As of October 31, 2024, there were a total of 3,870 entities on the export control restrictive lists maintained by the Bureau of Industry and Security (BIS) of the US Department of Commerce, of which 1,012 were in China, accounting for 26.1% of the total.
Total: A total of 3,870 entities, of which 1,012 were in China.
Data Sources: US Federal Regulations Library, International Trade Administration of the US Department of Commerce.
(I) Total Number
The total number of entries on the Entity List is 3,081, an increase of 65 compared to September, and the number of entities involved is 3,040. Since one entity may be listed in multiple countries or regions, the number of entries will be greater than the number of entities.
The top five countries and regions in terms of the number of Entity List entries are:
Data Source for the Number of Entities: International Trade Administration of the US Department of Commerce.
(II) Number of Chinese Entities Involved with Russia
Since the outbreak of the Russia - Ukraine war in 2022, a total of 150 Chinese (including Hong Kong) enterprises have been included in the Entity List by the US Department of Commerce due to their involvement with Russia. Among them, 1 batch of 5 were added in 2022, 5 batches of 67 were added in 2023, 78 were added in 2024, and 11 were added in October.
(III) Chinese Enterprises in the New Russia - related Entity List Added on October 30, 2024 (11 in total)
(IV) Entities Involved in the Proliferation of Weapons of Mass Destruction Added on October 21, 2024 (6 in China)
In October 2024, the US Department of Commerce added 8 export - controlled unverified users, of which 3 were in China, and removed 2 (1 of which was a Chinese entity). As of October 31, 2024, there were a total of 173 entities on the Unverified End - User List, of which 100 were in China (including Hong Kong).
No change. As of October 31, 2024, there were 57 entities on the End - Use Military User List, all of which were Chinese enterprises. Since March 3, 2022, Russian end - use military users have been transferred to the management of the Entity List, marked with footnote 3. In addition, some Iranian and Chinese entities have been included in the Russian end - use military user list due to their involvement in Russias military activities, marked with footnote 3 in the Entity List. Currently, there are 6 Shanghai enterprises on this list, all of which were included on December 23, 2020.
No change. As of October 31, 2024, there were 559 entities on the Denied Persons List, of which 17 had addresses in China (4 in Beijing, 2 in Jiangsu, 1 in Guangdong, 9 in Hong Kong, and 1 in Shanghai).
(I) Total Number in October
As of October 31, 2024, the US Department of the Treasurys Economic Sanctions List (SDN) had 16,623 entries, an increase of 511 compared to 16,132 in September. Among them, 775 had addresses in China, an increase of 63 compared to the previous month. There were 46 Shanghai entities on the SDN list, and 2 were added in October.
(II) New Chinese Entities and Individuals Added on October 30, 2024 (Involved with Russia)
54 new Chinese entities were added, including:
(III) New Sanctioned Targets in Other Fields
Multiple new Chinese individuals and entities were added, involving the Houthi armed forces, Iranian oil transportation, Russian drone production, etc.
As of October 2024, US foreign export control and sanction measures have continued to escalate, especially the regulatory efforts against Chinese enterprises have been continuously strengthened. Whether it is the update of the Entity List or the expansion of the economic sanctions list, these measures have put forward higher requirements for enterprises compliance. For relevant enterprises, closely monitoring policy dynamics, strengthening compliance reviews, and seeking the support of professional legal counsel are the keys to ensuring continuous business compliance.foreign tradeHigher requirements are put forward for the compliance of enterprises. For relevant enterprises, closely following policy dynamics, strengthening compliance review, and seeking the support of professional legal counsel are the keys to ensuring the continuous compliance of business.
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