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Rh 32. The Wagner Network is merely the best-known and documented example of a PMC acting deniably on behalf of a state to further its interests and enrich its elites, at the expense of local citizens’ safety and stability in the long term – as well as security and stability in Europe. We are deeply concerned that the Government’s failure to address the network hints at a fundamental lack of knowledge of, and policy on, other malign PMCs. (Paragraph 83)

33. The Government should take a more strategic and coherent approach to addressing the challenges of this network and other proxy ‘PMCs’ by: (Paragraph 84)


 * (a) assigning clear responsibility for the Wagner Network and adjacent ‘PMCs’ to a senior official in the Russia Unit, whose primary job it is to ensure that all levers of government are working together to tackle the challenges of Russia-aligned PMCs;


 * (b) establishing a cross-Government lead on Private Military Companies, operating from the Cabinet Office’s Office for Conflict, Stabilisation and Mediation, focused on analysing this trend, mapping activity globally, and bringing together different geographic desks and teams across the MoD, Treasury, intelligence community and FCDO as appropriate to assess threats to British interests, and to identify British responses as appropriate;


 * (c) establishing a taskforce for addressing the challenges posed by the Wagner Network and other linked PMCs, to enable swift cross-government collaboration.

34. The Government appears remarkably complacent about the growing practice of states using PMCs for malign purposes. Although the expansion of the Wagner Network and the harm it has caused appears to have led to some re-examination of the Government’s approach (paragraph 34), we have no detailed information to understand the Government’s new approach to countering state threats. (Paragraph 85)

35. The Government continues to rely on a largely voluntary model of PMC regulation. Our predecessor committee conducted a detailed report into the subject of PMCs in 2002. Even then, the risks of a voluntary model were clear, in that it does little to prevent the “activities of disreputable companies” that are “detrimental to the United Kingdom’s interests”. The current approach also does little to protect the UK’s domestic PMCs, which may be tarred with the same brush as malign actors. We do not want our successor committee to have to raise these issues again in 20 years’ time. (Paragraph 86)

36. ''The Government should improve its understanding of other PMCs and Private Security Companies (PSCs) connected in particular to Russia and China, and from all states. This is likely to be a growth industry, with more Governments seeking to create PMCs to secure their geopolitical and economic interests. The Government should provide further information on how its new approach to countering state threats, outlined in the Integrated Review Refresh, will tackle the challenge of states’ malign use of proxy PMCs.'' (Paragraph 87)

37. ''In its response, the Government should set out the steps that it will take to strengthen the international legal framework governing PMCs’ activities, drawing on the UK’s deep legal expertise. Its response should address the following aspects:'' (Paragraph 88)