Clarified the rules for maintaining the RNP and sending data for inclusion in it under Law No. 223-FZ

18 August 2022, Thursday

Since August 10, information about suppliers (contractors, performers) is not included in the RNP if they have not fulfilled their obligations under contracts due to force majeure. We are talking, among other things, about foreign sanctions. However, these persons were not relieved of responsibility for refusing to fulfill the contract due to sanctions against the customer.
If the customer terminates the contract under sanctions due to material violations on the part of the supplier, he must send the information for inclusion in the RNP no later than 10 working days from the date of termination of the transaction.
Document: Decree of the Government of the Russian Federation of 09.08.2022 N 1397

SUBSCRIBE FOR NEWS
All content on this site is licensed under
Creative Commons Attribution 4.0 International