Wood
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Wow this is massive change.
As reported, NATO air asset in Eastern Europe is already running on "Dark" mode, they had turn off their transponder and F-35 have their Lumberg lens removed. That's what the NATO Air Force is going to do if and when there are indication Russia is going to use nuke.Very dangerous moment. 100 percent certainty the US and NATO will enter the war, should Putin order a nuclear strike on Ukraine. The US has warned Russia and said the US and allies have everything in place.
I’ve previously pointed out over 2/3 of active duty are white so you’re fake newsYou cannot include all US population.
Republican White kids are no longer interested in joining US military.
Democrat white kids are rich and not interested in joining US military anyway.
That leaves blacks, latinos and immigrants who want a green card to join the US military to be the guinea pigs.
they recognized each other otherwise they didn't open that. their admission in un condition was that they recognize each otherNot what you think of. Not embassy.
West Germany did not allow it. It was called “Ständige Vertretung“ - permanent representative. Much like a Sales office. You can call it a downgraded embassy.
That’s why I don’t understand. Russia has massiv lands, why they need more? Putin and his gang, nothing more than thieves.
Anyway, talking to dummy seems worthless. Ukraine army is on the move. That matters.
what link , they made a deal , after USA pulled out , they break the deal.Thats is not what JPCOA says as far as i can tell.
You have the link, so point out what clause was violated.
Especially your point about Airbus.
1
Annex II – Sanctions-related commitments
The sequence of implementation of the commitments detailed in this Annex is
specified in Annex V (Implementation Plan) to this Joint Comprehensive Plan of
Action (JCPOA).
A. European Union1
1. The EU and EU Member States commit to terminate all provisions of
Council Regulation (EU) No 267/2012 (as subsequently amended)
implementing all nuclear-related sanctions or restrictive measures as
specified in Sections 1.1-1.10 below, to terminate all provisions of
Council Decision 2010/413/CFSP (as subsequently amended), as
specified in Sections 1.1-1.10 below, and to terminate or amend
national implementing legislation as required, in accordance with
Annex V:
1.1. Financial, banking and insurance measures2
1.1.1 Prohibition and authorisation regimes on financial transfers to and
from Iran (Article 10 of Council Decision 2010/413/CFSP; Articles 30,
30a, 30b and 31 of Council Regulation (EU) No 267/2012);
1.1.2. Sanctions on banking activities (Article 11 of Council Decision
2010/413/CFSP; Article 33 of Council Regulation (EU) No 267/2012);
1.1.3. Sanctions on insurance (Article 12 of Council Decision
2010/413/CFSP; Article 35 of Council Regulation (EU) No 267/2012);
1.1.4. Sanctions on financial messaging services (Article 20(12) of Council
Decision 2010/413/CFSP; Article 23(4) of Council Regulation (EU) No
267/2012);
1.1.5. Sanctions on financial support for trade with Iran ( Article 8 of
Council Decision 2010/413/CFSP);
1.1.6. Sanctions on grants, financial assistance and concessional loans
(Article 9 of Council Decision 2010/413/CFSP);
1 For the purposes of EU legislation, “Iranian person, entity or body” means:
(i) the State of Iran or any public authority thereof;
(ii) any natural person in, or resident in, Iran;
(iii) any legal person, entity or body having its registered office in Iran;
(iv) any legal person, entity or body, inside or outside Iran, owned or controlled directly or
indirectly by one or more of the above mentioned persons or bodies.
2 The headings and subheadings in this Annex are for descriptive purposes only.
2
1.1.7. Sanctions on Government of Iran public-guaranteed bonds (Article 13
of Council Decision 2010/413/CFSP; Article 34 of Council Regulation
(EU) No 267/2012); and
1.1.8. Sanctions on associated services3 for each of the categories above (see
the references above).
