OFAC's General Licence 134B (the one-month waiver, glossed: GL 134B authorised third-country completion of in-transit Russian crude purchases plus the supporting vessel-services umbrella covering management, crewing, bunkering, insurance and salvage) expired at 12:01 ET on 16 May 2026 with no rollover 1. The waiver had been issued on 17 April as acute-stress cover after late-February strikes on Iran shut Hormuz. US Treasury has ruled out a GL 134C successor; the Russia-side tracking on the same instrument is covered in .
The Kyiv School of Economics Russian Oil Tracker for April puts average Urals FOB at roughly $76 per barrel in March, $28 above the revised G7 $47.60 cap 2. GL 134B dies into a market where the cap is already being comprehensively violated. The same KSE dataset shows the Russian-flagged share of the shadow fleet jumped from 3 per cent to 21 per cent in nine months; that defensive re-flagging pulls vessels further out of Western P&I reach rather than slowing exports.
The EU 20th sanctions package, adopted on 23 April 2026, listed 46 additional shadow-fleet vessels, taking the Total to 632 with 11 delisted after demonstrated compliance, and set the legal basis for a full maritime-services prohibition pending G7 coordination 3. Two days after GL 134B expired, OFAC posted a $275m Adani Enterprises settlement for 32 Iran-LPG sanctions violations 4. Adani is the deterrent: any Indian or Asian buyer weighing completion of a Russian cargo loaded under the lapsed waiver now reads a $275m precedent on commodity-chain enforcement.
The enforcement mechanism has migrated. Cap revenue suppression has failed at $76 FOB, and sanctions enforcement now runs through commodity-chain prosecution rather than price discipline. For a Northwest European compliance desk holding KEBCO term contracts, the 16 May cliff turns every in-flight cargo into a separate OFAC risk decision rather than a portfolio-level hedge. The KEBCO discount widens on compliance friction even when the underlying barrel balance does not change.
