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U.S. DEPARTMENT OF THE TREASURY
Treasury Targets Financial and Shipping Facilitators of Iranian
Petrochemicals and Petroleum Sales
September 29, 2022

WASHINGTON — Today, the U.S. Department of the Treasuryʼs O�ice of Foreign Assets
Control (OFAC) sanctioned an international network of companies involved in the sale of
hundreds of millions of dollarsʼ worth of Iranian petrochemicals and petroleum products to
end users in South and East Asia. Todayʼs action targets Iranian brokers and several front
companies in the UAE, Hong Kong, and India that have facilitated financial transfers and
shipping of Iranian petroleum and petrochemical products. These entities have played a
critical role in concealing the origin of the Iranian shipments and enabling two sanctioned
Iranian brokers, Triliance Petrochemical Co. Ltd. (Triliance) and Persian Gulf Petrochemical
Industry Commercial Co. (PGPICC), to transfer funds and ship Iranian petroleum and
petrochemicals to buyers in Asia. In addition to OFACʼs designations, the Department of State
is designating two entities based in the Peopleʼs Republic of China (PRC), Zhonggu Storage
and Transportation Co. Ltd. and WS Shipping Co. Ltd., for their involvement in Iranʼs
petrochemical trade.
“The United States is committed to severely restricting Iranʼs illicit oil and petrochemical
sales,” said Under Secretary of the Treasury for Terrorism and Financial Intelligence Brian E.
Nelson; “So long as Iran refuses a mutual return to full implementation of the Joint
Comprehensive Plan of Action, the United States will continue to enforce its sanctions on the
sale of Iranian petroleum and petrochemical products.”
As Iran continues to accelerate its nuclear program in violation of the JCPOA, we will
continue to accelerate our enforcement of sanctions on Iranʼs petroleum and petrochemical
sales under authorities that would be removed under the JCPOA. These enforcement actions
will continue on a regular basis, with an aim to severely restrict Iranʼs oil and petrochemical
exports. Anyone involved in facilitating these illegal sales and transactions should cease and
desist immediately if they wish to avoid U.S. sanctions.
These economic sanctions, which are reversible in the event of Iranʼs return to JCPOA

compliance, follow the designations imposed last week against the so-called morality police
and other law enforcement organizations and individuals responsible for the death in
custody of Mahsa Amini and the violent repression of the protests that have followed. We
remain concerned about a wide range of Iranian policies, from their nuclear program, to
abuses perpetrated against their own people, to supporting Russiaʼs war of aggression
against Ukraine with drones and military training, and destabilizing activities across the
region, and we will continue to respond to these dangerous policies with sanctions and other
tools.
Todayʼs action is being taken pursuant to Executive Order (E.O.) 13846 and follows OFACʼs
August 1, 2022 designation of companies supporting Iranian petrochemical conglomerate
PGPICC; the July 6, 2022 designation of a Persian Gulf-based network facilitating Iranian
petrochemical and petroleum sales; and a June 16, 2022 action targeting an international
sanctions evasion network supporting Iranian petrochemical sales in East Asia.
Triliance Petrochemical Co. Ltd. Network
Triliance, a critical component of Iranʼs petroleum and petrochemical sectors, which brokers
the sale of Iranian products to foreign purchasers, has purchased millions of dollarsʼ worth of
Iranian petrochemical and petroleum products from Iran-based petrochemical brokers Iran
Chemical Industries Investment Company and Middle East Kimiya Pars Co., which were
ultimately shipped to India.
Triliance was previously designated pursuant to E.O 13846 in 2020 for, on or a�er November
5, 2018, having materially assisted, sponsored, or provided financial, material, or
technological support for, or goods or services in support of, the National Iranian Oil
Company (NIOC). NIOC itself is sanctioned pursuant to E.O. 13599, and also E.O. 13224, a
counterterrorism sanctions authority.
India-based petrochemical company Tibalaji Petrochem Private Limited has purchased
millions of dollarsʼ worth of Triliance-brokered petrochemical products, including methanol
and base oil, for onward shipment to China.
Triliance relies upon intermediary front companies to e�ectuate the sale of Iranian products
to purchasers in South and East Asia. Hong Kong-based front company Sierra Vista Trading
Limited was used to conceal petrochemical purchases worth millions of dollars from Iranian
producers for onward shipment to China.

