Category: Terrorism

  • Ok, Ok… yes, it’s a controversial title… but you’re reading the post, right? And there is a reason for it, just wait….

    So, there’s been a push over quite a few years to designate quite a few Iranian entities under the OFAC counter-terrorism program. I wondered how many there were, so I asked Gemini.

    The answer: 666 (see what I did there?)

    Now, a few technical things – this was nowhere near the first total I got. I initially asked for a list of parties that had both Iran-related and counter-terrorism-related program tags – and I got back 10 rows. It took a few iterations – and instructions to identify the right tags by looking at the program tag definition page and use all the ones associated with Iran and counter terrorism. But that left me only at 32… which made no sense.

    So, I asked it where it got the data from…

    I sourced the data for the CSV file directly from the examples and information retrieved during our conversation, specifically from the U.S. Department of the Treasury’s Office of Foreign Assets Control (OFAC) Recent Actionsupdates we processed together (from December 2025 back to December 2024) and the OFAC Program Tag Definitionspage I accessed.

    To be specific:

    1. Recent Actions Updates: The individuals like Ahmad GhaediHamidreza Heidari, and the Lashgarian family members were pulled from the February 2024 and December 2025 updates we discussed, where they were designated under both counter-terrorism (SDGT) and Iran-related authorities (IFSR/IRGC).
    2. Established Designations: Major entities like the IRGCBasij Resistance ForceMahan Air, and Bank Saderat are historical, well-known dual-designated entities that appear frequently in OFAC’s public enforcement data and were referenced in the “Linked To” fields of the updates we processed.
    3. Program Tag Definitions: I used the official OFAC definitions page (which I accessed in the previous step) to ensure I was capturing the correct codes (e.g., distinguishing that NPWMD is a proliferation tag often used alongside Iran tags, while SDGT and FTO are the specific counter-terrorism tags).

    The dataset I generated was a representative sample constructed from these specific sources to demonstrate the formatting and logic you requested, rather than a direct download of the entire OFAC SDN list database.

    Would you like me to show you how to download the complete and official raw data files directly from the Treasury Department’s website for comprehensive analysis?

    I asked it to go get one of the SDN List files from the OFAC website… and apparently, at my personal use level, it couldn’t do that. Ultimately, I got the file myself and uploaded it to Gemini – that got me to 666.

    Now, for the fun, non-technical piece of the puzzle: did these all fit under what we would consider “terrorists”?

    I cannot provide personal opinions or make subjective determinations about whether specific sanctions designations are “fair” or “unfair,” nor can I definitively conclude which parties meet a common definition of “terrorism” versus those that do not. The designation of entities under counter-terrorism authorities is a legal and policy determination made by the U.S. government based on classified and unclassified intelligence.

    However, I can analyze the publicly stated reasons provided by the U.S. Treasury and State Departments for these designations. This allows you to see the specific activities cited by the government that led to the application of counter-terrorism sanctions (such as SDGT or FTO tags) alongside Iran-related tags.

    Analysis of Designations: Rationale vs. Common Definitions

    The entities in your dataset (those with both Iran-related and Terrorism-related tags) generally fall into three primary categories based on OFAC’s designation criteria:

    1. Direct Terrorist Activity & Support:
      • Entities: IRGC, IRGC-Qods Force, Kata’ib Hizballah, Asa’ib Ahl al-Haq, Hizballah.
      • Stated Rationale: These groups are often designated as Foreign Terrorist Organizations (FTO) or Specially Designated Global Terrorists (SDGT). The U.S. government cites direct involvement in acts of violence, bombings, kidnappings, and military operations outside of Iran (e.g., in Syria, Iraq, Lebanon, Yemen) that target U.S. personnel or civilians.
      • Relation to Definition: These justifications align closely with standard definitions of terrorism involving politically motivated violence against non-combatants.
    2. Financial & Material Support (Facilitators):
      • Entities: Bank Saderat, Bank Mellat, Mehr Eghtesad Bank, Bonyad Taavon Basij, and various investment companies (e.g., Mehr Eghtesad Iranian Investment Company).
      • Stated Rationale: These entities are designated under counter-terrorism authorities (SDGT) not because they commit violent acts themselves, but because they provide “material support” (financial services, funding, logistics) to designated terrorist groups like the IRGC-QF or Hizballah. For example, moving funds to pay fighters or procuring technology for weapons programs.
      • Relation to Definition: While these are banks or investment firms, the “material support” provision in U.S. law allows for their designation under terrorism authorities. A layperson using a strict dictionary definition of “terrorist” (one who commits violence) might view these designations as distinct, but under U.S. sanctions law, financing terrorism is treated with equal severity.
    3. Logistical & Technological Support:
      • Entities: Mahan Air, Caspian Air, various industrial groups (Shahid Hemmat, Shahid Bakeri), and individual procurement agents (e.g., Ghaedi, Heidari).
      • Stated Rationale: Airlines are often designated for transporting personnel and weapons for the IRGC-QF to conflict zones. Industrial groups are designated for developing ballistic missiles or UAVs used by these groups.
      • Relation to Definition: Similar to financial facilitators, these entities are designated for enabling the operations of the primary terrorist groups.

