83_FR_49731 83 FR 49540 - Order Temporarily Denying Export Privileges

83 FR 49540 - Order Temporarily Denying Export Privileges

DEPARTMENT OF COMMERCE
Bureau of Industry and Security

Federal Register Volume 83, Issue 191 (October 2, 2018)

Page Range49540-49543
FR Document2018-21446

Federal Register, Volume 83 Issue 191 (Tuesday, October 2, 2018)
[Federal Register Volume 83, Number 191 (Tuesday, October 2, 2018)]
[Notices]
[Pages 49540-49543]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2018-21446]


-----------------------------------------------------------------------

DEPARTMENT OF COMMERCE

Bureau of Industry and Security


 Order Temporarily Denying Export Privileges

Eastline Technologies OU, Akadeemia tee 21, 12618 Tallinn, Estonia; 
and Peterburi tee 47-210, 11415 Tallinn, Estonia
Adimir OU, Akadeemia tee 21, 12618 Tallinn, Estonia; and Peterburi 
tee 47-210, 11415 Tallinn, Estonia
Valery Kosmachov, a/k/a Valeri Kosmachov, a/k/a Valery Kosmatsov, a/
k/a Valery Kosmatshov, a/k/a Valery Kosmachev, Vaba[otilde]hukooli 
tee 76-A9, 12015 Tallinn, Estonia
Sergey Vetrov, a/k/a Sergei Vetrov, 6-39 Karl Marx Str., Ramenskoye, 
Moscow, Russia 140100
Real Components Ltd., 8-1 Aviamotornaya Str., Moscow, Russia 111024

I. Introduction and Background of the Parties at Issue

    Pursuant to Section 766.24 of the Export Administration Regulations 
(the ``Regulations'' or ``EAR''),\1\ the Bureau of Industry and 
Security (``BIS''), U.S. Department of Commerce, through its Office of 
Export Enforcement (``OEE''), has requested that I issue an order 
temporarily denying, for a period of 180 days, the export privileges of 
Eastline Technologies OU (``Eastline''), Adimir OU (``Adimir''), Valery 
Kosmachov a/k/a Valeri Kosmachov, a/k/a Valery Kosmatsov, a/k/a Valery 
Kosmatshov, a/k/a Valery Kosmachev (``Kosmachov''), and Sergey Vetrov 
a/k/a Sergei Vetrov (``Vetrov'') (collectively, ``Respondents''). OEE 
also has requested, pursuant to Sections 766.23 and 766.24 of the 
Regulations, that this order (``the TDO'') be applied to Real 
Components, Ltd. (``Real Components'') as a related person.
---------------------------------------------------------------------------

    \1\ The Regulations are currently codified in the Code of 
Federal Regulations at 15 CFR Parts 730-774 (2018). The Regulations 
originally issued under the Export Administration Act of 1979, as 
amended, 50 U.S.C. 4601-4623 (Supp. III 2015) (``the EAA''), which 
lapsed on August 21, 2001. The President, through Executive Order 
13222 of August 17, 2001 (3 CFR, 2001 Comp. 783 (2002)), which has 
been extended by successive Presidential Notices, the most recent 
being that of August 8, 2018 (83 FR 39871 (Aug. 13, 2018)), 
continued the Regulations in full force and effect under the 
International Emergency Economic Powers Act, 50 U.S.C. 1701, et seq. 
(2012) (``IEEPA''). On August 13, 2018, the President signed into 
law the John S. McCain National Defense Authorization Act for Fiscal 
Year 2019, which includes the Export Control Reform Act of 2018, 
Title XVII, Subtitle B of Public Law 115-232 (``ECRA''). While 
Section 1766 of ECRA repeals the provisions of the EAA (except for 
three sections which are inapplicable here), Section 1768 of ECRA 
provides, in pertinent part, that all rules and regulations that 
were made or issued under the EAA, including as continued in effect 
pursuant to IEEPA, and were in effect as of ECRA's date of enactment 
(August 13, 2018), shall continue in effect according to their terms 
until modified, superseded, set aside, or revoked through action 
undertaken pursuant to the authority provided under ECRA.
---------------------------------------------------------------------------

    Eastline is located in Tallinn, Estonia, and describes itself as a 
distributor of electronic parts and components, computer-related 
products, industrial personal computers and embedded systems, equipment 
for industrial automation, and other state-of-the-art solutions. The 
company holds an Estonian business license and has two addresses in 
Tallinn identified in registration documents. Eastline is operated 
primarily for the purpose of procuring electronic components, including 
those of U.S. origin. Kosmachov and Vetrov were listed as co-owners of 
Eastline until late 2016. The company is currently listed as being 
solely owned by Valeria Mihhailova, whom OEE has reason to believe is 
Kosmachov's daughter. Evidence presented by OEE indicates that both 
Kosmachov and Vetrov remain active in the business, as well as that 
Kosmachov also has previously represented that Eastline partners with 
Real Components, which is located in Moscow, Russia, is owned by 
Vetrov, and is Eastline's primary customer in Russia.
    Kosmachov also has previously identified himself as being the sole 
owner of Adimir, an Estonian company. Adimir shares the same business 
addresses as Eastline. Adimir is known to have previously been involved 
in the transshipment and attempted transshipment of U.S.-origin items 
to Russia in apparent violation of the Regulations, as described in a 
TDO issued by BIS on March 19, 2015, as amended on March 23, 2015 (the 
``March 2015 TDO''). See 80 FR 15979 (March 26, 2015); 80 FR 16632 
(March 30, 2015).\2\ During the investigation leading up to the 
issuance of the March 2015 TDO, Adimir admitted to transshipping U.S.-
origin items to Russia, but was not named as a respondent, as Adimir 
was believed to have ceased operating. See id.; see also Section III., 
infra. However, as discussed in Section IV., infra, recently-obtained 
evidence indicates that Adimir appears to have resumed operating, and 
to again be involved in the procurement of U.S.-origin items for 
transshipment to Russian customers, primarily including Real 
Components.
---------------------------------------------------------------------------

    \2\ The limited amendment on March 23, 2015, did not relate to 
the discussion of Adimir. See 80 FR 16632, at note 2. The March 2015 
TDO was renewed for an additional 180 days on September 14, 2015. 80 
FR 56439 (Sept. 18, 2015).
---------------------------------------------------------------------------

II. Legal Standard

    Pursuant to Section 766.24 of the Regulations, BIS may issue, on an 
ex parte basis, an order temporarily denying a respondent's export 
privileges upon a showing that the order is necessary in the public 
interest to prevent an ``imminent violation'' of the Regulations. 15 
CFR 766.24(a)-(b). ``A violation may be `imminent' either in time or 
degree of likelihood.'' 15 CFR 766.24(b)(3). BIS may show ``either that 
a violation is about to occur, or that the general circumstances of the 
matter under investigation or case under criminal or administrative 
charges demonstrate a likelihood of future violations.'' Id. As to the 
likelihood of future violations, BIS may show that the violation under 
investigation or charge ``is significant, deliberate, covert and/or 
likely to occur again, rather than technical or negligent[.]'' Id. A 
``[l]ack of information establishing the precise time a violation may 
occur does not preclude a finding that a violation is imminent, so long 
as there is sufficient reason to believe the likelihood of a 
violation.'' Id.
    Pursuant to Sections 766.23 and 766.24, a TDO also may be made 
applicable to other persons if BIS has reason to believe that they are 
related to a respondent and that applying the

[[Page 49541]]

order to them is necessary to prevent its evasion. 15 CFR 766.23(a)-(b) 
and 766.24(c). A ``related person'' is a person, either at the time of 
the TDO's issuance or thereafter, who is related to a respondent ``by 
ownership, control, position of responsibility, affiliation, or other 
connection in the conduct of trade or business.'' 15 CFR 766.23(a).

