Vneshprombank LLC v Bedzhamov [2024] EWHC 1048 (Ch) (Friday 3 May 2024)

Vneshprombank LLC v Bedzhamov [2024] EWHC 1048 (Ch) (Friday 3 May 2024)

The Russia (Sanctions) (EU Exit) Regulations 2019 prohibit dealing with funds or economic resources only where those funds are in fact owned or controlled by a designated person; the prohibition is not triggered merely by reasonable cause to suspect such ownership or control. Criminal liability cannot be imposed...

Source-derived case information.

Citation
[2024] EWHC 1048 (Ch)
Parties
Claimant: Vneshprombank LLC; First Defendant: Georgy Ivanovich Bedzhamov; Applicant: Lyubov Kireeva (as bankruptcy trustee of Georgy Bedzhamov); Respondent: Georgy Bedzhamov
Jurisdiction
England and Wales
Procedural Posture
Application During Ongoing Litigation / Judgment on Application for Declarations and Directions
Outcome
Application dismissed
Legal Topics
Ownership and Control Under Sanctions Regulations, Asset Freezing, Litigation Funding, Statutory Interpretation, Reasonable Cause to Suspect
Sanctions Bankruptcy Civil Procedure Ownership and Control Under Sanctions Regulations Asset Freezing Litigation Funding Statutory Interpretation Reasonable Cause to Suspect

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Parties

Vneshprombank LLC

Claimant

Georgy Ivanovich Bedzhamov

First Defendant

Lyubov Kireeva (as bankruptcy trustee of Georgy Bedzhamov)

Applicant

Georgy Bedzhamov

Respondent

Procedural Posture

Application During Ongoing Litigation / Judgment on Application for Declarations and Directions

  1. 1 Does the Russia (Sanctions) (EU Exit) Regulations 2019 prohibit dealings where there is reasonable cause to suspect ownership/control by designated persons, or only where such ownership/control is proved?
  2. 2 Is there reasonable cause to suspect A1 LLC is owned or controlled by designated persons under the Regulations?

Ratio Decidendi

The Russia (Sanctions) (EU Exit) Regulations 2019 prohibit dealing with funds or economic resources only where those funds are in fact owned or controlled by a designated person; the prohibition is not triggered merely by reasonable cause to suspect such ownership or control. Criminal liability cannot be imposed based on suspicion alone; the statutory scheme requires factual determination of ownership/control. Guidance and non-statutory materials do not alter the clear legislative wording and intent.

Court Disposition

Application dismissed

Orders

  • No declarations as to reasonable cause to suspect ownership/control by designated persons
  • No directions for freezing or payment of funds based on suspicion