US Releases Locations of Nigeria Bureaux de Change Linked to ISIS Financing
US Lists Nigeria Bureaux de Change in ISIS Financing Crackdown

On June 22, 2026, the U.S. Department of the Treasury's Office of Foreign Assets Control (OFAC) published a new list of individuals and entities accused of financing terrorism. The announcement highlights bureaux de change in Nigeria and other financial service businesses in Syria and Turkey linked to ISIS operations.

Individuals Designated Under Sanctions

Three individuals were named in the latest sanctions. Mukhtar Adamu Muhammad, a Nigerian national born August 2, 1990, residing at No. 45, Abimbola Street, Agege, Lagos State. He is linked to ISIS-West Africa and controls several bureaux de change in Nigeria. Abdelhakim Boukich, also known as Abu Sulayman, born December 15, 1993, in The Hague, Netherlands. He is linked to ISIS and controls Bitcoin Xchange in Syria. Miloud Abderrahmane, a French national born August 1992, is accused of conducting digital currency transactions for ISIS affiliates.

Entities Linked to ISIS Financing

OFAC also designated several companies accused of supporting ISIS operations. These include Generation Currency Bureau de Change Limited, Lagos, Nigeria, registered in January 2019; Manhattan Bureau de Change Limited, located at No. 59 Murtala Mohammad Way, Wapa, Kano, Nigeria, registered in January 2021; Nine to Nine Exchange Bureau de Change Limited, Block 7, Faan Complex, Airport Road, Ikeja, Lagos State, Nigeria, registered in August 2017; Spider Gayrimenkul Ve Genel Ticaret Limited Sirketi, Istanbul, Turkey, operating under several aliases including Spider Money Transfer Company; Alkaram Danismanlik Gayrimenkul Ic Ve Dis Genel Ticaret Limited Sirketi, based in Istanbul, Turkey, operating under multiple names including Al-Karam Financial Transfers; and Bitcoin Exchange Agent Idlib's No.1 Coin Exchange, with branches in Idlib, Salqin, Darkush, and Sarmada, Syria.

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Sanctions Implications for Nigeria

The designations mean that all property and interests of these individuals and entities within U.S. jurisdiction are blocked. U.S. persons are prohibited from engaging in transactions with them, and violations may lead to civil or criminal penalties. Foreign financial institutions that knowingly facilitate transactions for these sanctioned entities may also face secondary sanctions, including restrictions on correspondent accounts in the United States.

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