III. The March 2015 TDO and Adimir OU'S Admitted Transshipment 
Activities

    The March 2015 TDO issued against Flider Electronics, LLC d/b/a 
Trident International Corporation (``Trident''), Pavel Semenovich 
Flider (Trident's president and owner), and Gennadiy Semenovich Flider 
(Trident's office manager) for engaging in conduct prohibited by the 
Regulations by exporting items subject to the EAR to Russia via 
transshipment through third countries, including Estonia and Finland. 
Contemporaneous to these events, in or about March 2015, in an 
indictment unsealed in the United States District Court for the 
Northern District of California, Pavel Flider was charged with fifteen 
counts of smuggling goods, one count of conspiracy to commit 
international money laundering, and ten counts of money laundering, and 
Trident was charged with all the same counts, except conspiracy. On 
August 16, 2016, Pavel Flider pled guilty to two counts of felony 
smuggling, and Trident pled guilty to two counts of money laundering 
involving the transshipment of U.S.-origin electronic components 
through Estonia and Finland to Russia. During the investigation, U.S. 
authorities identified other companies and individuals involved in the 
transshipment of U.S.-origin electronic components to Russia.
    Specifically, for example, Trident's president and owner, Pavel 
Flider, identified Adimir in Estonia as the ultimate consignee in a 
shipment of Xilinix field programmable gate array circuits that were 
controlled under Export Control Classification Number 3A001.a.2.c for 
national security reasons and required a license for export to Russia. 
OEE presented evidence that indicated that Adimir was not the end user 
of the items. In addition, Kosmachov, an Adimir corporate officer and 
its owner, admitted that Adimir had transshipped U.S.-origin items to 
Russia for Trident and Pavel Flider. In an interview with OEE, Trident 
office manager Gennadiy Flider stated that Trident had been doing 
business with Adimir for many years and that it was the only customer 
Trident had. Similarly, Pavel Flider stated in an interview that Adimir 
was Trident's one and only customer, and that at times Adimir requested 
that items be shipped to a freight forwarder in Finland, rather than to 
Adimir in Estonia.
    In sum, the March 2015 TDO described a procurement scheme that 
featured exports of U.S.-origin items structured as transshipments to 
camouflage the actual destination, end users and/or end uses of the 
items. As noted above, while Adimir had been involved in transshipping 
the items to Russia, Adimir was not made a party to the March 2015 TDO, 
as it was believed to have already ceased operating. The March 2015 TDO 
and related investigation appears to have for a time deterred Adimir 
and those affiliated or associated with it from engaging in similar 
activities. However, OEE has presented evidence as part of its current 
TDO request indicating that by at least May 2017, Kosmachov and Vetrov 
were using a revised scheme with Eastline identified falsely as the 
ultimate consignee and have expanded their activities to include the 
procurement of U.S.-origin items by both Eastline and Adimir, including 
as recently as August and September 2018.

IV. Subsequent Interviews With Kosmachov About Eastline, the Detention 
of an Attempted Transshipment in May 2017, and More Recent Procurement 
and Transshipment Activities Involving Eastline and Adimir

    OEE's current request for a TDO includes evidence that an ongoing 
procurement scheme involves Eastline and Adimir in Estonia and 
Eastline's customer and partner Real Components Ltd. in Russia, all of 
whom share or have shared a common web of ownership or control 
involving Kosmachov and Vetrov. For example, Adimir and Eastline not 
only share a common address but also have shared a common owner in 
Kosmachov, who, as discussed supra, previously admitted to using Adimir 
to transship U.S.-origin items to Russia. Kosmachov remains active in 
Eastline's procurement operations, though company registration 
documents do not currently list him as a shareholder. Furthermore, 
Eastline and Real Components both have ties to Vetrov, with his 
continuing involvement in Eastline procurement activities and ownership 
of Real Components. As set forth below, OEE has presented evidence of 
these relationships based on interviews with Eastline in 2015-2016, a 
detained shipment in May 2017 and information related to recent export 
activities.
    In July 2015, Kosmachov, who was Eastline's acknowledged co-owner 
at the time (and until late November 2016), told the U.S. Government 
that Eastline started in 2005 as an independent distributor of 
electronic parts and components, among other items. Kosmachov stated 
that 99% of Eastline's business was in electronic components and that 
its primary customers are in Russia. According to Kosmachov, he chose 
to do business in Estonia because ``it was easier to get electronics 
into Estonia than it was into Russia.'' He also stated that U.S. 
companies were ``easier to deal with as a European company, rather than 
as a Russian company.'' Kosmachov indicated that ``all Eastline's 
shipments to Russia go across the Tallinn-Helsinki Ferry to Helsinki 
and then across the Finnish-Russian border'' because it was ``cheaper'' 
and took ``less time'' than shipping directly from Estonia to Russia. 
Also present at this meeting was another individual identified as a 
purchasing manager for both Eastline and Real Components. Kosmachov 
indicated that Eastline partners with Real Components, which is owned 
by Vetrov.
    In a subsequent meeting in March 2016, Kosmachov confirmed that 
nothing had changed in relation to Eastline since the May 2015 meeting 
and that he continued to own Adimir, which shares business addresses 
with Eastline. He noted again that Eastline primarily exports to Real 
Components in Russia. The purchasing manager for both Eastline and Real 
Components was again present at this meeting.
    OEE has presented evidence that Kosmachov and Vetrov remained the 
acknowledged shareholders in Eastline until November 29, 2016, at which 
time Valeria Mihhailova, who is believed to be Kosmachov's daughter, 
became listed as the sole shareholder. Information obtained from a May 
2017 detention by the Department of Homeland Security indicates, 
moreover, that Kosmachov and Vetrov continue to be active in Eastline's 
business operations by having items from the United States procured 
under their names for Eastline and delivered on Eastline's behalf to a 
package forwarder's address in the United States. The package forwarder 
then consolidated multiple Eastline shipments into one export and, 
based on information provided by Eastline, created a commercial invoice 
and made an Electronic Export Information (``EEI'') filing in the 
Automated Export System (``AES'') \3\ listing Estonia as the

[[Page 49542]]

ultimate destination and Eastline as the ultimate consignee, even 
though Eastline has admitted that it is not an end user and that its 
primary customers are in Russia. The related export documents listed 
the ``bill to'' party as ``Eastline Technologies OU, Attn: Valery 
Kosmachov'' in Estonia, and the ``ship to'' as ``Eastline Technologies 
OU, Attn: Sergey Vetrov'' at the package forwarder's address in the 
United States. Furthermore, OEE has presented evidence that Kosmachov 
and Vetrov currently have access to Eastline bank accounts.
---------------------------------------------------------------------------

    \3\ The AES system is used by BIS (and U.S. Customs and Border 
Protection) for export control and clearance purposes and used by 
the U.S. Census Bureau to, inter alia, collect export statistics.
---------------------------------------------------------------------------

