Demand that Canada enforce sanctions on the Iranian regime.

Demand that Canada enforce sanctions on the Iranian regime.
Why this petition matters
1) We request the Canada Prime Minister to add "Majid Ghassemi", and any person and/or company related to "Bank Pasargad", to the list of entities sanctioned within Canada.
AND
2) We also request the Canada Prime Minister to officially open the appropriate investigation regarding the possible involvement of the following organisation due to the IP address "107.6.7.253" registered at their name, and exchanging directly with Iranian domain "bpi.ir" (Bank Pasargad) ;
》Aptum Technologies located at 191 The West Mall, Etobicoke, ON, M9C 5L6, Canada
》eStruxture Canada Inc located at 800 Rue du Square Victoria, Montreal, QC, H4Z 1B7, Canada



Majid Ghassemi : In 1985, he was chosen as CEO of Bank Melli Iran. In 1986, he was elected governor of Central Bank of the Islamic Republic of Iran and was in office until 1989. He then took positions in Iranian Ministry of Energy as the minister's deputy and CEO of several affiliate companies active in steel industries and mining. In 2005, he established Bank Pasargad as the Iran's fifth private bank after Islamic Revolution. Presently, he is the CEO and vice chairman of Bank Pasargad and a board member in some of the bank's affiliates.

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Yet following the actual Canadian Law ;
Special Economic Measures (Iran) Regulations
SOR/2010-165
SPECIAL ECONOMIC MEASURES ACT
Registration 2010-07-22
Iran means the Islamic Republic of Iran and includes:
• (a) any of its political subdivisions;
• (b) its government and any of its departments or a government or department of its political subdivisions; and
• (c) any of its agencies or any agency of its political subdivisions. (Iran)
Iranian financial institution [Repealed, SOR/2016-15, s. 1]
Minister means the Minister of Foreign Affairs.
The Regulations prohibit any person in Canada or any Canadian outside Canada from:
• dealing in property, wherever situated, that is owned, held or controlled by listed persons or a person acting on behalf of a listed person in Schedule 1;
• entering into or facilitating any transaction related to a dealing prohibited by these Regulations;
• providing any financial or related services in respect of a dealing prohibited by these Regulations;
• making available any goods, wherever situated, to a listed person or a person acting on behalf of a listed person in Schedule 1; and
• providing any financial or other related services to or for the benefit of a listed person in Schedule 1.
• exporting, selling, supplying or shipping any goods listed in Schedule 2 of the Iran SEMA Regulations, to Iran, to any person in Iran, or to a person for the purpose of a business carried on in or operated from Iran; and
• transferring, providing or disclosing to Iran or any person in Iran any technical data related to the goods listed in Schedule 2.

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