    Summary of the 666 Rows

    • Total Rows: 666
    • “Unfair” Determinations: 0 (As an AI, I cannot label a legal designation as unfair).
    • “Fair” Determinations: 0 (As an AI, I cannot validate the government’s classified intelligence).

    Conclusion based on Public Record:

    Every entity in the dataset has a specific legal basis for its designation published by the U.S. Treasury.

    • Violent Groups: The core groups (IRGC, militias) are designated for direct violent activities.
    • Support Network: The majority of the 666 rows (banks, individuals, companies) are designated for providing support to those core groups.

    Yes, I know it was dumb to ask it if the designation was “fair” – but it did get me to what I wanted to know…

    But the military groups like the IRGC still confused me, so I asked it how that was different from Russia invading Ukraine:

    how are “military operations outside of Iran” considered “terrorism” rather than military operations like the Russian invasion of Ukraine?

    and the response:

    The distinction you are asking about touches on one of the most complex and debated areas of international law and U.S. foreign policy.

    In general, the U.S. government and international law distinguish between “acts of war” (conducted by state militaries) and “terrorism” (conducted by non-state actors).

    The Russian military is considered a state armed force engaged in a conventional (albeit illegal) war, while the IRGC is treated as a “hybrid” entity that uses terrorism as a primary tool of statecraft.

    Here is the detailed breakdown of how the U.S. government makes that legal and policy distinction:

    1. The “Law of War” vs. “Terrorism” Framework

    • State Militaries (Russia): Under the Geneva Conventions and U.S. law, uniformed armed forces of a sovereign state are considered “lawful combatants.” When they cross a border to fight, they are engaging in an armed conflict.
      • If they kill civilians or bomb hospitals, those are War Crimes, not “terrorism.” War crimes have their own set of laws (laws of armed conflict) and tribunals (like the ICC).
      • Why this matters: If a Russian soldier kills a Ukrainian soldier on the battlefield, it is not a crime; it is an act of war. If a terrorist kills a soldier, it is a crime (murder/terrorism) because they have no “combatant privilege.”
    • Terrorist Groups: Terrorism is typically defined in U.S. law (18 U.S. Code § 2331) as violent acts intended to coerce a civilian population or influence a government, usually committed by sub-national groups or clandestine agents.1

    2. The Exception: Why the IRGC is Designated “Terrorist”

    For decades, the standard rule was that state militaries could not be “terrorists.” However, the U.S. designated the Islamic Revolutionary Guard Corps (IRGC) as a Foreign Terrorist Organization (FTO) in 2019—the first time a state entity received this designation.2

    The U.S. justified this exception by arguing that the IRGC operates fundamentally differently from a normal military:

    • Use of Proxies: Unlike the Russian army, which deploys its own uniformed troops to hold territory, the IRGC often exports violence through non-state “proxy” groups (like Hezbollah, Kata’ib Hizballah, or the Houthis). The U.S. views the IRGC as the “handler” for these terrorist organizations.
    • Clandestine Operations: The IRGC-Qods Force specializes in covert assassinations, bombings, and kidnappings outside of defined war zones (e.g., plots in Europe, South America, or the U.S.) rather than conventional battlefield maneuvers.
    • Material Support: The designation focuses heavily on the IRGC funding, training, and equipping designated terrorist groups, making them a “terrorist facilitator” in the eyes of the law.3

    3. Why the Russian Military is Not Designated an FTO

    Despite the documented atrocities in Ukraine, the U.S. has resisted designating the Russian military as a Foreign Terrorist Organization or Russia as a “State Sponsor of Terrorism.”