    Based on a review of EEI filings in AES for 2018, Eastline 
continued to order U.S.-origin items and have them delivered to its 
package forwarder in the U.S., for consolidation and export from the 
United States, with Eastline listed as the ultimate consignee at its 
address in Estonia, including as recently as June 2018. Based on the 
transshipment activities described in the March 2015 TDO, the May 2017 
detention, and its ongoing investigation, OEE has reason to believe 
these items were actually intended for Real Components or another 
Russian customer and thus were transshipped to Russia. In addition, 
Eastline represents itself on its website as an independent 
``distributor'' of electronic computers for such locations as Russia, 
lending additional support to OEE's contention that Eastline is not an 
end user of the items it procures. Moreover, OEE is concerned that 
Respondents' strategy of using a package forwarder in the United States 
to consolidate orders placed with multiple U.S. manufacturers or 
suppliers, rather than having the items exported directly by the 
manufacturers or suppliers themselves, may be part of a concerted 
effort to conceal their activities.
    Further, OEE has presented evidence indicating that both Eastline 
and Adimir have received shipments of U.S.-origin items as recently as 
August and September 2018, including shipments directly to Eastline and 
Adimir and shipments to Eastline through its package forwarder in the 
United States. Kosmachov's involvement in both Eastline and Adimir, 
Adimir's prior involvement with transshipment of controlled U.S.-origin 
items to Russia, and Adimir's continued receipt of U.S.-origin items, 
taken together, indicate that Adimir as well as Eastline presents an 
imminent threat of a violation of the Regulations and thus a temporary 
denial order is appropriate.

V. Findings

    I find that the evidence presented by BIS demonstrates that a 
violation of the Regulations is imminent in both time and degree of 
likelihood. Eastline, Adimir, Kosmachov, and Vetrov have engaged in 
knowing violations of the Regulations relating to the procurement of 
U.S.-origin items subject to the Regulations for export to Russia, via 
transshipment through Estonia and Finland, while providing false or 
misleading information regarding the ultimate consignee and final 
destination of the items to U.S. suppliers and/or the U.S. Government. 
The ways in which their export transactions have been structured and 
routed appear designed to conceal or obscure the destinations, end 
users, and/or end uses of the U.S.-origin items they procure, including 
items on the Commerce Control List, thereby attempting to avoid export 
control scrutiny and possible detection by U.S. law enforcement.
    In sum, the facts and circumstances taken together, including the 
transshipment of U.S.-origin items, misrepresentations made in AES 
filings, and concerted actions of the Respondents, provide strong 
indicators that future violations are likely absent the issuance of a 
TDO. As such, a TDO is needed to give notice to persons and companies 
in the United States and abroad that they should cease dealing with 
Eastline, Adimir, Kosmachov, and Vetrov in export transactions 
involving items subject to the EAR. Accordingly, I find that an order 
denying the export privileges of Eastline, Adimir, Kosmachov, and 
Vetrov is necessary, in the public interest, to prevent an imminent 
violation of the EAR.
    Additionally, Section 766.23 of the Regulations provides that in 
order to prevent evasion, TDOs ``may be made applicable not only to the 
respondent, but also to other persons then or thereafter related to the 
respondent by ownership, control, position of responsibility, 
affiliation, or other connection in the conduct of trade or business.'' 
15 CFR 766.23(a). Eastline and Real Components are intertwined in 
ownership and control and in their conduct of business. As noted above, 
Vetrov owns Real Components, Eastline's primary customer in Russia, and 
also remains active in Eastline, including apparently receiving 
shipments on behalf of the company and also holding a bank card in 
Eastline's name. The two companies also share a purchasing manager, 
further suggesting that Eastline serves as a procurement and 
transshipment agent for Real Components. Accordingly, I find that Real 
Components meets the criteria set out in Section 776.23 and should be 
added to the TDO as a related person in order to prevent evasion.
    This Order is being issued on an ex parte basis without a hearing 
based upon BIS's showing of an imminent violation in accordance with 
Section 766.24 of the Regulations.
    It is therefore ordered:
    First, that EASTLINE TECHNOLOGIES OU, with last known addresses at 
Akadeemia tee 21, 12618 Tallinn, Estonia, and Peterburi tee 47-210, 
11415 Tallinn, Estonia, ADIMIR OU, with last known addresses at 
Akadeemia tee 21, 12618 Tallinn, Estonia, and Peterburi tee 47-210, 
11415 Tallinn, Estonia, VALERY KOSMACHOV, a/k/a VALERI KOSMACHOV, a/k/a 
VALERY KOSMATSOV, a/k/a VALERY KOSMATSHOV, a/k/a VALERY KOSMACHEV, with 
a last known address at Vaba[otilde]hukooli tee 76-A9, 12015 Tallinn, 
Estonia, SERGEY VETROV, a/k/a SERGEI VETROV, with a last known address 
at 6-39 Karl Marx Str., Ramenskoye, Moscow, Russia, 140100, and REAL 
COMPONENTS LTD., with a last known address at 8-1 Aviamotornaya Str., 
Moscow, Russia, 111024, and when acting for or on their behalf, any 
successors, assigns, directors, officers, employees, or agents (each a 
``Denied Person'' and collectively the ``Denied Persons'') may not, 
directly or indirectly, participate in any way in any transaction 
involving any commodity, software or technology (hereinafter 
collectively referred to as ``item'') exported or to be exported from 
the United States that is subject to the Export Administration 
Regulations (``EAR''), or in any other activity subject to the EAR 
including, but not limited to:
    A. Applying for, obtaining, or using any license, license 
exception, or export control document;
    B. Carrying on negotiations concerning, or ordering, buying, 
receiving, using, selling, delivering, storing, disposing of, 
forwarding, transporting, financing, or otherwise servicing, in any 
way, any transaction involving any item exported or to be exported from 
the United States that is subject to the EAR, or engaging in any other 
activity subject to the EAR; or
    C. Benefitting in any way from any transaction involving any item 
exported or to be exported from the United States that is subject to 
the EAR, or from any other activity subject to the EAR.
    Second, that no person may, directly or indirectly, do any of the 
following:
    A. Export or reexport to or on behalf of a Denied Person any item 
subject to the EAR;

[[Page 49543]]

    B. Take any action that facilitates the acquisition or attempted 
acquisition by a Denied Person of the ownership, possession, or control 
of any item subject to the EAR that has been or will be exported from 
the United States, including financing or other support activities 
related to a transaction whereby a Denied Person acquires or attempts 
to acquire such ownership, possession or control;
    C. Take any action to acquire from or to facilitate the acquisition 
or attempted acquisition from a Denied Person of any item subject to 
the EAR that has been exported from the United States;
    D. Obtain from a Denied Person in the United States any item 
subject to the EAR with knowledge or reason to know that the item will 
be, or is intended to be, exported from the United States; or
    E. Engage in any transaction to service any item subject to the EAR 
that has been or will be exported from the United States and which is 
owned, possessed or controlled by a Denied Person, or service any item, 
of whatever origin, that is owned, possessed or controlled by a Denied 
Person if such service involves the use of any item subject to the EAR 
that has been or will be exported from the United States. For purposes 
of this paragraph, servicing means installation, maintenance, repair, 
modification or testing.
    Third, that, after notice and opportunity for comment as provided 
in Section 766.23 of the EAR, any other person, firm, corporation, or 
business organization or entity related to Eastline Technologies OU, 
Adimir OU, Valery Kosmachov, or Sergey Vetrov by ownership, control, 
position of responsibility, affiliation, or other connection in the 
conduct of trade or business may also be made subject to the provisions 
of this Order.
    In accordance with the provisions of Section 766.24(e) of the EAR, 
Eastline Technologies OU, Adimir OU, Valery Kosmachov, and Sergey 
Vetrov may, at any time, appeal this Order by filing a full written 
statement in support of the appeal with the Office of the 
Administrative Law Judge, U.S. Coast Guard ALJ Docketing Center, 40 
South Gay Street, Baltimore, Maryland 21202-4022.
    In accordance with the provisions of Sections 766.23(c)(2) and 
766.24(e)(3) of the EAR, Real Components Ltd. may, at any time, appeal 
its inclusion as a related person by filing a full written statement in 
support of the appeal with the Office of the Administrative Law Judge, 
U.S. Coast Guard ALJ Docketing Center, 40 South Gay Street, Baltimore, 
Maryland 21202-4022.
    In accordance with the provisions of Section 766.24(d) of the EAR, 
BIS may seek renewal of this Order by filing a written request not 
later than 20 days before the expiration date. Eastline Technologies 
OU, Adimir OU, Valery Kosmachov, and Sergey Vetrov may oppose a request 
to renew this Order by filing a written submission with the Assistant 
Secretary for Export Enforcement, which must be received not later than 
seven days before the expiration date of the Order.
    A copy of this Order shall be sent to Eastline Technologies OU, 
Adimir OU, Valery Kosmachov, Sergey Vetrov, and Real Components Ltd., 
and shall be published in the Federal Register.
    This Order is effective upon issuance and shall remain in effect 
for 180 days.

