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, 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.
We received a confirmation from the Dutch authorities in May 2023 that Internet number resources fall within an exemption introduced in 2022 related to sanctions against Russia, which excludes resources that are “strictly necessary for the provision of electronic communication services”. Following this clarification, we have started restoring normal services to all members and End Users who fall under the scope of this exemption. This includes members and End Users under investigation as well as those marked non-cooperative.
It is important to note that not all members and End Users impacted by EU sanctions against Russia are covered by this exemption. Our regular sanctions procedure will apply to members and End Users who do not fall within the scope of the exemption.
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.
Since our last report, 34 members and 15 End Users have been confirmed as falling under the sanctions exemption. Some of the members and End Users who were marked as non-cooperative have also been confirmed as being exempt.
Date |
Action |
Relation |
Country |
IPv4 |
IPv6 |
ASNs |
21-Jun-2023 |
Exemption confirmed |
Member |
RU |
7,552
|
/32
|
6 |
21-Jun-2023 |
Exemption confirmed |
Member* |
RU |
4,096
|
/32 |
13 |
21-Jun-2023 |
Exemption confirmed |
End User |
RU |
0
|
0 |
1 |
21-Jun-2023 |
Exemption confirmed |
Member |
GE |
1,024
|
/29
|
1 |
21-Jun-2023 |
Exemption confirmed |
Member |
RU |
1,024
|
/29 |
2 |
21-Jun-2023 |
Exemption confirmed |
Member |
RU |
6,400
|
/29
|
10 |
21-Jun-2023 |
Exemption confirmed |
End User |
RU |
512
|
0 |
1 |
22-Jun-2023 |
Exemption confirmed / non-cooperative status withdrawn |
Member |
RU |
8,192 |
/32 |
1 |
26-Jun-2023 |
Exemption confirmed / non-cooperative status withdrawn |
Member |
RU |
4,096
|
/32
|
1 |
27-Jun-2023 |
Exemption confirmed / non-cooperative status withdrawn |
Member |
RU |
1,024 |
/32 |
0 |
12-Jul-2023 |
Exemption confirmed / non-cooperative status withdrawn |
End User |
RU |
256 |
0 |
1 |
* Member also holds Internet resources as an End User
Date |
Action |
Relation |
Country |
IPv4 |
IPv6 |
ASNs |
1-Apr-2020 |
Frozen |
Member |
IR |
17,408 |
/32 |
1 |
1-Apr-2020 |
Frozen |
Member |
SY |
230,400 |
/29 |
1 |
13-Jan-2023 |
Marked as non-cooperative |
End User |
RU |
0 |
0 |
2 |
16-Jan-2023
|
Marked as non-cooperative |
Member |
IR |
1,024 |
/29 |
1 |
30-Jan-2023 |
Marked as non-cooperative |
Member |
RU |
256
|
0 |
1 |
7-Feb-2023 |
Marked as non-cooperative |
Member |
IR |
9,216
|
0 |
1 |
7-Mar-2023 |
Marked as non-cooperative |
Member |
IR |
1,024
|
/29 |
1 |
15-Mar-2023 |
Marked as non-cooperative |
Member |
IR |
1,313,792
|
/32
|
1 |
Total |
|
|
|
1,573,120 |
2 x /32, 3 x /29 |
9 |
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 (FP). 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 to transfer existing ones until a potential sanctions case has been cleared.
Since early 2021, updates to the EU sanctions list have resulted in a total of 1,205 potential cases requiring investigation.
Date |
Total alerts for investigation |
Not yet started |
Under investigation |
Confirmed false positive, not applicable or exempt |
Confirmed sanctioned and applicable to RIPE NCC services |
20-Apr-2022 |
766 |
362 |
173 |
227 |
4 |
01-Jul-2022 |
843 |
309 |
207 |
323 |
4 |
17-Oct-2022 |
932 |
368 |
184 |
372 |
8 |
02-Jan-2023 |
988 |
384 |
172 |
423 |
9 |
31-Mar-2023 |
1,046 |
411 |
191 |
435 |
9 |
10-Jul-2023 |
1,205 |
456 |
151 |
596 |
2 |
Date |
Member |
End User |
Inter-RIR transfer |
Total |
20-Apr-2022 |
343 |
420 |
4 |
766 |
01-Jul-2022 |
375 |
464 |
4 |
843 |
17-Oct-2022 |
411 |
517 |
4 |
932 |
02-Jan-2023 |
443 |
540 |
5 |
988 |
31-Mar-2023 |
464 |
577 |
5 |
1,046 |
10-Jul-2023 |
519 |
681 |
5 |
1,205 |
Note: 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.