1.2. Oil, gas and petrochemical sectors
1.2.1. Sanctions on the import of oil and gas from Iran ( Articles 3a, 3c and
3e of Council Decision 2010/413/CFSP; Articles 11, 12 and 14a, and
Annexes IV and IVA of Council Regulation (EU) No 267/2012);
1.2.2. Sanctions on the import of Iranian petrochemical products ( Articles
3b and 3d of Council Decision 2010/413/CFSP; Articles 13 and 14,
and Annex V of Council Regulation (EU) No 267/2012);
1.2.3. Sanctions on the export of key equipment for the oil, gas and
petrochemical sectors (Articles 4, 4a and 4b of Council Decision
2010/413/CFSP; Articles 8, 9 and 10, and Annexes VI and VIA of
Council Regulation (EU) No 267/2012);
1.2.4. Sanctions on investment in the oil, gas and petrochemical sectors
(Articles 6, 6a and 7 of Council Decision 2010/413/CFSP; Articles
17(1), 17(2)(b) and (c), 17(3), 17(4), 17(5), 20 and 21 of Council
Regulation (EU) No 267/2012); and
1.2.5. Sanctions on associated services for each of the categories above (see
the references above).
1.3. Shipping, shipbuilding and transport sectors
1.3.1. Sanctions related to shipping and shipbuilding (Articles 4g, 4h, 8a, 18a
and 1 8b of Council Decision 2010/413/CFSP; Articles 1 0a, 10b, 10c,
37a, and 37b, and Annex VIB of Council Regulation (EU) No
267/2012);
1.3.2. Sanctions related to the transport sector (Articles 15, 16, 17 and 18 of
Council Decision 2010/413/CFSP; Articles 3 6 a n d 37 of Council
Regulation (EU) No 267/2012); and
3 For the purposes of this Annex, the term "associated services" means any service – including
technical assistance, training, insurance, re-insurance, brokering, transportation or financial service –
necessary and ordinarily incident to the underlying activity for which sanctions have been lifted
pursuant to this JCPOA.
3
1.3.3. Sanctions on associated services for each of the categories above (see
the references above).
1.4. Gold, other precious metals, banknotes and coinage
1.4.1. Sanctions on gold, precious metals and diamonds, banknotes and
coinage (Articles 4c and 4d of Council Decision 2010/413/CFSP;
Articles 15 and 16, and Annex VII of Council Regulation (EU) No
267/2012); and
1.4.2. Sanctions on associated services for each of the categories above (see
the references above).
1.5. Nuclear proliferation-related measures
1.5.1. Sanctions related to proliferation-sensitive nuclear activities (goods
and technology, investment and specialised training) (Articles 1(1) (a),
(b), (d), (e), (2), (3) and (4), 2, 3, 5, 14 and 21 of Council Decision
2010/413/CFSP; Articles 2, 3, 4, 5, 6, 7, 17(1) and (2)(a), 18, 19 and
22, and Annexes I, II and III of Council Regulation (EU) No 267/2012);
and
1.5.2. Sanctions on associated services for the category above (see the
references above).
1.6. Metals
1.6.1. Sanctions on metals (Articles 4e and 4f of Council Decision
2010/413/CFSP; Articles 15a, 15b and 15c, and Annex VIIB of Council
Regulation (EU) No 267/2012); and
1.6.2. Sanctions on associated services for the category above (see the
references above).
1.7. Software
1.7.1. Sanctions on software (Articles 4i and 4j of Council Decision
2010/413/CFSP; Articles 10d, 10e and 10f, and Annex VIIA of Council
Regulation (EU) No 267/2012); and
1.7.2. Sanctions on associated services for the category above (see the
references above).
1.8. Arms
4
1.8.1. Sanctions on arms (Articles 1(1)(c), (3) and (4), and 3 of Council
Decision 2010/413/CFSP; Articles 5(1)(a) and (c), 17(1) and (2)(a),
and 19 of Council Regulation (EU) No 267/2012); and
1.8.2. Sanctions on associated services for the category above (see the
references above).