Douglas Hassebrock,
Director, Office of Export Enforcement, performing the non-exclusive 
functions and duties of the Assistant Secretary of Commerce for Export 
Enforcement.
[FR Doc. 2018-21446 Filed 10-1-18; 8:45 am]
BILLING CODE P



                                              49540                        Federal Register / Vol. 83, No. 191 / Tuesday, October 2, 2018 / Notices

                                              authority on other performance                          Industry and Security (‘‘BIS’’), U.S.                    Kosmachov also has previously
                                              management issues, such as pay                          Department of Commerce, through its                   identified himself as being the sole
                                              adjustments, bonuses and Presidential                   Office of Export Enforcement (‘‘OEE’’),               owner of Adimir, an Estonian company.
                                              Rank Awards. The appointment of these                   has requested that I issue an order                   Adimir shares the same business
                                              members to the Performance Review                       temporarily denying, for a period of 180              addresses as Eastline. Adimir is known
                                              Board will be for a period of twenty-four               days, the export privileges of Eastline               to have previously been involved in the
                                              (24) months.                                            Technologies OU (‘‘Eastline’’), Adimir                transshipment and attempted
                                                Dates: The name, position title, and                  OU (‘‘Adimir’’), Valery Kosmachov a/k/                transshipment of U.S.-origin items to
                                              type of appointment of each member of                   a Valeri Kosmachov, a/k/a Valery                      Russia in apparent violation of the
                                              the Performance Review Board are set                    Kosmatsov, a/k/a Valery Kosmatshov, a/                Regulations, as described in a TDO
                                              forth below:                                            k/a Valery Kosmachev (‘‘Kosmachov’’),                 issued by BIS on March 19, 2015, as
                                                1. Brian DiGiacomo, Assistant General                 and Sergey Vetrov a/k/a Sergei Vetrov                 amended on March 23, 2015 (the
                                              Counsel for Employment, Litigation,                     (‘‘Vetrov’’) (collectively,                           ‘‘March 2015 TDO’’). See 80 FR 15979
                                              and Information Law, Career SES.                        ‘‘Respondents’’). OEE also has                        (March 26, 2015); 80 FR 16632 (March
                                                2. John Cobau, Chief Counsel for                      requested, pursuant to Sections 766.23                30, 2015).2 During the investigation
                                              International Commerce, Career SES.                     and 766.24 of the Regulations, that this              leading up to the issuance of the March
                                                3. Kurt Bersani, Chief Financial                      order (‘‘the TDO’’) be applied to Real                2015 TDO, Adimir admitted to
                                              Officer and Director of Administration,                 Components, Ltd. (‘‘Real Components’’)                transshipping U.S.-origin items to
                                              Enterprise Services, Career SES.                        as a related person.                                  Russia, but was not named as a
                                                4. Catrina Purvis, Senior Agency                         Eastline is located in Tallinn, Estonia,           respondent, as Adimir was believed to
                                              Official for Privacy (SAOP)/Chief                       and describes itself as a distributor of              have ceased operating. See id.; see also
                                              Privacy Officer (CPO) & Director of                     electronic parts and components,                      Section III., infra. However, as
                                              Open Government (OPOG), Career SES.                     computer-related products, industrial                 discussed in Section IV., infra, recently-
                                                5. Sivaraj Shyam-Sunder, Senior                       personal computers and embedded                       obtained evidence indicates that Adimir
                                              Science Advisor, NIST, Career SES.                      systems, equipment for industrial                     appears to have resumed operating, and
                                                 Dated: September 27, 2018.                           automation, and other state-of-the-art                to again be involved in the procurement
                                              Joan M. Nagielski,                                      solutions. The company holds an                       of U.S.-origin items for transshipment to
                                              Human Resources Specialist, Office of                   Estonian business license and has two                 Russian customers, primarily including
                                              Employment and Compensation, Department                 addresses in Tallinn identified in                    Real Components.
                                              of Commerce Human Resources Operations                  registration documents. Eastline is
                                                                                                      operated primarily for the purpose of                 II. Legal Standard
                                              Center, Office of Human Resources
                                              Management, Office of the Secretary,                    procuring electronic components,                         Pursuant to Section 766.24 of the
                                              Department of Commerce.                                 including those of U.S. origin.                       Regulations, BIS may issue, on an ex
                                              [FR Doc. 2018–21430 Filed 10–1–18; 8:45 am]             Kosmachov and Vetrov were listed as                   parte basis, an order temporarily
                                              BILLING CODE 3510–25–P                                  co-owners of Eastline until late 2016.                denying a respondent’s export privileges
                                                                                                      The company is currently listed as being              upon a showing that the order is
                                                                                                      solely owned by Valeria Mihhailova,                   necessary in the public interest to
                                              DEPARTMENT OF COMMERCE                                  whom OEE has reason to believe is                     prevent an ‘‘imminent violation’’ of the
                                                                                                      Kosmachov’s daughter. Evidence                        Regulations. 15 CFR 766.24(a)–(b). ‘‘A
                                              Bureau of Industry and Security                         presented by OEE indicates that both                  violation may be ‘imminent’ either in
                                                                                                      Kosmachov and Vetrov remain active in                 time or degree of likelihood.’’ 15 CFR
                                              Order Temporarily Denying Export                        the business, as well as that Kosmachov               766.24(b)(3). BIS may show ‘‘either that
                                              Privileges                                              also has previously represented that                  a violation is about to occur, or that the
                                              Eastline Technologies OU, Akadeemia tee 21,             Eastline partners with Real                           general circumstances of the matter
                                                12618 Tallinn, Estonia; and Peterburi tee             Components, which is located in                       under investigation or case under
                                                47–210, 11415 Tallinn, Estonia                        Moscow, Russia, is owned by Vetrov,                   criminal or administrative charges
                                              Adimir OU, Akadeemia tee 21, 12618                      and is Eastline’s primary customer in                 demonstrate a likelihood of future
                                                Tallinn, Estonia; and Peterburi tee 47–210,           Russia.                                               violations.’’ Id. As to the likelihood of
                                                11415 Tallinn, Estonia                                                                                      future violations, BIS may show that the
                                              Valery Kosmachov, a/k/a Valeri Kosmachov,               which lapsed on August 21, 2001. The President,       violation under investigation or charge
                                                a/k/a Valery Kosmatsov, a/k/a Valery                  through Executive Order 13222 of August 17, 2001      ‘‘is significant, deliberate, covert and/or
                                                Kosmatshov, a/k/a Valery Kosmachev,                   (3 CFR, 2001 Comp. 783 (2002)), which has been
                                                                                                                                                            likely to occur again, rather than
                                                Vabaõhukooli tee 76–A9, 12015 Tallinn,               extended by successive Presidential Notices, the
                                                                                                      most recent being that of August 8, 2018 (83 FR       technical or negligent[.]’’ Id. A ‘‘[l]ack of
                                                Estonia
                                              Sergey Vetrov, a/k/a Sergei Vetrov, 6–39 Karl           39871 (Aug. 13, 2018)), continued the Regulations     information establishing the precise
                                                                                                      in full force and effect under the International      time a violation may occur does not
                                                Marx Str., Ramenskoye, Moscow, Russia                 Emergency Economic Powers Act, 50 U.S.C. 1701,
                                                140100                                                et seq. (2012) (‘‘IEEPA’’). On August 13, 2018, the
                                                                                                                                                            preclude a finding that a violation is
                                              Real Components Ltd., 8–1 Aviamotornaya                 President signed into law the John S. McCain          imminent, so long as there is sufficient
                                                Str., Moscow, Russia 111024                           National Defense Authorization Act for Fiscal Year    reason to believe the likelihood of a
                                                                                                      2019, which includes the Export Control Reform        violation.’’ Id.
                                              I. Introduction and Background of the                   Act of 2018, Title XVII, Subtitle B of Public Law
                                                                                                                                                               Pursuant to Sections 766.23 and
                                              Parties at Issue                                        115–232 (‘‘ECRA’’). While Section 1766 of ECRA
                                                                                                      repeals the provisions of the EAA (except for three   766.24, a TDO also may be made
                                                 Pursuant to Section 766.24 of the                    sections which are inapplicable here), Section 1768   applicable to other persons if BIS has
amozie on DSK3GDR082PROD with NOTICES1




