February 9, 2026
3 min read
Sanctions and export controls illustration
Critical Update

Narcotics Networks &
Supply Chain Risk

New Treasury sanctions on a major Costa Rican trafficking ring highlight the hidden risks in global logistics and visitor management.

Feb 9, 2026
5 min read
OFAC Action

Designation

February 2026

New Designation: The U.S. Treasury has sanctioned Luis Manuel Picado Grijalba and his network for trafficking cocaine through Costa Rica. This action targets the entire supply chain, including logistics facilitators and money laundering fronts.

Is your visitor management system updated to screen for these new entities? SecurePoint USA's lists are updated in real-time.

Major Network Designated

OFAC designated Luis Manuel Picado Grijalba and his Costa Rica-based network for trafficking cocaine to the U.S. and Europe.

Supply Chain Infiltration

The network used legitimate-looking businesses in fishing (ASOLIPES) and aesthetics to launder money and move product.

Family Involvement

Family members were designated for managing front companies and notarizing fraudulent transactions.

Why This Matters to You

Narcotics trafficking isn't just a law enforcement issue; it's a corporate compliance risk. These networks integrate into the legitimate economy through front companies in logistics, agriculture, and services.

If your business engages with a vendor or visitor owned by these sanctioned individuals, you face strict liability for violations. Ignorance of the ownership structure is not a defense.

"The entire drug trafficking supply chain—from shipping facilitators to money launderers—bears responsibility..." — Treasury Secretary Scott Bessent

Sanctions screening engine

The Hidden Dangers

Where compliance gaps leave you vulnerable

Maritime & Logistics Risks

Criminal groups fight for control of ports like Moín. Your shipping and logistics partners must be vetted against these rising threats.

Front Companies

Traffickers use shell companies in innocuous industries (beauty salons, fishing associations) to hide illicit funds. Standard checks might miss them.

Hidden Associations

Sanctions extend to entities owned 50% or more by blocked persons. You need to know who truly owns the vendors visiting your site.

SecurePoint USA

Protect Your Facility

Deployment of advanced screening technology is your first line of defense against inadvertently aiding sanctioned networks.

Real-Time Sanctions Screening

Instantly check visitors and vendors against the very latest OFAC SDN and Blocked Persons lists.

Corporate Registry Cross-Check

Uncover hidden ownership structures to identify front companies before they gain access.

Automated Re-Screening

Daily monitoring ensures you are alerted the moment a recurring visitor or vendor is designated.

Audit-Ready Trails

Keep a permanent, immutable record of every screen and adjudication for regulatory compliance.

Action Required
Immediate steps for compliance

Compliance Checklist

Ensure your organization is protected from these specific threats.

  • Update screening lists immediately to include the new Costa Rican designees.
  • Review all current vendors in logistics, maritime, and seemingly unrelated sectors for links to the Picado Grijalba network.
  • Enhance visitor intake to capture full legal names and business affiliations for deeper screening.
  • Train front-desk staff to recognize red flags in documentation or behavior.
  • Automate your screening process to eliminate human error and lag time.

Don't Let Criminal Networks Through Your Doors

See how SecurePoint USA's advanced screening engine detects hidden risks that manual checks miss.

Visitor Compliance Checklist

  • ITAR/EAR and CMMC L2 requirements
  • Audit-ready evidence collection
  • AI assists, humans approve
Download PDF

Stay ahead of compliance changes

Get weekly insights on sanctions, export controls, and visitor compliance delivered to your inbox.

No spam. Unsubscribe anytime.