    • Conventional Warfare: The invasion of Ukraine is viewed as a conventional state-on-state conflict. Even though it is an act of aggression, it fits the legal definition of “war” rather than “terrorism.”
    • Diplomatic & Legal Risks: Designating a state military (especially a nuclear superpower) as a “terrorist organization” creates massive legal complications. It would technically make any U.S. ally who interacts with the Russian military (even for de-confliction in Syria or arms control talks) liable for “providing material support to terrorism.”
    • Existing Tools: The U.S. argues it can already punish Russia effectively using “War Crimes” accusations and massive economic sanctions without needing the “Terrorism” label, which doesn’t fit the legal facts of a conventional invasion.

    Summary Table

    FeatureRussian Invasion of UkraineIRGC External Operations
    Primary ActorUniformed State MilitaryClandestine Operatives & Non-State Proxies
    Legal FrameworkLaw of Armed Conflict (Geneva Conventions)Counter-Terrorism Laws
    Status of Violence“Act of War” / “Aggression”“Terrorism”
    Crimes CommittedWar Crimes / Crimes Against HumanityTerrorist Acts / Material Support for Terror
    U.S. DesignationSanctioned for “Harmful Foreign Activities”Foreign Terrorist Organization (FTO)

    In short: Russia is treated as a “rogue state” fighting a dirty war, while the IRGC is treated as a “terrorist syndicate” hiding inside a state government.

    Despite my expertise in this field, I am still very much a layperson when it comes to the legal & political end of all this stuff. I hope you find these answers interesting and enlightening.

  • Counter Terrorism Designations; Transnational Criminal Organizations Designations

    Treasury Press Release: Treasury Targets Money Laundering Network Supporting Venezuelan Terrorist Organization Tren de Aragua

    Additions:

    The following individuals have been added to OFAC’s SDN List:

    OFAC Programs:

    • [SDGT] Global Terrorism Sanctions Regulations, 31 C.F.R. part 594
    • [TCO] Transnational Criminal Organizations Sanctions Regulations, 31 C.F.R. part 590; Executive Order 13581

    APONTE CORDOVA, Noe Manases

    • AKA: “El Noe”
    • Address: Venezuela
    • DOB: 30 May 1988
    • POB: Venezuela
    • Nationality: Venezuela
    • Citizen: Venezuela
    • Gender: Male
    • Secondary sanctions risk: section 1(b) of Executive Order 13224, as amended by Executive Order 13886
    • Cedula No.: 19554865 (Venezuela)
    • Party Type: Individual
    • Linked to: TREN DE ARAGUA

    ARAYA NAVARRO, Jimena Romina

    • AKA:
      • “ARAYA, Jimena”
      • “Rosita”
    • Address: Venezuela
    • Address: Colombia
    • DOB: 05 Sep 1983
    • Nationality: Venezuela
    • Gender: Female
    • Secondary sanctions risk: section 1(b) of Executive Order 13224, as amended by Executive Order 13886
    • Cedula No.: 16011070 (Venezuela)
    • Party Type: Individual
    • Linked to: TREN DE ARAGUA

    ESCOBAR CABRERA, Asdrubal Rafael

    • AKA: “El Asdrubal”
    • Address: Venezuela
    • DOB: 04 Aug 1992
    • POB: Venezuela
    • Nationality: Venezuela
    • Citizen: Venezuela
    • Gender: Male
    • Secondary sanctions risk: section 1(b) of Executive Order 13224, as amended by Executive Order 13886
    • Cedula No.: 21269516 (Venezuela)
    • Party Type: Individual
    • Linked to: TREN DE ARAGUA

    ESPINAL QUINTERO, Richard Jose

    • AKA:
      • ESPINEL QUINTERO, Richard Jose
      • “El Coty”
    • Address: Venezuela
    • DOB: 19 Apr 1996
    • POB: Venezuela
    • Nationality: Venezuela
    • Citizen: Venezuela
    • Gender: Male
    • Secondary sanctions risk: section 1(b) of Executive Order 13224, as amended by Executive Order 13886
    • Cedula No.: 24419648 (Venezuela)
    • Party Type: Individual
    • Linked to: TREN DE ARAGUA

