provisions in Part 3 of the Sanctions and Asset-Freezing (Jersey) Law 2019 (the SAFL) on any person listed by or under the UK Regulations. The Part 3 provisions also include, but are not limited to, Articles 15-17 of the SAFL on exceptions, licences, and circumventing prohibitions etc.
Offences
The offences for this regime are set out in both the SAFL and the Jersey Order.
Reporting obligations
Reporting obligations are set out at Article 32 of the SAFL and apply to all regimes in force. These obligations include requirements for a relevant financial institution to inform the Minister if:
- it holds an account of a person, has entered into dealings or an agreement with a person or has been approached by or on behalf of a person, and
- it knows, or has reasonable cause to suspect, that the person:
- is a designated person, or;
- has committed, is committing or intends to commit an offence under this Law, and
- the information or other matter on which the knowledge or reasonable cause for suspicion is based came to it in the course of carrying on its business.
Licences and exceptions
A Jersey General Licence, granted by the Minister, allows multiple parties to conduct specified activities that sanctions measures would otherwise restrict. Supervised persons must ensure that their activities are within the scope of the General Licence's terms and adhere to all its conditions.
The Minister may also grant a specific licence under the SAFL and/or the Jersey Order.
To apply for a specific sanctions licence, a supervised person must complete the relevant Sanctions form and return it to [email protected].
The FSIU provides guidance on sanctions licences and exceptions on the Government of Jersey website Sanctions licences and exceptions.
Legal acts
Jersey
- Sanctions and Asset-Freezing (Jersey) Law 2019
- Sanctions and Asset-Freezing (Implementation of External Sanctions) (Jersey) Order 2021
United Kingdom
- The Chemical Weapons (Sanctions) (EU Exit) Regulations 2019
- The Sanctions (EU Exit) (Miscellaneous Amendments) (No.2) Regulations 2020
- The Sanctions (EU Exit) (Miscellaneous Amendments) (No.4) Regulations 2020
Further information
Useful information is provided on gov.uk regarding Financial sanctions, Chemical Weapons
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