Nayara Energy Limited is explicitly named in both the UK and EU records covered here, but the records are separate actions on different dates. The EU designated the India-established company on 18 July 2025, citing its oil-sector role and Russian government revenue. The UK named it on 15 October 2025 among entities involved in supporting Russia’s energy sector. Later EU summaries report additional India-based entities by count, but do not name them.
Which Indian company is named by both the UK and EU?
The company identified by name in both jurisdictions’ records discussed here is Nayara Energy Limited. The phrase “aiding Russia” is shorthand, not the exact legal wording used in both records: the EU states its own rationale, while the UK places Nayara in a category of entities involved in supporting Russia’s energy sector.
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EU designation: 18 July 2025
Council Implementing Regulation (EU) 2025/1476 identifies Nayara as an entity established in India and gives an oil-sector-related rationale linked to substantial revenue for the Russian government. This is the EU’s stated legal basis for the designation; it should not be read as an independently adjudicated finding about every part of Nayara’s business. Read the EU regulation.
UK designation: 15 October 2025
The UK’s dated Russia sanctions targets page names Nayara under “Entities involved in supporting the Russian energy sector.” That page lists targets sanctioned on that date under the Russia (Sanctions) (EU Exit) Regulations 2019. Read the UK’s 15 October 2025 targets page.
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Why the UK and EU actions should be read separately
The two governments operate separate sanctions regimes and publish distinct legal records. A company’s place of establishment, the location of its activities, the authority’s stated legal ground, and the restrictions attached to a designation are different questions. The dated entries establish what each authority recorded at that point; they do not, by themselves, establish the full set of current restrictions or later changes.
| Authority and date | What the cited record says about Nayara | What the record supports |
|---|---|---|
| EU, 18 July 2025 | Identifies Nayara as established in India; gives an oil-sector rationale linked to Russian government revenue. | The EU’s stated basis for its designation in Regulation 2025/1476. |
| UK, 15 October 2025 | Lists Nayara among entities involved in supporting Russia’s energy sector. | Nayara’s inclusion on that date’s UK targets page. |
Do later EU summaries name other India-based entities?
No—not in the Commission summaries described here. They report counts of India-established entities in particular package categories, but the summaries do not identify those entities by name. Those counts therefore cannot be treated as a complete named list or directly compared with a specific company designation.
| EU package summary | Reported India-established entities | What is identified in the summary |
|---|---|---|
| 19th package, 23 October 2025 | Three among 17 third-country entities in the specified list category. | The count, not the companies’ names. Commission summary. |
| 21st package, 23 July 2026 | Two among 27 entities established in third countries, within a list concerning support for Russia’s military-industrial complex or sanctions circumvention. | The count, not the companies’ names. Commission summary. |
These figures describe different package summaries and specified list categories. They do not establish that all counted entities were named in the summaries, nor that the counts represent all India-related designations across UK and EU lists.
How to check the current UK status
Sanctions records can change through additions, removals, variations, or corrections. The UK government’s Russia designations and notices guidance was updated on 8 October 2026 and links to current list information and notices. Check the latest dated notice and relevant list entry before relying on a historical designation as a statement of present status. UK Russia sanctions designations and notices.
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The UK regime’s guidance describes designation grounds that include destabilising Ukraine or obtaining a benefit from, or supporting, the Russian government. The specific basis for any listed entity should be taken from its relevant official notice, rather than inferred from a broad regime description.
Independent reader supportYour contribution helps us test, update, and keep practical guides available for everyone.What this means for readers following India–Russia oil trade
A designation is an action under the listing authority’s sanctions regime. The cited records establish the authorities’ actions and stated rationales; they do not quantify a wider effect on India’s oil trade. The UK and EU records also do not make every India-established business subject to the same measure. For any transaction or compliance decision, use the current applicable lists and the full legal notice rather than relying on a headline or package-level count.
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