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3/19/2020

Treasury Sanctions Businesses Linked to Mexican Cartels | U.S. Department of the Treasury

Treasury Sanctions Businesses Linked to Mexican Cartels
March 11, 2020

Treasury action taken in coordination with DEA operation
Washington – The U.S. Department of the Treasury’s O ice of Foreign Assets Control (OFAC)
today designated four Mexican businesses pursuant to the Foreign Narcotics Kingpin
Designation Act (Kingpin Act) because of their links to the Cartel de Jalisco Nueva Generacion
(CJNG) and the Los Cuinis Drug Tra icking Organization (Los Cuinis), two closely allied Mexican
drug tra icking organizations. CJNG and Los Cuinis funnel fentanyl and other deadly drugs into
the United States, fueling drug addiction across the nation. Today’s action is the result of OFAC’s
ongoing collaboration with the Drug Enforcement Administration (DEA), which today executed
Project Python, a nationwide operation to disrupt CJNG through a series of coordinated arrests,
seizures, and indictments.
“The United States will continue to work with our Mexican counterparts to expose drug
tra icking organizations that profit o of the su ering of American families,” said Deputy
Secretary Justin G. Muzinich.
“DEA targets drug tra icking organizations, including CJNG, on all fronts,” said DEA Acting
Administrator Uttam Dhillon. “Making money is at the heart of drug tra icking, and by choking
o their means to launder drug proceeds, DEA, along with our interagency partners, is taking
another step toward dismantling CJNG and associated organizations.”
The first company designated today is International Investments Holding S.A. de C.V., an asset
holding company registered in Guadalajara, Jalisco, Mexico. It is owned or controlled by Los
Cuinis leader Abigael Gonzalez Valencia and his wife, Jeni er Beaney Camacho Cazares, whom
OFAC designated on August 19, 2015 because she assists her husband’s drug tra icking
activities. The second company is GBJ de Colima, S.A. de C.V., a gas station company located in
Villa de Alvarez, Colima, Mexico. This company is owned or controlled by Diana Maria Sanchez
Carlon, whom OFAC designated on August 19, 2015, because she assists Abigael Gonzalez
Valencia’s drug tra icking activities and plays a key role in the management of his assets.

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Treasury Sanctions Businesses Linked to Mexican Cartels | U.S. Department of the Treasury

The two other companies designated today represent attempts by Los Cuinis and CJNG to evade
sanctions and maintain access to the financial system. Master Reposterias y Restaurantes, S.A.
de C.V. serves as the new management company for Bake and Kitchen, a restaurant in Zapopan,
Jalisco, Mexico designated on September 14, 2017 for being owned or controlled by Abigael
Gonzalez Valencia and Jeni er Beaney Camacho Cazares. Corporativo Sushi Provi, S. de R.L. de
C.V. acts as the new management company for Kenzo Sushi, a restaurant in Guadalajara, Mexico
designated on September 14, 2017, because it is owned or controlled by CJNG and Los Cuinis.
Bake and Kitchen and Kenzo Sushi both recently opened new locations in the Guadalajara
area.
In addition to these designations, OFAC identified two new names for a cabin rental business
located in Tapalpa, Jalisco, Mexico that was designated on September 17, 2015, because it
provided material assistance to the drug tra icking activities of CJNG. Cabanas La Loma en
Renta and Cabanas La Loma Tapalpa are the new names for Cabanas La Loma, which had
originally been known as Las Flores Cabanas.
PREVIOUS U.S. GOVERNMENT ACTIONS ON CJNG AND LOS CUINIS
Today’s Kingpin Act designation marks OFAC’s eleventh action against CJNG and Los Cuinis,
which were designated on April 8, 2015, along with their leaders, Ruben Oseguera Cervantes
(a.k.a. “Mencho”) and Abigael Gonzalez Valencia, for their significant roles in international
narcotics tra icking. In March 2014, following an investigation by the DEA Los Angeles Field
Division, a federal grand jury in the U.S. District Court for the District of Columbia indicted
brothers-in-law Oseguera Cervantes and Gonzalez Valencia on the charge of being the principal
leaders of a Continuing Criminal Enterprise. Mexican authorities captured Gonzalez Valencia in
late February 2015, and he is awaiting extradition to the United States. Oseguera Cervantes
remains a fugitive.
The U.S. Department of State’s Narcotics Rewards Program has issued a reward of up to $10
million for information leading to the arrest and/or conviction of Oseguera Cervantes. Tips can
be submitted to DEA by phone (+1-213-237-9990), through Twitter (@DEALosAngeles), and by
email (MENCHOTIPS@usdoj.gov).
In previous actions, OFAC designated a wide range of businesses and individuals linked to CJNG
and Los Cuinis. The previously designated businesses in Mexico include shopping centers, real
estate companies, agricultural companies, a music promotion business, and a luxury boutique
hotel. Many of these Mexican entities have engaged in the laundering of drug proceeds and
represent attempts by CJNG and Los Cuinis to integrate themselves into the legitimate
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economy. Among the previously designated individuals are those who play critical roles in
CJNG’s drug tra icking activities, such as Julio Alberto Castillo Rodriguez (Oseguera Cervantes’s
son-in-law), and those who facilitate corruption activities on behalf of CJNG and Los Cuinis,
such as now former Mexican magistrate judge Isidro Avelar Gutierrez and attorney Victor
Francisco Beltran Garcia.
As a result of today’s action, all property and interests in property of the designated entities that
are in the United States or in the possession or control of U.S. persons, are blocked and must be
reported to OFAC. OFAC’s regulations generally prohibit all transactions by U.S. persons or
persons within (or transiting) the United States that involve any property or interests in property
of designated or otherwise blocked persons.
Since June 2000, more than 2,100 entities and individuals have been named pursuant to the
Kingpin Act for their role in international narcotics tra icking. Penalties for violations of the
Kingpin Act range from civil penalties of up to $1,503,470 per violation to more severe criminal
penalties. Criminal penalties for corporate o icers may include up to 30 years in prison and
fines of up to $5 million. Criminal fines for corporations may reach $10 million. Other individuals
could face up to 10 years in prison and fines pursuant to Title 18 of the United States Code for
criminal violations of the Kingpin Act.
For more information on the entities designated today, click here.
To view the Kingpin Act chart on entities designated today, click here

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