Also Known As:
马捷
馬捷
Weapon Program:
- Drone
Related Country:
- China
- Hong Kong
- Turkey
Address:
Xining, Qinghai, China
A Chinese national involved in a procurement network supporting Oje Parvaz Mado Nafar Company, an Iran-based producer of engines for Shahed-131 and Shahed-136 unmanned aerial vehicles (UAVs); Shahed-series drones are developed by Shahed Aviation Industries for the Islamic Revolutionary Guard Corps (IRGC) Aerospace Force.
Supports Oje Parvaz Mado Nafar Company's affairs in China, according to the U.S. Department of the Treasury; makes travel arrangements for Mado employees visiting China and coordinates meetings between Iranian defense officials and their China-based suppliers.
Director and sole shareholder of Hong Kong-based Qian Xi Long Trading Co Limited and Hin Yun Trading Company Limited, which according to the U.S. Department of the Treasury have facilitated millions of dollars' worth of transactions through companies in Hong Kong and Turkey, including transactions related to engine components.
Held 100% of shares in Hong Kong-based Mado Import and Export Company Limited in 2013; transferred ownership of the company to Oje Parvaz Mado Nafar Company managing director Yousef Aboutalebi in November 2013, approximately one month after the company was incorporated.
Manager, executive director, and majority shareholder of China-based Yiwu City Xianma Import and Export Co Ltd., which was deregistered in December 2025.
Born in 1982.
Sanctions
Added on November 12, 2025, to the Specially Designated Nationals (SDN) list maintained by the U.S. Department of the Treasury's Office of Foreign Assets Control (OFAC), freezing the person's assets under U.S. jurisdiction and prohibiting transactions with U.S. parties, pursuant to Executive Order 13382, which targets proliferators of weapons of mass destruction (WMD) and their delivery systems; also subject to the Iranian Financial Sanctions Regulations, which restricts the use of the U.S. financial system for transactions involving Iranian entities.
Foreign parties facilitating transactions for the person or otherwise assisting the person may be subject to U.S. sanctions; foreign financial institutions facilitating transactions for the person may be prohibited from opening or maintaining correspondent or payable-through accounts in the United States; subject to heightened U.S. export license requirements (with a presumption of denial) due to involvement in activities related to WMD proliferation.
