Sanctions & Embargo Policy
Effective Date: August 2025
This policy defines the approach of Totsi Island Properties Group I.K.E., operating as Havenbach, toward compliance with international sanctions, embargoes, and restricted party regulations. It applies to all services offered through havenbach.com and affiliated operations.
1. Policy Statement
Havenbach is committed to full compliance with applicable international sanctions regimes, including those imposed by:
The European Union (EU)
The United Nations (UN)
The United States Office of Foreign Assets Control (OFAC)
The UK Sanctions List and other relevant national authorities
We do not knowingly engage with any individual, organization, or jurisdiction under sanctions or subject to trade restrictions.
2. Prohibited Engagements
We do not provide services to or on behalf of:
Individuals or entities listed on any international sanctions or watchlist
Persons ordinarily resident in embargoed jurisdictions who are individually sanctioned or politically exposed
Governments, agencies, or state actors subject to full international trade/mobility restrictions
Individuals acting as proxies or intermediaries for sanctioned persons
3. Jurisdictional Review
Havenbach does not apply blanket exclusions by nationality. Instead, we apply enhanced due diligence and case-by-case screening for clients from:
Russia (including Crimea, Donetsk, Luhansk regions)
Belarus
Syria
Iran
North Korea (fully restricted)
Cuba (case-by-case, with screening)
Clients from these countries may still access our services if:
They are not listed on international watchlists
They pass our internal KYC and sanctions screening
Their use case is legally compliant and serviceable under EU/Greek law
4. Screening & Monitoring
We perform identity and compliance checks on all clients using tools that include:
Document and identity verification
Sanctions and PEP list screening
Risk-based analysis based on nationality, funding source, and destination
Clients must cooperate with any request for identification, source of funds documentation, or other screening procedures.
5. Consequences of Breach
If a client is found to be in violation of this policy, Havenbach reserves the right to:
Immediately terminate all services and engagements
Report the activity to relevant regulatory or enforcement bodies
Withhold any documentation, applications, or refunds
No liability is accepted for losses arising from termination due to sanctions exposure.
6. Updates & Amendments
This policy is reviewed regularly and updated in line with international sanctions developments. Clients are encouraged to check this page periodically.
7. Contact
For sanctions-related inquiries: 📧 Email: [email protected]
📞 Phone (GR): +30 698 3200 953
📞 Phone (AL): +355 68 60 80 345
By using Havenbach services, you confirm that you are not subject to any applicable sanctions or restrictions and that you understand and accept the terms of this policy.