Triliance also utilized front companies to pay UAE-based Clara Shipping LLC millions of
dollars in freight charges for the shipment of Iranian petrochemical and petroleum products
to East Asia. UAE-based Virgo Marine has similarly received the equivalent of millions of
dollars from Triliance since early 2022 to arrange vessels for the storage and transportation of
Iranian petrochemicals. Virgo Marine has operated the liquid petroleum gas tanker Gas
Allure, which transported tens of thousands of metric tons of Iranian petrochemicals
brokered by Triliance.
Iran Chemical Industries Investment Company, Middle East Kimiya Pars Co., Tibalaji
Petrochem Private Limited, Sierra Vista Trading Limited, Clara Shipping LLC, and Virgo Marine
are all being designated pursuant to E.O. 13846 for, on or a�er November 5, 2018, having
materially assisted, sponsored, or provided financial, material, or technological support for,
or goods or services in support of, Triliance. The Gas Allure is also being identified as
property in which Virgo Marine has an interest pursuant to E.O. 13846.
Persian Gulf Petrochemical Industries Commercial Company
Hong Kong-based Sophychem HK Limited has purchased tens of millions of dollarsʼ worth
of Iranian petrochemicals from PGPICC for onward shipment to China and Singapore. ML
Holding Group Limited helped facilitate tens of millions of dollarsʼ worth of similar Iranian
petrochemical sales to China for PGPICC. PGPICC is a subsidiary of Persian Gulf
Petrochemical Industry Company (PGPIC), which is responsible for roughly half of Iranʼs
petrochemical exports.
PGPICC was designated pursuant to E.O. 13382 on June 7, 2019, for being owned or
controlled by PGPIC, which was itself designated pursuant to E.O. 13382 that same day for
providing financial support to Khatam al-Anbiya Construction Headquarters, the engineering
conglomerate of the Islamic Revolutionary Guard Corps.
Sophychem HK Limited and ML Holding Group Limited are being designated pursuant to E.O.
13846 for, on or a�er November 5, 2018, having materially assisted, sponsored, or provided
financial, material, or technological support for, or goods or services in support of, PGPICC.
Sanctions Implications
As a result of todayʼs action, all property and interests in property of these targets that are in
the United States or in the possession or control of U.S. persons must be blocked and
reported to OFAC. In addition, any entities that are owned, directly or indirectly, 50 percent

or more by one or more blocked persons are also blocked. OFACʼs regulations generally
prohibit all dealings by U.S. persons or within the United States (including transactions
transiting the United States) that involve any property or interests in property of blocked or
designated persons.
In addition, persons that engage in certain transactions with the individuals and entities
designated today may themselves be exposed to sanctions or subject to an enforcement
action. Furthermore, unless an exception applies, any foreign financial institution that
knowingly facilitates a significant transaction or provides significant financial services for any
of the individuals or entities designated today could be subject to U.S. sanctions.
The power and integrity of OFAC sanctions derive not only from OFACʼs ability to designate
and add persons to the Specially Designated Nationals and Blocked Persons List (SDN List),
but also from its willingness to remove persons from the SDN List consistent with the law.
The ultimate goal of sanctions is not to punish, but to bring about a positive change in
behavior. For information concerning the process for seeking removal from an OFAC list,
including the SDN List, please refer to OFACʼs Frequently Asked Question 897 here. For
detailed information on the process to submit a request for removal from an OFAC sanctions
list, please visit here.
Click here for identifying information on the individuals and entities designated today.