Compliance Radar

Who was sanctioned, and for what?

Fines, court rulings and incidents from Europe and North America: 718 cases from 32 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.

2cases from 2 jurisdictions
€1.55mTotal of monetary amounts
€846,453Largest single case: Teledyne FLIR LLC
€776,676Median per case with an amount

Click a bar to drill down one level.

Where?

by region

All jurisdictions

  1. USA €846,453 54 % · 1 case
  2. United Kingdom €706,898 46 % · 1 case

What for?

by action
  1. Fine €1.55m 100 % · 2 cases

Who?

by company
  1. Teledyne FLIR LLC €846,453 100 % · 1 case

When?

per quarter, by date of decision
Trend
PeriodCasesTotal
Q3 20230—
Q4 20230—
Q1 20240—
Q2 20240—
Q3 20240—
Q4 20240—
Q1 20250—
Q2 20250—
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Q4 20251€706,898
Q1 20261€846,453
Q2 20260—
Q3 20260—

2 cases

26 Feb 2026 Teledyne FLIR LLCTeledyne FLIR: thermal imaging cameras incorrectly assessed and supplied to Entity List address USAExport control and dual-use goods €846,453

The manufacturer of militarily relevant thermal imaging technology admitted 19 violations to the US Commerce Department's Bureau of Industry and Security (BIS): incorrect de minimis calculations for cameras that went to China via Sweden, pricing arranged with a Chinese drone manufacturer to circumvent the licence requirement, missing records and eight deliveries in 2024 to a Hong Kong address on the Entity List that the screening software did not detect.

What organisations can take from it

Actively incorporate new forms of listing, such as address-only entries, into screening; do not rely solely on the software provider.

Relevance to training and awareness

De minimis calculation, address-based Entity List entries in screening

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, §§ 734.4 (De minimis), 744.16, 764.2(a), (b), (h), (i)
Action
Fine
Status of proceedings
final
Sector
Defence and security
Mitigating circumstances
Voluntary self-disclosures for some of the violations
Published
26 Feb 2026

Original amount 1,000,000 USD, converted at the ECB reference rate of 26 Feb 2026.

Checked against the official source on 25 Sep 2026 · Direct link

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1 Dec 2025 British exporter pays 620,515 GBP for unlicensed exports of military goods United KingdomExport control and dual-use goods €706,898

In September 2025, an unnamed British exporter paid a compound settlement of 620,515.04 GBP to HM Revenue & Customs (HMRC) for unlicensed exports of military goods. HMRC offers such settlements only for unintentional breaches or weaknesses in internal controls and following voluntary disclosure (date = publication).

What organisations can take from it

Weaknesses in internal export control become expensive even without intent – disclosing breaches early can avoid prosecution.

Relevance to training and awareness

Classification of goods and licensing requirements for military goods

Authority / court
HM Revenue & Customs (HMRC) / Export Control Joint Unit
Area of law
Sanctions and export control · Export control and dual-use goods
Legal basis
Export Control Order 2008
Action
Fine
Status of proceedings
final
Sector
Defence and security
Culpability
negligent
Mitigating circumstances
Voluntary disclosure (prerequisite for the compound settlement)
Published
1 Dec 2025

Original amount 620,515.04 GBP, converted at the ECB reference rate of 1 Dec 2025.

Checked against the official source on 25 Sep 2026 · Direct link

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