The tanker during the period of the G7 and EU oil embargo, the price cap policy on russian crude oil/petroleum products is involved in the export of russian crude oil/petroleum products, actively engaged in dark activities near the russian ports of Novorossiysk, Ust-Luga, FSO IMO 9217979 in the Kola Bay, as well as near Iran.
The international NGO Greenpeace refers to the tanker as part of a shadow fleet of tankers transporting russian oil around the world and threatening the environment.
According to UANI, the tanker was involved in the transportation of Iranian oil and after the beginning of russia's full-scale invasion into Ukraine switched to the transportation of russian crude oil/petroleum products.
The tanker is affiliated with Sparta Shipmanagement Limited, a company associated with the sanctioned Aleksejs Halavins, who in 2022 stated that he was the general manager of Sparta Shipmanagement Limited, as well as the chairman of the board of directors and the ultimate beneficial owner of the OGC group. Aleksejs Halavins, a Latvian citizen, was deeply involved in the trade of russian crude oil by the sanctioned company Black Pearl and has been an active buyer of russian oil at prices above the price cap since 2023. Halavins owns and manages the UAE-based sanctioned company Conrad Management Company LLC FZ (Conrad) and is the CEO of the Liberian-registered sanctioned companies Lule One Services Inc (Lule) and Lathyrus Shipping Company (Lathyrus). Halavins holds senior positions in the UAE-registered sanctioned companies International Marine Management FZE (International Marine) and Fulda Shipping Co (Fulda), both registered in Liberia.
On May 20, 2025, the EU imposed sanctions, which enter into force on May 21, 2025, on the tanker for the transportation of crude oil/petroleum products originating in or exported from russia, using irregular high-risk shipping practices as specified in the International Maritime Organization General Assembly Resolution A.1192(33).
On May 09, 2025, the United Kingdom imposed sanctions on the tanker as part of the restrictions on the shadow fleet of the russian federation, including for engaging in activities aimed at destabilizing Ukraine, undermining/threatening the territorial integrity, sovereignty or independence of Ukraine or benefiting from or supporting the government of russia, and participating in the transportation of crude oil/petroleum products of russian origin, in particular, from russia to a third country.
Transport crude oil or petroleum products that originate in Russia or are exported from Russia while practicing irregular and high-risk shipping practices as set out in the International Maritime Organisation General Assembly resolution A.1192(33)
Shipping sanctions: a specified ship is prohibited from being provided with access to or having its master or pilot cause it to enter a port in the UK, may have its registration on the UK Ship Register terminated, and a master or pilot of a specified ship may be given a port barring direction, a detention direction, and a port entry direction or a movement direction.
Article 4x(2), point (b):
transport crude oil or petroleum products, as listed in Annex XIII, that originate in Russia or are exported from Russia while practicing irregular and high-risk shipping practices as set out in the International Maritime Organisation General Assembly resolution A.1192(33)