                                              Export Administration Regulations (the                  of ECRA provides, in pertinent part, that all rules   reason to believe that they are related to
                                                                                                      and regulations that were made or issued under the
                                              ‘‘Regulations’’ or ‘‘EAR’’),1 the Bureau of             EAA, including as continued in effect pursuant to     a respondent and that applying the
                                                                                                      IEEPA, and were in effect as of ECRA’s date of
                                                1 The Regulations are currently codified in the       enactment (August 13, 2018), shall continue in          2 The limited amendment on March 23, 2015, did
                                              Code of Federal Regulations at 15 CFR Parts 730–        effect according to their terms until modified,       not relate to the discussion of Adimir. See 80 FR
                                              774 (2018). The Regulations originally issued under     superseded, set aside, or revoked through action      16632, at note 2. The March 2015 TDO was
                                              the Export Administration Act of 1979, as amended,      undertaken pursuant to the authority provided         renewed for an additional 180 days on September
                                              50 U.S.C. 4601–4623 (Supp. III 2015) (‘‘the EAA’’),     under ECRA.                                           14, 2015. 80 FR 56439 (Sept. 18, 2015).



                                         VerDate Sep<11>2014   17:16 Oct 01, 2018   Jkt 247001   PO 00000   Frm 00011   Fmt 4703   Sfmt 4703   E:\FR\FM\02OCN1.SGM   02OCN1


                                                                           Federal Register / Vol. 83, No. 191 / Tuesday, October 2, 2018 / Notices                                                  49541

                                              order to them is necessary to prevent its               interview that Adimir was Trident’s one                  In July 2015, Kosmachov, who was
                                              evasion. 15 CFR 766.23(a)–(b) and                       and only customer, and that at times                  Eastline’s acknowledged co-owner at the
                                              766.24(c). A ‘‘related person’’ is a                    Adimir requested that items be shipped                time (and until late November 2016),
                                              person, either at the time of the TDO’s                 to a freight forwarder in Finland, rather             told the U.S. Government that Eastline
                                              issuance or thereafter, who is related to               than to Adimir in Estonia.                            started in 2005 as an independent
                                              a respondent ‘‘by ownership, control,                      In sum, the March 2015 TDO                         distributor of electronic parts and
                                              position of responsibility, affiliation, or             described a procurement scheme that                   components, among other items.
                                              other connection in the conduct of trade                featured exports of U.S.-origin items                 Kosmachov stated that 99% of Eastline’s
                                              or business.’’ 15 CFR 766.23(a).                        structured as transshipments to                       business was in electronic components
                                                                                                      camouflage the actual destination, end                and that its primary customers are in
                                              III. The March 2015 TDO and Adimir
                                                                                                      users and/or end uses of the items. As                Russia. According to Kosmachov, he
                                              OU’S Admitted Transshipment
                                                                                                      noted above, while Adimir had been                    chose to do business in Estonia because
                                              Activities
                                                                                                      involved in transshipping the items to                ‘‘it was easier to get electronics into
                                                 The March 2015 TDO issued against                    Russia, Adimir was not made a party to                Estonia than it was into Russia.’’ He also
                                              Flider Electronics, LLC d/b/a Trident                                                                         stated that U.S. companies were ‘‘easier
                                                                                                      the March 2015 TDO, as it was believed
                                              International Corporation (‘‘Trident’’),                                                                      to deal with as a European company,
                                                                                                      to have already ceased operating. The
                                              Pavel Semenovich Flider (Trident’s                                                                            rather than as a Russian company.’’
                                                                                                      March 2015 TDO and related
                                              president and owner), and Gennadiy                                                                            Kosmachov indicated that ‘‘all Eastline’s
                                                                                                      investigation appears to have for a time
                                              Semenovich Flider (Trident’s office                                                                           shipments to Russia go across the
                                                                                                      deterred Adimir and those affiliated or
                                              manager) for engaging in conduct                                                                              Tallinn-Helsinki Ferry to Helsinki and
                                                                                                      associated with it from engaging in
                                              prohibited by the Regulations by                                                                              then across the Finnish-Russian border’’
                                                                                                      similar activities. However, OEE has
                                              exporting items subject to the EAR to                                                                         because it was ‘‘cheaper’’ and took ‘‘less
                                                                                                      presented evidence as part of its current
                                              Russia via transshipment through third                                                                        time’’ than shipping directly from
                                                                                                      TDO request indicating that by at least
                                              countries, including Estonia and                                                                              Estonia to Russia. Also present at this
                                              Finland. Contemporaneous to these                       May 2017, Kosmachov and Vetrov were
                                                                                                      using a revised scheme with Eastline                  meeting was another individual
                                              events, in or about March 2015, in an                                                                         identified as a purchasing manager for
                                              indictment unsealed in the United                       identified falsely as the ultimate
                                                                                                      consignee and have expanded their                     both Eastline and Real Components.
                                              States District Court for the Northern                                                                        Kosmachov indicated that Eastline
                                              District of California, Pavel Flider was                activities to include the procurement of
                                                                                                      U.S.-origin items by both Eastline and                partners with Real Components, which
                                              charged with fifteen counts of                                                                                is owned by Vetrov.
                                              smuggling goods, one count of                           Adimir, including as recently as August
                                                                                                      and September 2018.                                      In a subsequent meeting in March
                                              conspiracy to commit international                                                                            2016, Kosmachov confirmed that
                                              money laundering, and ten counts of                     IV. Subsequent Interviews With                        nothing had changed in relation to
                                              money laundering, and Trident was                       Kosmachov About Eastline, the                         Eastline since the May 2015 meeting
                                              charged with all the same counts, except                Detention of an Attempted                             and that he continued to own Adimir,
                                              conspiracy. On August 16, 2016, Pavel                   Transshipment in May 2017, and More                   which shares business addresses with
                                              Flider pled guilty to two counts of                     Recent Procurement and                                Eastline. He noted again that Eastline
                                              felony smuggling, and Trident pled                      Transshipment Activities Involving                    primarily exports to Real Components
                                              guilty to two counts of money                           Eastline and Adimir                                   in Russia. The purchasing manager for
                                              laundering involving the transshipment                                                                        both Eastline and Real Components was
                                              of U.S.-origin electronic components                       OEE’s current request for a TDO
                                                                                                      includes evidence that an ongoing                     again present at this meeting.
                                              through Estonia and Finland to Russia.                                                                           OEE has presented evidence that
                                              During the investigation, U.S.                          procurement scheme involves Eastline
                                                                                                                                                            Kosmachov and Vetrov remained the
                                              authorities identified other companies                  and Adimir in Estonia and Eastline’s
                                                                                                                                                            acknowledged shareholders in Eastline
                                              and individuals involved in the                         customer and partner Real Components
                                                                                                                                                            until November 29, 2016, at which time
                                              transshipment of U.S.-origin electronic                 Ltd. in Russia, all of whom share or
                                                                                                                                                            Valeria Mihhailova, who is believed to
                                              components to Russia.                                   have shared a common web of
                                                                                                                                                            be Kosmachov’s daughter, became listed
                                                 Specifically, for example, Trident’s                 ownership or control involving
                                                                                                                                                            as the sole shareholder. Information
                                              president and owner, Pavel Flider,                      Kosmachov and Vetrov. For example,
                                                                                                                                                            obtained from a May 2017 detention by
                                              identified Adimir in Estonia as the                     Adimir and Eastline not only share a
                                                                                                                                                            the Department of Homeland Security
                                              ultimate consignee in a shipment of                     common address but also have shared a
                                                                                                                                                            indicates, moreover, that Kosmachov
                                              Xilinix field programmable gate array                   common owner in Kosmachov, who, as
                                                                                                                                                            and Vetrov continue to be active in
                                              circuits that were controlled under                     discussed supra, previously admitted to
                                                                                                                                                            Eastline’s business operations by having
                                              Export Control Classification Number                    using Adimir to transship U.S.-origin
                                                                                                                                                            items from the United States procured
                                              3A001.a.2.c for national security reasons               items to Russia. Kosmachov remains
                                                                                                                                                            under their names for Eastline and
                                              and required a license for export to                    active in Eastline’s procurement
                                                                                                                                                            delivered on Eastline’s behalf to a
                                              Russia. OEE presented evidence that                     operations, though company registration
                                                                                                                                                            package forwarder’s address in the
                                              indicated that Adimir was not the end                   documents do not currently list him as
                                                                                                                                                            United States. The package forwarder
                                              user of the items. In addition,                         a shareholder. Furthermore, Eastline
                                                                                                                                                            then consolidated multiple Eastline
                                              Kosmachov, an Adimir corporate officer                  and Real Components both have ties to
                                                                                                                                                            shipments into one export and, based on
                                              and its owner, admitted that Adimir had                 Vetrov, with his continuing
                                                                                                                                                            information provided by Eastline,
                                              transshipped U.S.-origin items to Russia                involvement in Eastline procurement
amozie on DSK3GDR082PROD with NOTICES1




