New Restrictions on Deposits of “Unfriendly” Persons: What Changed as of June 1, 2026
As previously reported, Presidential Decree No. 377 came into force on June 1, 2026, introducing amendments to Decree No. 95.
Key update:
The special regime established by Decree No. 95 now applies not only to certain types of obligations, but also to bank deposits held by persons from “unfriendly” states.
What does this mean in practice?
In reality, banks are transferring funds of such clients, upon deposit maturity, to Type “C” accounts.
At the same time, the RUB 10 million threshold not subject to transfer to a Type “C” account is applied cumulatively to all payments made by the bank in favor of an “unfriendly” person, rather than separately to each obligation.
As a result, virtually all deposits fall under these restrictions.
What can be done?
Current enforcement practice shows that:
- There is effectively only one working solution — obtaining a Russian residence permit and acquiring the status of a Russian currency resident.
- After that, the restrictions are lifted and access to funds is restored.
Unfortunately, we do not currently see any other effective legal mechanisms.
Reminder:
Certain categories of foreign nationals are eligible to obtain a Russian residence permit under a simplified procedure.