1.9. Listing of persons, entities and bodies (asset freeze and visa ban)
1.9.1. Asset freeze and visa ban measures applicable to:
1.9.1.1. listed Iranian banks and financial institutions, including the
Central Bank of Iran;
1.9.1.2. listed persons, entities and bodies related to the oil, gas and
petrochemical sectors;
1.9.1.3. listed persons, entities and bodies related to shipping,
shipbuilding and transport;
1.9.1.4. other listed persons, entities and bodies not related to
proliferation-sensitive nuclear-, arms- and ballistic missile-
related activities;
1.9.1.5. listed persons, entities and bodies related to proliferation-
sensitive nuclear-, arms- and ballistic missile-related
activities; and
1.9.1.6. entities and individuals listed by the UN Security Council,
as set out in Attachment 1, part I to this Annex for categories 1.9.1.1-
1.9.1.4, Attachment 2, part I to this Annex for category 1.9.1.5, and Parts
II of Attachments 1 and 2 to this Annex for category 1.9.1.6 (Articles 19
and 20, and Annexes I and II to Council Decision 2010/413/CFSP;
Articles 23, 24, 25, 26, 27, 28, 28a, 28b and 29, and Annexes V I I I a n d
IX to Council Regulation (EU) No 267/2012).
1.10. Other provisions
1.10.1. The commitment in Section 1 covers all remaining provisions of Council
Decision 2010/413/CFSP and Council Regulation (EU) No 267/2012
not specified above.
1.10.1.1. Definitions (Article 1 of Council Regulation (EU) No 267/2012); and
1.10.1.2. General and final provisions (Articles 22, 23, 24, 25, 26, 26a, 27 and
28 of Council Decision 2010/413/CFSP; Articles 38, 39, 40, 41, 42, 43,
43a, 44, 45, 46, 47, 48, 49, 50 and 51, and Annex X of Council
Regulation (EU) No 267/2012).
5
2. The EU represents that the provisions listed in Section 1 above constitute
the full and complete list of all EU nuclear-related sanctions or restrictive
measures. These sanctions or restrictive measures will be lifted in
accordance with Annex V.
3. Effects of the lifting of EU economic and financial sanctions
3.1. As a result of the lifting of sanctions specified in Section 1 above, the
following activities, including associated services, will be allowed,
beginning on implementation day, in accordance with this JCPOA and
provided that such activities are otherwise consistent with EU and EU
Member States’ laws and regulations in effect:4
3.2. Financial, banking and insurance measures (See Sections 1.1.1 to
1.1.8)
3.2.1. Transfers of funds between EU persons, entities or bodies, including EU
financial and credit institutions, and Iranian persons, entities or bodies,
including Iranian financial and credit institutions, without the
requirement for authorisation or notification;
3.2.2. Opening of new branches, subsidiaries or representative offices of
Iranian banks in the territories of EU Member States; and the
establishment of new joint ventures, or the taking of an ownership
interest or the establishment of new correspondent banking
relationships by Iranian banks with EU banks; and opening by EU
persons, including EU financial and credit institutions, of representative
offices, subsidiaries, joint ventures or bank accounts in Iran;
3.2.3. Provision of insurance or reinsurance to Iran or the Government of
Iran, an Iranian legal person, entity or body, or a natural person or a
legal person, entity or body acting on their behalf or at their direction;
3.2.4. Supply of specialised financial messaging services to any Iranian
natural or legal persons, entities or bodies, including those listed in
Attachment 1 to this Annex;
3.2.5. Entering into commitments by EU Member States to provide financial
support for trade with Iran, including the granting of export credits,
guarantees or insurance; and into commitments for grants, financial
assistance and concessional loans to the Government of Iran; and
4 Unless specifically provided otherwise, the sanctions lifting described in this Section does not apply
to transactions that involve persons still subject to restrictive measures and is without prejudice to
sanctions that may apply under legal provisions other than those referred to in Section 1. Nothing in
this JCPOA reflects a change in Iran's position on EU sanctions.
6
3.2.6. Sale or purchase of public or public-guaranteed bonds to and from Iran,
the Government of Iran, the Central Bank of Iran, or Iranian banks and
financial institutions or persons acting on their behalf.
3.3. Oil, gas and petrochemical sectors (See Sections 1.2.1 to 1.2.5)
3.3.1. Import, purchase, swap or transport of Iranian crude oil and petroleum
products, natural gas or petrochemical products and related financing;
3.3.2. Sale, supply, transfer or export of equipment or technology, technical
assistance, including training, used in the sectors of the oil, gas and
petrochemical industries in Iran covering exploration, production and
refining of oil and natural gas, including liquefaction of natural gas, to
any Iranian person, in or outside Iran, or for use in Iran; and
3.3.3. Granting of any financial loan or credit to, the acquisition or extension
of a participation in, and the creation of any joint venture with, any
Iranian person that is engaged in the oil, gas and petrochemical sectors
in Iran or outside Iran.