                                                                                                                                                            created a commercial invoice and made
                                              for Trident and Pavel Flider. In an                     activities and ownership of Real
                                                                                                                                                            an Electronic Export Information
                                              interview with OEE, Trident office                      Components. As set forth below, OEE
                                                                                                                                                            (‘‘EEI’’) filing in the Automated Export
                                              manager Gennadiy Flider stated that                     has presented evidence of these
                                                                                                                                                            System (‘‘AES’’) 3 listing Estonia as the
                                              Trident had been doing business with                    relationships based on interviews with
                                              Adimir for many years and that it was                   Eastline in 2015–2016, a detained                       3 The AES system is used by BIS (and U.S.
                                              the only customer Trident had.                          shipment in May 2017 and information                  Customs and Border Protection) for export control
                                              Similarly, Pavel Flider stated in an                    related to recent export activities.                                                            Continued




                                         VerDate Sep<11>2014   17:16 Oct 01, 2018   Jkt 247001   PO 00000   Frm 00012   Fmt 4703   Sfmt 4703   E:\FR\FM\02OCN1.SGM   02OCN1


                                              49542                        Federal Register / Vol. 83, No. 191 / Tuesday, October 2, 2018 / Notices

                                              ultimate destination and Eastline as the                V. Findings                                           find that Real Components meets the
                                              ultimate consignee, even though                            I find that the evidence presented by              criteria set out in Section 776.23 and
                                              Eastline has admitted that it is not an                 BIS demonstrates that a violation of the              should be added to the TDO as a related
                                              end user and that its primary customers                 Regulations is imminent in both time                  person in order to prevent evasion.
                                              are in Russia. The related export                       and degree of likelihood. Eastline,                      This Order is being issued on an ex
                                              documents listed the ‘‘bill to’’ party as                                                                     parte basis without a hearing based
                                                                                                      Adimir, Kosmachov, and Vetrov have
                                              ‘‘Eastline Technologies OU, Attn: Valery                                                                      upon BIS’s showing of an imminent
                                                                                                      engaged in knowing violations of the
                                              Kosmachov’’ in Estonia, and the ‘‘ship                                                                        violation in accordance with Section
                                                                                                      Regulations relating to the procurement
                                              to’’ as ‘‘Eastline Technologies OU, Attn:                                                                     766.24 of the Regulations.
                                                                                                      of U.S.-origin items subject to the                      It is therefore ordered:
                                              Sergey Vetrov’’ at the package                          Regulations for export to Russia, via
                                              forwarder’s address in the United States.                                                                        First, that EASTLINE
                                                                                                      transshipment through Estonia and                     TECHNOLOGIES OU, with last known
                                              Furthermore, OEE has presented                          Finland, while providing false or
                                              evidence that Kosmachov and Vetrov                                                                            addresses at Akadeemia tee 21, 12618
                                                                                                      misleading information regarding the                  Tallinn, Estonia, and Peterburi tee 47–
                                              currently have access to Eastline bank                  ultimate consignee and final destination
                                              accounts.                                                                                                     210, 11415 Tallinn, Estonia, ADIMIR
                                                                                                      of the items to U.S. suppliers and/or the             OU, with last known addresses at
                                                 Based on a review of EEI filings in                  U.S. Government. The ways in which                    Akadeemia tee 21, 12618 Tallinn,
                                              AES for 2018, Eastline continued to                     their export transactions have been                   Estonia, and Peterburi tee 47–210,
                                              order U.S.-origin items and have them                   structured and routed appear designed                 11415 Tallinn, Estonia, VALERY
                                              delivered to its package forwarder in the               to conceal or obscure the destinations,               KOSMACHOV, a/k/a VALERI
                                              U.S., for consolidation and export from                 end users, and/or end uses of the U.S.-               KOSMACHOV, a/k/a VALERY
                                              the United States, with Eastline listed as              origin items they procure, including                  KOSMATSOV, a/k/a VALERY
                                              the ultimate consignee at its address in                items on the Commerce Control List,                   KOSMATSHOV, a/k/a VALERY
                                              Estonia, including as recently as June                  thereby attempting to avoid export                    KOSMACHEV, with a last known
                                              2018. Based on the transshipment                        control scrutiny and possible detection               address at Vabaõhukooli tee 76–A9,
                                              activities described in the March 2015                  by U.S. law enforcement.                              12015 Tallinn, Estonia, SERGEY
                                              TDO, the May 2017 detention, and its                       In sum, the facts and circumstances                VETROV, a/k/a SERGEI VETROV, with
                                              ongoing investigation, OEE has reason                   taken together, including the                         a last known address at 6–39 Karl Marx