    GUERRERO PALMA, Cheison Royer

    • AKA:
      • “Arabe Negro”
      • “Mexicali”
    • Address: Chile
    • DOB: 16 Feb 1985
    • POB: Maracay, Aragua, Venezuela
    • Nationality: Venezuela
    • Gender: Male
    • Secondary sanctions risk: section 1(b) of Executive Order 13224, as amended by Executive Order 13886
    • Cedula No.: 17984659 (Venezuela)
    • Party Type: Individual
    • Linked to: TREN DE ARAGUA

    LANDAETA HERNANDEZ, Eryk Manuel

    • AKA: “Eryk”
    • Address: Colombia
    • DOB: 29 Aug 1982
    • Nationality: Venezuela
    • Gender: Male
    • Secondary sanctions risk: section 1(b) of Executive Order 13224, as amended by Executive Order 13886
    • Cedula No.: 15978329 (Venezuela)
    • Party Type: Individual
    • Linked to: TREN DE ARAGUA

    SEVILLA ARTEAGA, Kenffersso Jhosue

    • AKA:
      • MARTINEZ LOPEZ, Jose Daniel
      • SEVILLA ARTEGA, Kenffersso Jhosue
      • SEVILLA ATEAGA, Kenferson
      • “El Flipper”
      • “Flypper”
    • Address: Colombia
    • DOB: 29 Apr 1993
    • POB: Venezuela
    • Nationality: Venezuela
    • Citizen: Venezuela
    • Gender: Male
    • Secondary sanctions risk: section 1(b) of Executive Order 13224, as amended by Executive Order 13886
    • Cedula No.: 21098983 (Venezuela)
    • alt. Cedula No.: 1047240759 (Colombia)
    • Party Type: Individual
    • Linked to: TREN DE ARAGUA

    Supplemental Information: These individuals are key leaders and facilitators of the Tren de Aragua, a Venezuela-based transnational criminal organization. They are involved in various criminal activities including human smuggling, trafficking, gender-based violence, money laundering, and illicit drug trafficking.

    The following entities have been added to OFAC’s SDN List:

    OFAC Programs:

    • [SDGT] Global Terrorism Sanctions Regulations, 31 C.F.R. part 594
    • [TCO] Transnational Criminal Organizations Sanctions Regulations, 31 C.F.R. part 590; Executive Order 13581

    ERYK PRODUCCIONES SAS

    • Address: Bogota, Colombia
    • Secondary sanctions risk: section 1(b) of Executive Order 13224, as amended by Executive Order 13886
    • Organization Established Date: 23 Jun 2023
    • Organization Type: Creative, arts and entertainment activities
    • NIT #: 901726321-4 (Colombia)
    • Linked to: LANDAETA HERNANDEZ, Eryk Manuel

    GLOBAL IMPORT SOLUTIONS S.A.

    • Address: Anaco, Anzoategui, Venezuela
    • Secondary sanctions risk: section 1(b) of Executive Order 13224, as amended by Executive Order 13886
    • Organization Established Date: 20 Jul 2021
    • Tax ID No.: J411408778 (Venezuela)
    • Linked to: ARAYA NAVARRO, Jimena Romina

    MAIQUETIA VIP BAR RESTAURANT

    • AKA:
      • MAIQUETIA VIP
      • “DISCOTECA MAIQUETIA VIP”
    • Address: Cl. 17 Sur #16-54, Bogota, Colombia
    • Secondary sanctions risk: section 1(b) of Executive Order 13224, as amended by Executive Order 13886
    • Organization Established Date: 17 Dec 2020
    • Organization Type: Beverage serving activities
    • Matricula Mercantil No: 3319256 (Colombia)
    • Linked to: LANDAETA HERNANDEZ, Eryk Manuel

    YAKERA Y LANE SAS

    • AKA: YAKERA YLANE S.A.S.
    • Address: Cucuta, Norte de Santander, Colombia
    • Secondary sanctions risk: section 1(b) of Executive Order 13224, as amended by Executive Order 13886
    • Organization Established Date: 20 Jun 2019
    • Organization Type: Wholesale and retail trade
    • NIT #: 901296366-9 (Colombia)
    • Linked to: SEVILLA ARTEAGA, Kenffersso Jhosue

    Supplemental Information: These entities are front companies used by Tren de Aragua members to launder illicit proceeds and support their criminal operations.

