OFAC IRAN sanctions program

IRAN is one of the program codes OFAC attaches to entries on the Specially Designated Nationals list. As of 2026-07-24 it appears on 674 SDN entries. Designations under this program are made under Executive Order 13599 (Iran), Executive Order 13382 (Non-proliferation) and Executive Order 13224 (Terrorism).

674
SDN entries
32
individuals
387
entities
255
vessels & aircraft

What the IRAN code means on an SDN entry

OFAC does not maintain one list per sanctions program. It maintains one SDN list, and tags each entry with the program or programs it was designated under. An entry can carry several: of the 674 entries tagged IRAN, 201 also carry at least one other program code.

The legal authorities OFAC records against these designations are:

That matters for screening: if you filter an SDN extract to a single program code you will silently drop entries that were designated under a different code but are blocked all the same. Screen the whole list, then use the program code to explain a hit — not to decide which entries to load.

IRAN designations by type

TypeEntriesShare
Entities38757.4%
Vessels18827.9%
Aircraft679.9%
Individuals324.7%

When IRAN designations were made

The earliest entry still carrying this code was published 2007-10-25; the most recent was 2026-06-02. Designations per year, most recent first:

Year publishedEntries
20265
20233
20206
20193
2018421
20144
201385
201296
201046
20083

Countries recorded against IRAN entries

Counted from the address, nationality and citizenship fields on each entry. An entry can record more than one country, and many record none, so these do not sum to the entry count:

CountryEntries
Iran286
Germany33
United Arab Emirates30
Cyprus19
Malta15
United Kingdom14
Liberia6
China5
France4
Jersey4
Oman3
Switzerland3

Most recent IRAN designations

Name as publishedTypeDate published
RAMZINEXEntity2026-06-02
WALLEXEntity2026-06-02
BITPINEntity2026-06-02
NOBITEXEntity2026-06-02
SHEIBANI, Mohammad Reza RaoufIndividual2026-05-21
AHMADINEJAD, MahmoudIndividual2023-09-18
IRIS DENAVessel2023-02-03
IRIS MAKRANVessel2023-02-03
VAZIRI, RezaIndividual2020-06-24
YAHYA ZADEH, HamidrezaIndividual2020-06-24
RAHNAVARD, AlirezaIndividual2020-06-24
GOHARDEHI, MohsenIndividual2020-06-24

Names are reproduced exactly as OFAC publishes them. OFAC also publishes alternate identities (a.k.a. spellings and transliterations) for many entries, and a screening system that matches only the primary name will miss them.

Digital-currency addresses under IRAN

OFAC publishes 6 digital-currency addresses on entries carrying this program code. Those are broken out by chain on the sanctioned address pages.

Screen this programmatically

The same data behind this page is available as a single unauthenticated GET. It checks a counterparty name against all SDN primary names and alternate identities, and returns a match list rather than a yes/no so you can log what matched and why:

curl "https://sanctionsai.dev/sanctions?name=RAMZINEX"

The free tier allows 5 checks per day with no signup, which is enough to wire the call up and see the response shape. Production limits and the audit log are on the paid tiers; the API reference covers batch screening and the degraded flag you should alert on.

Screening this in an agent or payment flow?

SanctionsAI is an OFAC screening API built for automated systems: one GET per counterparty, name and digital-currency address matching against the full SDN list, and an audit trail of what matched. Free tier, no signup.

See pricing

Source. Every figure on this page is counted from the U.S. Treasury OFAC SDN enhanced XML export, published 2026-07-24. No figure is estimated. The authoritative list is OFAC's own Sanctions List Search.

Scope. SDN list only. This page does not cover the OFAC Consolidated (non-SDN) lists, the Sectoral Sanctions Identifications list, or the EU, UK or UN lists, and it does not apply the 50 Percent Rule, under which entities owned 50% or more by blocked persons are themselves blocked without being listed by name.

Not legal or compliance advice. A screening decision requires the official list and, where the stakes warrant it, counsel.