3.4. Shipping, shipbuilding and transport sectors (See Sections 1.3.1 to
1.3.3)
3.4.1. Sale, supply, transfer or export of naval equipment and technology for
ship building, maintenance or refit, to Iran or to any Iranian persons
engaged in this sector; the design, construction or the participation in
the design or construction of cargo vessels and oil tankers for Iran or
for Iranian persons; the provision of vessels designed or used for the
transport or storage of oil and petrochemical products to Iranian
persons, entities or bodies; and the provision of flagging and
classification services, including those pertaining to technical
specification, registration and identification numbers of any kind, to
Iranian oil tankers and cargo vessels;
3.4.2. Access to the airports under the jurisdiction of EU Member States of all
cargo flights operated by Iranian carriers or originating from Iran;
3.4.3. Cessation of inspection, seizure and disposal by EU Member States of
cargoes to and from Iran in their territories with regard to items which
are no longer prohibited; and
3.4.4. Provision of bunkering or ship supply services, or any other servicing of
vessels, to Iranian-owned or Iranian-contracted vessels not carrying
prohibited items; and the provision of fuel, engineering and
7
maintenance services to Iranian cargo aircraft not carrying prohibited
items.
3.5. Gold, other precious metals, banknotes and coinage (See Sections
1.4.1 to 1.4.2)
3.5.1. Sale, supply, purchase, export, transfer or transport of gold and
precious metals as well as diamonds, and provision of related
brokering, financing and security services, to, from or for the
Government of Iran, its public bodies, corporations and agencies, or the
Central Bank of Iran; and
3.5.2. Delivery of newly printed or minted or unissued Iranian denominated
banknotes and coinage to, or for the benefit of the Central Bank of Iran.
3.6. Metals (See Sections 1.6.1 to 1.6.2)
3.6.1. Sale, supply, transfer or export of graphite and raw or semi-finished
metals, such as aluminum and steel to any Iranian person, entity or
body or for use in Iran, in connection with activities consistent with this
JCPOA.
3.7. Software (See Sections 1.7.1 to 1.7.2)
3.7.1. Sale, supply, transfer or export of software for integrating industrial
processes, including updates, to any Iranian person, entity or body, or
for use in Iran, in connection with activities consistent with this JCPOA,
3.8. Listing of persons, entities and bodies (asset freeze and visa ban)
(See Section 1.9.1)
3.8.1. As a result of delisting as specified in this Annex, releasing of all funds
and economic resources which belong to, and making available funds or
economic resources to, the persons, entities and bodies, including
Iranian banks and financial institutions, the Central Bank of Iran, listed
in Attachment 1 to this Annex; and
3.8.2. As a result of delisting as specified in this Annex, entry into, or transit
through the territories of EU Member States of individuals listed in
Attachment 1 to this Annex.
I’ve previously pointed out over 2/3 of active duty are white so you’re fake news
as i see they are saying many thingNATO has no say in this shit okay.. It's an internal Russosphere problem. Stop poking and starting WW3.
60,000 Russian Soldiers dead and 2,300 destroyed tanks so far ....
Ukraine claims over 60,000 Russian soldiers killed and Lyman 'cleared'
Of the 60,110 Russian soldiers that have died fighting, according to the Ukrainian armed forces, 500 were lost in the last 24 hours, mostly in the areas of Kramatorsk and Bakhmutwww.dailymail.co.uk
And ... winter has yet to "come".... with destroyed ammo dumps and food stocks/supplies and poor russian logistics - Russia's ability to simply occupy land it has currently is massively comprimised - let a lone fight a contested war.. you are now looking at the start of the total collapse of the Russian presence in large swathes of occupied Ukraine.
HIMARs has totally destroyed the offensive capability of the Russian Army and also destroyed their ability to occupy those lands in winter conditions ...
Russia had to "wrap" this up before winter - and it has failed .. and in doing so - now - the entire special operation is due to collapse. I dont think Russia expecting to fight a war in winter and i really dont think they prepared for one, nor can they now prepare for it..