EU sanctions
CN code 8514 and EU sanctions
CN codes / chapter 85, Electrical machinery and equipment; sound and image recording and reproducing equipment
Industrial or laboratory electric furnaces and ovens (including those functioning by induction or dielectric loss); other industrial or laboratory equipment for the heat treatment of materials by induction or dielectric loss; parts thereof
Yes. The goods Industrial or laboratory electric furnaces and ovens (including those functioning by induction or dielectric loss); other industrial or laboratory equipment for the heat treatment of materials by induction or dielectric loss; parts thereof (CN code 8514) are subject to EU sanctions in the following regime(s): EU sanctions against Belarus, EU sanctions against Russia. Below: the legal basis (annex and article), direction of the ban, possible exemptions and the regulation version date. A missing code does not mean trade is allowed.
Source last updated:
- EU sanctions against BelarusExport ban
- Annex
- XIV
- Article
- 1s
- Direction
- export to the sanctioned country
- Source version
- 2026-04-24
Exemptions and derogations, Art. 1s: Derogations for Art. 1s: check the current text of the act on EUR-Lex. We do not yet have a verified description for this article. Open the act text on EUR-LexBasis: Council Regulation (EC) No 765/2006 - EU sanctions against Russiato verifyExport ban
- Annex entry
- Ex 8514
- Annex
- XXIII
- Article
- 3k(1)
- Direction
- export to the sanctioned country
- Source version
- 2026-07-17
Partial entry: The annex lists this item as "Ex 8514", so it covers only part of heading 8514. Whether your goods fall within the scope is decided by the entry description in the annex, not by the code alone.Entry wording: Industrial or laboratory electric furnaces and ovens (including those functioning by induction or dielectric loss), excluding bakery and biscuit ovens of line 85141910; other industrial or laboratory equipment for the heat treatment of materials by induction or dielectric loss:Exemptions and derogations, Art. 3k(1): Export ban on goods enhancing Russian industry (Annex XXIII/XXXVII). A competent authority may authorise where the good is necessary for medical, pharmaceutical or humanitarian purposes. Execution of pre-existing contracts may be allowed until cut-off dates (differing per tranche/addition, e.g. Annex XXIIIE). Further exemptions for EU subsidiaries and divestment. Contract cut-off dates change with packages — check current Art. 3k. Open the act text on EUR-LexDescription based on version 2026-04-24Basis: Council Regulation (EU) No 833/2014
Notifications about changes in EU sanctions
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Frequently asked questions
Is CN code 8514 subject to EU sanctions?
Yes. The goods Industrial or laboratory electric furnaces and ovens (including those functioning by induction or dielectric loss); other industrial or laboratory equipment for the heat treatment of materials by induction or dielectric loss; parts thereof (CN code 8514) are subject to EU sanctions in the following regime(s): EU sanctions against Belarus, EU sanctions against Russia. Below: the legal basis (annex and article), direction of the ban, possible exemptions and the regulation version date. A missing code does not mean trade is allowed.
What is the legal basis and the direction of the ban?
CN code 8514 appears in the EU sanctions against Belarus, EU sanctions against Russia regime (annex XIV, Art. 1s). Restriction type: Export ban, direction: export to the sanctioned country. Source version date: 2026-07-17. Confirm the full scope on EUR-Lex.
Are there any exemptions or derogations?
Derogations for Art. 1s: check the current text of the act on EUR-Lex. We do not yet have a verified description for this article.
How do I document due diligence?
Record the CN code, regime, annex and article, plus the source version date your decision relies on. You can download a PDF report from this page as proof of the check. Note that sanctioned persons and entities are screened separately, against the EU sanctions list.
This page is informational and is not legal or customs advice. The binding source is the EU regulation and the decision of customs authorities. Screen the persons and entities list separately and check the source version date.