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Canada bans service exports to Russia relating to mining, chemical and petroleum industries

By Sean Stephenson and Daniela Acevedo
June 9, 2022
  • International Trade
  • Regulatory
  • Sanctions
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On June 7, 2022, the Government of Canada introduced additional sanctions against Russia, targeting a broad list of 28 service sectors which are now prohibited from being exported to Russia, or any person in Russia, to the extent they relate to the mining, chemical, and petroleum industries.

The amendments

After section 3.9, the following section was added:

            “Services

3.10 It is prohibited for any person in Canada and any Canadian outside Canada to provide to Russia or to any person in Russia any service referred to in Part 1 of Schedule 8 in relation to any industry referred to in Part 2 of that Schedule.”

Further, section 5 of the Regulations was replaced as follows:

            “Assisting in prohibited activities

5 It is prohibited for any person in Canada and any Canadian outside Canada to knowingly do anything that causes, facilitates or assists in, or is intended to cause, facilitate or assist in, any activity prohibited by sections 3 to 3.10.”

The services and industries are set out in what is now a new Schedule 8 to the Special Economic Measures (Russia) Regulations. Schedule 8 includes the following:

Part 1

ItemServiceCPC category1
1Construction work51
2Retail sales of motor fuel613
3Sales on a fee or contract basis of fuels, metals, ores, timber, building materials and industrial and technical chemicals62113
4Wholesale trade services of solid, liquid and gaseous fuels and related products62271
5Retail sales of fuel oil, bottled gas, coal and wood63297
6Repair services of personal and household goods633
7Other lodging services not elsewhere classified64199
8Transportation of petroleum and natural gas7131
9Water transport services — Freight transportation7212
10Water transport services — Towing and pushing services7214
11Bulk storage services of liquids or gases7422
12Leasing or rental services concerning machinery and equipment without operator831
13Computer and related services84
14Research and development services85
15Accounting, auditing and bookkeeping services862
16Market research and public opinion polling services864
17Management consulting services865
18Services related to management consulting services866
19Architectural services8671
20Engineering services8672
21Integrated engineering services8673
22Related scientific and technical consulting services8675
23Technical testing and analysis services8676
24Advertising services871
25Services incidental to mining883
26Repair services incidental to metal products, machinery and equipment886
27Services incidental to energy distribution887
28Sewage and refuse disposal, sanitation and other environmental protection services94

Part 2

ItemServiceISIC division2
1Mining of coal and lignite05
2Extraction of crude petroleum and natural gas06
3Mining of metal ores07
4Other mining and quarrying08
5Mining support service activities09
6Manufacture of coke and refined petroleum products19
7Manufacture of chemicals and chemical products20

Implementation

As previously mentioned, we have seen that, with the ongoing conflict between Russia and Ukraine, the Government of Canada can enact regulations quickly and without notice which may quickly affect current ongoing contracts and relationships of the impacted industries/services.

For the prohibitions to be applicable, a person in Canada or Canadian abroad must be engaged in one of the above-noted services in Part 1 of Schedule 8, and that service must “relate to” one of the industries noted in Part 2. The new prohibitions also prohibit persons in Canada and Canadians abroad from doing anything that causes, facilitates, assists, or that is intended to cause, facilitate or assist in a prohibited activity – in this case, the provision of services.

Allied countries have implemented similar bans, although the specifics of the differing sanctions do vary.

Dentons’ International Trade team keeps abreast of leading global developments. If you have any questions, please feel free to reach out to Paul Lalonde, Anthony Cole, Sean Stephenson or Daniela Acevedo.


[1] CPC category means the category established in the Provisional Central Product Classification, published by the United Nations in 1991.

[2] ISIC division means the division established in the International Standard Industrial Classification of All Economic Activities, Revision 4, published by the United Nations in 2008.

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Sean Stephenson

About Sean Stephenson

Sean Stephenson is Counsel focusing on international trade, investment, arbitration, government contracts, anti-corruption, and public international law. Throughout his practice, Sean has gained extensive experience in investment treaty arbitration, including acting in multiple cases under the UNCITRAL Arbitration Rules with respect to all phases of proceedings in complex disputes throughout the Americas and Europe. He has acted in and advised on cases under the NAFTA, CAFTA-DR, CPTPP and bilateral investment treaties in a large number of sectors.

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Daniela Acevedo

About Daniela Acevedo

Daniela Acevedo (She/Her/Hers) is an associate in the Corporate group at Dentons Canada LLP. Her practice focuses on corporate and commercial law, mergers and acquisitions, international trade and public international law.

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