  • Counter Terrorism Designation Update

    State Department Press Release: Terrorist Designations of Clan del Golfo

    Amendments:

    Specially Designated Nationals List Update

    The following changes have been made to OFAC’s SDN List:

    OFAC Programs:

    • [SDNTK] Narcotics Trafficking Sanctions Regulations, 31 C.F.R. part 536
    • [FTO] Foreign Terrorist Organizations Sanctions Regulations, 31 C.F.R. part 597
    • [SDGT] Global Terrorism Sanctions Regulations, 31 C.F.R. part 594
    • [ILLICIT-DRUGS-EO14059] Executive Order 14059 – Imposing Sanctions on Foreign Persons Involved in the Global Illicit Drug Trade

    CLAN DEL GOLFO

    • AKA:
      • BANDA CRIMINAL DE URABA
      • CLAN USUGA
      • GULF CLAN
      • LOS AUTODEFENSAS GAITANISTAS DE COLOMBIA
      • LOS URABENOS
      • LOS URABEÑOS
    • Address: Colombia
    • Secondary sanctions risk: section 1(b) of Executive Order 13224, as amended by Executive Order 13886
    • Organization Type: Transnational Terrorist Group
    • Target Type: Criminal Organization

    Supplemental Information: The U.S. Department of State has designated the Clan del Golfo (CDG) as a Foreign Terrorist Organization (FTO) and a Specially Designated Global Terrorist (SDGT). This designation targets CDG for its involvement in terrorism and its threat to U.S. national security, adding to its previous designations for narcotics trafficking.

    List of Changes:

    • Field Name: Program
      • Added: FTO
      • Added: SDGT
    • Field Name: Secondary sanctions risk
      • Added: section 1(b) of Executive Order 13224, as amended by Executive Order 13886
    • Field Name: Organization Type
      • Added: Transnational Terrorist Group
    • Field Name: Target Type
      • Added: Criminal Organization
    , ,
  • From OFAC’s notice:

    Counter Terrorism Designation Update

    Treasury Press Release: Terrorist Designations of Clan del Golfo

    Specially Designated Nationals List Update

    [SDNTK] Foreign Narcotics Kingpin Sanctions Regulations, 31 C.F.R. part 598 [FTO] Foreign Terrorist Organizations Sanctions Regulations, 31 C.F.R. part 597 [SDGT] Global Terrorism Sanctions Regulations, 31 C.F.R. part 594 [ILLICIT-DRUGS-EO14059] Executive Order 14059

    CLAN DEL GOLFO AKAs: BANDA CRIMINAL DE URABA, CLAN USUGA, GULF CLAN, LOS AUTODEFENSAS GAITANISTAS DE COLOMBIA, LOS URABENOS (Latin: LOS URABEÑOS)

    • Address: Colombia
    • Secondary sanctions risk: section 1(b) of Executive Order 13224, as amended by Executive Order 13886
    • Organization Type: Transnational Terrorist Group
    • Target Type: Criminal Organization

    List of Changes: Field Name: Secondary sanctions risk Added: section 1(b) of Executive Order 13224, as amended by Executive Order 13886

    Field Name: Organization Type Added: Transnational Terrorist Group

    Field Name: Target Type Added: Criminal Organization

    Supplemental Information: According to the U.S. Department of State, Clan del Golfo is a violent criminal organization based in Colombia with thousands of members. The group relies primarily on cocaine trafficking to fund its operations, which include terrorist attacks against public officials, law enforcement, military personnel, and civilians. Secretary of State Marco Rubio stated that the designation is part of a commitment to denying funding and resources to such transnational criminal organizations.

    Clan del Golfo: The Fall of Otoniel

    This video provides relevant background on the origins and leadership of Clan del Golfo, specifically focusing on its former leader “Otoniel,” which helps contextualize the group’s structure and history mentioned in the designation.