                                              to believe these items were actually                    transshipment of U.S.-origin items,                   Str., Ramenskoye, Moscow, Russia,
                                              intended for Real Components or                         misrepresentations made in AES filings,               140100, and REAL COMPONENTS
                                              another Russian customer and thus were                  and concerted actions of the                          LTD., with a last known address at 8–
                                              transshipped to Russia. In addition,                    Respondents, provide strong indicators                1 Aviamotornaya Str., Moscow, Russia,
                                              Eastline represents itself on its website               that future violations are likely absent              111024, and when acting for or on their
                                              as an independent ‘‘distributor’’ of                    the issuance of a TDO. As such, a TDO                 behalf, any successors, assigns,
                                              electronic computers for such locations                 is needed to give notice to persons and               directors, officers, employees, or agents
                                              as Russia, lending additional support to                companies in the United States and                    (each a ‘‘Denied Person’’ and
                                              OEE’s contention that Eastline is not an                abroad that they should cease dealing                 collectively the ‘‘Denied Persons’’) may
                                              end user of the items it procures.                      with Eastline, Adimir, Kosmachov, and                 not, directly or indirectly, participate in
                                              Moreover, OEE is concerned that                         Vetrov in export transactions involving               any way in any transaction involving
                                              Respondents’ strategy of using a package                items subject to the EAR. Accordingly,                any commodity, software or technology
                                              forwarder in the United States to                       I find that an order denying the export               (hereinafter collectively referred to as
                                              consolidate orders placed with multiple                 privileges of Eastline, Adimir,                       ‘‘item’’) exported or to be exported from
                                              U.S. manufacturers or suppliers, rather                 Kosmachov, and Vetrov is necessary, in                the United States that is subject to the
                                              than having the items exported directly                 the public interest, to prevent an                    Export Administration Regulations
                                              by the manufacturers or suppliers                       imminent violation of the EAR.                        (‘‘EAR’’), or in any other activity subject
                                              themselves, may be part of a concerted                     Additionally, Section 766.23 of the                to the EAR including, but not limited to:
                                              effort to conceal their activities.                     Regulations provides that in order to                    A. Applying for, obtaining, or using
                                                 Further, OEE has presented evidence                  prevent evasion, TDOs ‘‘may be made                   any license, license exception, or export
                                              indicating that both Eastline and Adimir                applicable not only to the respondent,                control document;
                                              have received shipments of U.S.-origin                  but also to other persons then or                        B. Carrying on negotiations
                                              items as recently as August and                         thereafter related to the respondent by               concerning, or ordering, buying,
                                              September 2018, including shipments                     ownership, control, position of                       receiving, using, selling, delivering,
                                              directly to Eastline and Adimir and                     responsibility, affiliation, or other                 storing, disposing of, forwarding,
                                              shipments to Eastline through its                       connection in the conduct of trade or                 transporting, financing, or otherwise
                                              package forwarder in the United States.                 business.’’ 15 CFR 766.23(a). Eastline                servicing, in any way, any transaction
                                              Kosmachov’s involvement in both                         and Real Components are intertwined in                involving any item exported or to be
                                              Eastline and Adimir, Adimir’s prior                     ownership and control and in their                    exported from the United States that is
                                              involvement with transshipment of                       conduct of business. As noted above,                  subject to the EAR, or engaging in any
                                              controlled U.S.-origin items to Russia,                 Vetrov owns Real Components,                          other activity subject to the EAR; or
                                              and Adimir’s continued receipt of U.S.-                 Eastline’s primary customer in Russia,                   C. Benefitting in any way from any
                                              origin items, taken together, indicate                  and also remains active in Eastline,                  transaction involving any item exported
                                              that Adimir as well as Eastline presents                including apparently receiving                        or to be exported from the United States
amozie on DSK3GDR082PROD with NOTICES1




                                              an imminent threat of a violation of the                shipments on behalf of the company                    that is subject to the EAR, or from any
                                              Regulations and thus a temporary denial                 and also holding a bank card in                       other activity subject to the EAR.
                                              order is appropriate.                                   Eastline’s name. The two companies                       Second, that no person may, directly
                                                                                                      also share a purchasing manager, further              or indirectly, do any of the following:
                                              and clearance purposes and used by the U.S.
                                                                                                      suggesting that Eastline serves as a                     A. Export or reexport to or on behalf
                                              Census Bureau to, inter alia, collect export            procurement and transshipment agent                   of a Denied Person any item subject to
                                              statistics.                                             for Real Components. Accordingly, I                   the EAR;


                                         VerDate Sep<11>2014   17:16 Oct 01, 2018   Jkt 247001   PO 00000   Frm 00013   Fmt 4703   Sfmt 4703   E:\FR\FM\02OCN1.SGM   02OCN1


                                                                           Federal Register / Vol. 83, No. 191 / Tuesday, October 2, 2018 / Notices                                                        49543

