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EU’s 19th Russia Sanctions: Full Transaction Ban Slams Payeer

EU’s 19th Russia Sanctions: Full Transaction Ban Slams Payeer

Executive Snapshot

  • Measure: Transaction ban — EU persons and entities are prohibited from executing any transactions with Payeer and other listed operators.

  • Adoption date: 23 Oct 2025 (19th package) (source).

  • Start date for Payeer: 25 Nov 2025 (some other listed parties start 12 Nov 2025).

  • Who is covered: Payeer plus several third-country financial operators (including banks/oil traders) and additional Russian banks cited for sanctions-circumvention support.

  • Context: Lithuania’s FCIS (FNTT) imposed a record ~€9.3m penalty on Payeer UAB in July 2024 for international-sanctions and AML failures (source).

  • Corporate footprint: Current website references “PAYEER trademark — Payeer E.A.S.” with a UK correspondence address; prior operating footprints included Estonia and Lithuania.

Why This Ban Matters

Unlike an asset freeze, a transaction ban cuts across day-to-day commercial life: EU banks, PSPs, card acquirers, crypto venues, merchants, ISPs/tech vendors, and service firms must cease all dealings. The short grace period to 25 Nov 2025 is intended only for technical wind-down. Any continuing relationships with EU counterparties after that date would breach EU law.

Payeer has long been linked to Russia-related activity. With the 19th package, the EU escalates to the system’s most practical constraint—severing its access to regulated payment rails, crypto liquidity, and merchant services within the Union.

(Source: trmlabs.com)

Short Analysis

The EU’s transaction-ban instrument is narrower in legal scope than a classic asset freeze but broader in operational effect. For compliance teams, the risk is now binary: Payeer = blocked counterparty.
Historic red flags—jurisdiction hopping (Estonia → Lithuania → Paraguay E.A.S. with UK maildrop signals), weak controls, and enforcement history—have culminated in a complete prohibition for EU actors. High-risk verticals (gambling, forex, crypto) that relied on Payeer must de-onboard, document termination, and perform retrospective reviews on prior flows.

Required Actions for EU-Regulated Firms

  1. Blocklisting: Add Payeer to Blocked/Prohibited Counterparty lists; update screening tools and vendor registries.

  2. Cease Dealings: Terminate onboarding, processing, or renewals; ensure no indirect facilitation through intermediaries.

  3. KYC/KYB Remediation: Identify and notify merchants/customers with Payeer dependencies; obtain alternative routing or exit.

  4. Lookbacks & SAR/STR: Run targeted historical reviews; file SAR/STRs where suspicious activity or sanctions exposure is indicated.

  5. Recordkeeping & Attestations: Preserve communications, termination notices, and screening logs for competent-authority inspections.

  6. IT & Ops Controls: Disable API keys, integrations, whitelists, and settlement instructions involving Payeer domains/entities.

  7. Contractual Steps: Invoke sanctions clauses; issue formal termination letters and demand attestations from affected partners.

Key Dates & Applicability

  • 23 Oct 2025: EU adopts the 19th sanctions package.

  • 12 Nov 2025: Earlier start date applies to some other newly listed operators.

  • 25 Nov 2025: Payeer transaction ban becomes fully effective (wind-down ends).

Payeer — Key Data (For Screening & Due Diligence)

Field Details

Trading name

Payeer

Business activity

High-risk payment processor; crypto exchange; merchant services provider

Domains

https://payeer.com • https://payeer.cc

Legal entities

Payeer E.A.S. (Paraguay)

Payeer OÜ (Estonia)

Payeer UAB (Lithuania)

PayCorp Limited (Vanuatu)

Fincana OÜ (Estonia)

Runwill Sp. z o. o. (Poland)

PAYEER LLC (Georgia)

FINGATE LLC (Georgia)

AKKORD WELT LP (Scotland)

Worldwide System K/S (Denmark)

Mayzus Financial Services Ltd (UK)

PAYMENT SOLUTIONS LTD (BVI)

PAYEER RUS LLC (Russia)

PB24 CORP (Panama)

Related individuals

Anton Stjopotškin (Estonia, UBO); Joseph Olatilewa Jaiyeola (Estonia); Ekaterina Olegovna Gorshkova (Russia); Liubov Svezhentseva (Russia); Kosolapova Evgenia Nikolaevna (Russia); Elena Kulbikova (Russia); Sergey Mayzus (Russia); Dmitri Allikas (old); Stanislav Lattu (old)

Jurisdictions

Estonia; Vanuatu; Russia; BVI; Poland; Panama; Georgia; Denmark

Regulators / status

FIU Estonia authorization renounced Jan 2023; FCIS Lithuania (FNTT) fine ~€9.3m in July 2024; VFSC (where applicable)

Trustpilot

4.6 stars, “Excellent”

Associated schemes (reported)

PO Trade; Pocket Option; Capital Letter; FXTradePremiums; Deal Trade; Optimus Markets; Spintop Capital; SuperForex; and others

Compliance Notes (EU Operators)

  • The transaction ban applies to all direct and indirect transactions with Payeer and its listed entities.

  • Intermediation risk: routing via non-EU partners does not cure exposure; facilitation can itself constitute a breach.

  • Contracting: ensure sanctions clauses are invoked and that cessation is documented.

  • Screening hygiene: include domains, legal entities, and individuals shown above in adverse-media and sanctions-evasion rule sets.

Source & Enforcement Background (Selected)

  • EU Council adoption of the 19th package on 23 Oct 2025; staggered start dates (12 Nov and 25 Nov 2025).

  • FNTT (Lithuania/FCIS): ~€9.3m administrative penalty against Payeer UAB in July 2024 for international-sanctions and AML breaches (source).

  • Corporate disclosures: current site references “PAYEER trademark — Payeer E.A.S.”, with historical operations through Estonia and Lithuania.

Whistleblower Request

Scam-Or Project invites credible information about Payeer, including beneficial ownership, counterparties, and operating arrangements. If you possess relevant documents or facts, please submit them to us. Anonymous submissions are welcome.

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