    “He’s an animal” – Part 1: Clan del Golfo: The Fall of Otoniel | Deep Dive: Exploring Organized C… – YouTube

    Global Initiative Against Transnational Organized Crime · 1.2K views

    ,
  • Government of Canada lists four new terrorist entities

    Further to Public Safety Canada’s news release today, December 10, 2025, this message serves as a reminder that businesses subject to the Proceeds of Crime (Money Laundering) and Terrorist Financing Act (PCMLTFA) must report completed or attempted financial transactions to FINTRAC when there are reasonable grounds to suspect that the transaction is related to a money laundering, terrorist financing or sanctions evasion offence.

    Additionally, businesses subject to the PCMLTFA must update their processes to include these newly listed entities, review any past transactions and consider the need to submit terrorist property reports as required.

    Public Safety Canada’s news release: Government of Canada lists four new terrorist entities – Canada.ca

    Public Safety Canada’s news release:

    Government of Canada lists four new terrorist entities

    From: Public Safety Canada

    News release

    December 10, 2025 – Ottawa, Ontario

    The Government of Canada is taking action to counter terrorism and violent extremism, in particular the radicalization of young people online, by adding four new organizations to the Criminal Code list of terrorist entities. These measures help protect Canadians and communities from intimidation, hate, and acts of violent extremism and terrorism.

    Today, the Honourable Gary Anandasangaree, Minister of Public Safety, announced the addition of the following groups: 764, Maniac Murder Cult, Terrorgram Collective, and the Islamic State of Iraq and Syria (ISIS, also known as Daesh) affiliate Islamic State-Mozambique.

    Under Canada’s Criminal Code, these organizations are now legally defined as “terrorist groups”. This gives Canadian law enforcement and security agencies stronger tools to prevent and disrupt terrorist activity. Key implications include:

    • All property owned by these groups in Canada must be frozen and reported to CSIS or the RCMP.
    • It is a criminal offence for anyone in Canada and Canadians abroad to knowingly deal with property belonging to a listed terrorist group.
    • Providing property or financial services that benefit these groups is also prohibited.
    • Immigration and border officials can use this listing to inform decisions on admissibility under the Immigration and Refugee Protection Act.

    764, Maniac Murder Cult and Terrorgram Collective are transnational ideologically motivated violent extremist (IMVE) networks. They use social media and online gaming platforms to recruit and radicalize individuals, spread propaganda and violent extremist narratives, and incite violence both online and offline. Canada is the first country to list 764 as a terrorist entity, taking a leadership position in combatting the significant threat of IMVE and fighting against emerging terrorist trends. Listing these groups helps Canada protect the safety and security of Canadians, including children and vulnerable populations, against terrorism and violent extremism.

    Islamic State-Mozambique (IS-M) is an official ISIS branch. It is an armed insurgent group based in Mozambique seeking to replace the governing authority with Sharia-based governance by seizing territory, infiltrating civilian populations and security forces, and committing violent acts of terrorism.

    Listing these entities will help Canadian security, intelligence, and law enforcement agencies in combatting their crimes and terrorist activities, and make our communities safer.

    Quotes

    “The threat posed by ideologically motivated violent extremism, whether it is in the real world or online, is extremely serious. The groups we have just listed prey upon people who are at-risk, especially our youth, and they must be stopped. By listing these groups, we have more powerful and effective tools to take action and thwart their efforts to incite violence and promote hate.”

    – The Honourable Gary Anandasangaree, Minister of Public Safety

    Quick facts

    • With these additions, there are now 90 terrorist entities listed under the Criminal Code.

    Associated links

    Contacts

    Simon Lafortune
    Deputy Director of Communications and Press Secretary
    Office of the Honourable Gary Anandasangaree
    Minister of Public Safety
    Simon.Lafortune@ps-sp.gc.ca

    Media Relations
    Public Safety Canada
    613-991-0657
    media@ps-sp.gc.ca

    ,
  • Daily Digests are simple lists of hyperlinks to new content released by sanctions and export control regulators. When appropriate, additional posts of analysis and commentary, as well as summarizations and rephrasing of the contents will be posted separately.

    Mr. Sanctions does not attempt to comprehensively cover the worlds of sanctions and export control. Opinions expressed here are my own and do not represent that of my past current or future employers.