Compliance Radar

Who was sanctioned, and for what?

Fines, court rulings and incidents from Europe, North America, Latin America and Asia-Pacific: 1,905 cases from 39 jurisdictions, each with an official source and checked against that source before publication. Filter by country, area of law and sector. Click a chart to drill down one level.

1case from 1 jurisdiction
€1.28mTotal of monetary amounts
€1.28mLargest single case: Exyte Management GmbH
€1.28mMedian per case with an amount

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Where?

by region

All jurisdictions

  1. USA €1.28m 100 % · 1 case

What for?

by action
  1. Fine €1.28m 100 % · 1 case

Who?

by company
  1. Exyte Management GmbH €1.28m 100 % · 1 case

When?

per quarter, by date of decision
Trend
PeriodCasesTotal
Q4 20230–
Q1 20240–
Q2 20240–
Q3 20240–
Q4 20240–
Q1 20250–
Q2 20250–
Q3 20250–
Q4 20250–
Q1 20261€1.28m
Q2 20260–
Q3 20260–
Q4 20260–

1 case

7 Jan 2026 Exyte Management GmbHExyte: 1.5 million USD – Chinese subsidiary arranged US goods for listed chipmaker SMIC USAExport control and dual-use goods €1.28m

The Shanghai company of the Stuttgart-based Exyte group caused around 884 US items (flowmeters, pressure transmitters, controllers) worth around 2.85 million USD to be delivered by Chinese suppliers to SMIC Beijing, which is on the Entity List (the US export control list of restricted parties), on 13 occasions in 2021/22. According to the Bureau of Industry and Security (BIS, the export control agency of the US Department of Commerce), the compliance programme did not recognise that in-country transfers within China also require a licence; Exyte voluntarily disclosed the transactions and admitted them.

What organisations can take from it

Screen end customers against the Entity List in foreign subsidiaries too, even for local purchases – US export law also covers transfers of US goods within China.

Relevance to training and awareness

Entity List screening also for domestic deliveries abroad

Authority / court
U.S. Department of Commerce, Bureau of Industry and Security (BIS)
Area of law
Sanctions and export control · Export control and dual-use goods
Legal basis
Export Administration Regulations, 15 C.F.R. § 764.2(b), § 744.11
Action
Fine
Status of proceedings
final
Sector
Construction and real estate
Culpability
negligent
Mitigating circumstances
Voluntary self-disclosure, own investigation with external lawyers and investment in the compliance programme.
Published
7 Jan 2026

Original amount 1,500,000 USD, converted at the ECB reference rate of 7 Jan 2026.

Checked against the official source on 28 Sep 2026 · Direct link

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