                                                 B. Take any action that facilitates the                 In accordance with the provisions of                information pertaining to the scope and
                                              acquisition or attempted acquisition by                 Section 766.24(d) of the EAR, BIS may                  allegations contained in the petition.2
                                              a Denied Person of the ownership,                       seek renewal of this Order by filing a                 The petitioner supplemented the record
                                              possession, or control of any item                      written request not later than 20 days                 in response to these requests.3
                                              subject to the EAR that has been or will                before the expiration date. Eastline                      In accordance with section 732(b) of
                                              be exported from the United States,                     Technologies OU, Adimir OU, Valery                     the Tariff Act of 1930, as amended (the
                                              including financing or other support                    Kosmachov, and Sergey Vetrov may                       Act), the petitioner alleges that imports
                                              activities related to a transaction                     oppose a request to renew this Order by                of strontium chromate from Austria and
                                              whereby a Denied Person acquires or                     filing a written submission with the                   France are being, or are likely to be, sold
                                              attempts to acquire such ownership,                     Assistant Secretary for Export                         in the United States at less than fair
                                              possession or control;                                  Enforcement, which must be received                    value within the meaning of section 731
                                                 C. Take any action to acquire from or                not later than seven days before the                   of the Act, and that such imports are
                                              to facilitate the acquisition or attempted              expiration date of the Order.                          materially injuring, or threatening
                                              acquisition from a Denied Person of any                    A copy of this Order shall be sent to               material injury to, the domestic industry
                                              item subject to the EAR that has been                   Eastline Technologies OU, Adimir OU,                   producing strontium chromate in the
                                              exported from the United States;                        Valery Kosmachov, Sergey Vetrov, and                   United States. Consistent with section
                                                 D. Obtain from a Denied Person in the                Real Components Ltd., and shall be                     732(b)(1) of the Act, the Petitions are
                                              United States any item subject to the                   published in the Federal Register.                     accompanied by information reasonably
                                              EAR with knowledge or reason to know                       This Order is effective upon issuance
                                                                                                                                                             available to the petitioner supporting its
                                              that the item will be, or is intended to                and shall remain in effect for 180 days.
                                                                                                                                                             allegation.
                                              be, exported from the United States; or                 Douglas Hassebrock,                                       We find that the petitioner filed the
                                                 E. Engage in any transaction to service              Director, Office of Export Enforcement,                Petitions on behalf of the domestic
                                              any item subject to the EAR that has                    performing the non-exclusive functions and             industry because the petitioner is an
                                              been or will be exported from the                       duties of the Assistant Secretary of Commerce
                                                                                                                                                             interested party as defined in section
                                              United States and which is owned,                       for Export Enforcement.
                                                                                                                                                             771(9)(C) of the Act. We also find that
                                              possessed or controlled by a Denied                     [FR Doc. 2018–21446 Filed 10–1–18; 8:45 am]
                                                                                                                                                             the petitioner demonstrated sufficient
                                              Person, or service any item, of whatever                BILLING CODE P
                                                                                                                                                             industry support with respect to the
                                              origin, that is owned, possessed or
                                              controlled by a Denied Person if such                                                                             2 See Commerce’s Letters, ‘‘Petitions for the
                                              service involves the use of any item                    DEPARTMENT OF COMMERCE                                 Imposition of Antidumping Duties on Imports of
                                              subject to the EAR that has been or will                                                                       Strontium Chromate from Austria and France:
                                              be exported from the United States. For                 International Trade Administration                     Supplemental Questions,’’ dated September 7,
                                              purposes of this paragraph, servicing                                                                          2018; ‘‘Petition for the Imposition of Antidumping
                                                                                                      [A–433–813 and A–427–830]
                                                                                                                                                             Duties on Imports of Strontium Chromate from
                                              means installation, maintenance, repair,                                                                       France: Supplemental Questions,’’ dated September
                                              modification or testing.                                Strontium Chromate From Austria and                    7, 2018; ‘‘Petition for the Imposition of
                                                 Third, that, after notice and                        France: Initiation of Less-Than-Fair-                  Antidumping Duties on Imports of Strontium
                                              opportunity for comment as provided in                  Value Investigations                                   Chromate from Austria: Supplemental Questions,’’
                                                                                                                                                             dated September 7, 2018; ‘‘Phone Call with Counsel
                                              Section 766.23 of the EAR, any other                    AGENCY:  Enforcement and Compliance,                   to Petitioner,’’ dated September 14, 2018; ‘‘Phone
                                              person, firm, corporation, or business                  International Trade Administration,                    Call with Counsel to Petitioner,’’ dated September
                                              organization or entity related to Eastline              Department of Commerce.
                                                                                                                                                             17, 2018; and Memorandum, ‘‘Petitions for the
                                              Technologies OU, Adimir OU, Valery                                                                             Imposition of Antidumping Duties on Imports of
                                                                                                      DATES: Applicable September 25, 2018.                  Strontium Chromate from Austria and France;
                                              Kosmachov, or Sergey Vetrov by                                                                                 Phone Call with Counsel to the Petitioner,’’ dated
                                              ownership, control, position of                         FOR FURTHER INFORMATION CONTACT:                       September 19, 2018 (September 19, 2018
                                              responsibility, affiliation, or other                   Dennis McClure or Brian Smith at (202)                 Memorandum).
                                              connection in the conduct of trade or                   482–5973 or (202) 482–1766,                               3 See the petitioner’s Letters, titled, ‘‘Petitioner’s

                                              business may also be made subject to                    respectively; AD/CVD Operations,                       Response to the Department of Commerce’s
                                                                                                                                                             September 7, 2018 General Issues Questionnaire
                                              the provisions of this Order.                           Enforcement and Compliance,                            Regarding the Petitions for the Imposition of
                                                 In accordance with the provisions of                 International Trade Administration,                    Antidumping Duties on Strontium Chromate from
                                              Section 766.24(e) of the EAR, Eastline                  U.S. Department of Commerce, 1401                      France and Austria,’’ dated September 13, 2018
                                                                                                      Constitution Avenue NW, Washington,                    (General Issues Supplement); ‘‘Petitioner’s
                                              Technologies OU, Adimir OU, Valery                                                                             Response to the Department of Commerce’s
                                              Kosmachov, and Sergey Vetrov may, at                    DC 20230.                                              September 7, 2018 Volume II Supplemental
                                              any time, appeal this Order by filing a                 SUPPLEMENTARY INFORMATION:                             Questionnaire Regarding the Petitions for the
                                              full written statement in support of the                                                                       Imposition of Antidumping Duties on Strontium
                                                                                                      The Petitions                                          Chromate from Austria’’, dated September 13, 2018
                                              appeal with the Office of the                                                                                  (Austria AD Supplement); ‘‘Petitioner’s Response to
                                              Administrative Law Judge, U.S. Coast                       On September 5, 2018, the U.S.
                                                                                                                                                             the Department of Commerce’s September 7, 2018
                                              Guard ALJ Docketing Center, 40 South                    Department of Commerce (Commerce)                      Volume II Supplemental Questionnaire Regarding
                                              Gay Street, Baltimore, Maryland 21202–                  received antidumping duty (AD)                         the Petitions for the Imposition of Antidumping
                                              4022.                                                   petitions concerning imports of                        Duties on Strontium Chromate from France,’’ dated
                                                                                                      strontium chromate from Austria and                    September 13, 2018 (France AD Supplement);
                                                 In accordance with the provisions of                                                                        ‘‘Petitioner’s Response to Questions from the
                                              Sections 766.23(c)(2) and 766.24(e)(3) of               France, filed in proper form on behalf of              Department of Commerce’s September 14, 2018
                                              the EAR, Real Components Ltd. may, at                   the Lumimove Inc., d.b.a. WPC                          Phone Call Regarding the Petitions for the
amozie on DSK3GDR082PROD with NOTICES1




                                              any time, appeal its inclusion as a                     Technologies (the petitioner).1                        Imposition of Antidumping Duties on Strontium
                                                                                                         From September 7 to 19, 2018, we                    Chromate from France and Austria,’’ dated
                                              related person by filing a full written                                                                        September 17, 2018 (Second Supplement); and
                                              statement in support of the appeal with                 requested from the petitioner                          ‘‘Petitioner’s Response to Questions from the
                                              the Office of the Administrative Law                                                                           Department of Commerce’s September 17, 2018
                                                                                                        1 See the petitioner’s Letter, ‘‘Petitions for the   Phone Call Regarding the Petitions for the
                                              Judge, U.S. Coast Guard ALJ Docketing                   Imposition of Antidumping Duties on Strontium          Imposition of Antidumping Duties on Strontium
                                              Center, 40 South Gay Street, Baltimore,                 Chromate from Austria and France,’’ dated              Chromate from France and Austria,’’ dated
                                              Maryland 21202–4022.                                    September 5, 2018 (the Petitions).                     September 18, 2018 (Third Supplement).



                                         VerDate Sep<11>2014   17:16 Oct 01, 2018   Jkt 247001   PO 00000   Frm 00014   Fmt 4703   Sfmt 4703   E:\FR\FM\02OCN1.SGM    02OCN1



Document Created: 2018-10-02 01:19:17
Document Modified: 2018-10-02 01:19:17
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionNotices
FR Citation83 FR 49540 

2024 Federal Register | Disclaimer | Privacy Policy
USC | CFR | eCFR