Wildberries and Ozon have submitted reports to the Federal Antimonopoly Service on the implementation of previously issued warnings. This is reported on the FAS website.
The essence of the requirement is to synchronize the timing of payments to sellers for the goods sold. Both sites have set a single deadline: money for the goods sold must be credited to the seller's account no later than 30 calendar days from the date of sale. Prior to this, there was no clear ceiling in public offers, and the actual settlement dates varied and caused regular complaints from sellers.
The FAS warning on this topic was dated back to mid-April, and the deadline was set for mid-May. The two—and-a-half-month gap between the due date and the actual report is a common practice for antitrust regulations of this kind: sites need time to review internal billing cycles, coordinate with partner banks, and update the contractual framework before formally confirming execution.
It is important not to confuse two different things here. Starting from July 20, 2026, Wildberries has a separate rule in effect: the withdrawal button for earned funds becomes available 14 days after the approval of the financial report. This is an internal mechanism of the site that regulates the moment when the seller can technically request money. The new FAS standard of 30 days is not about the availability of the button, but about the deadline during which the money must actually be credited to the account from the moment the product is sold, and the requirement applies to both major sites equally.
In practice, these two standards should be combined: if WB technically opens withdrawal 14 days after the approval of the report, and the entire cycle from sale to approval of the report fits into the remaining 16 days, the FAS restriction does not create a problem for the site. But it is precisely this arithmetic that the seller should check on his own, rather than relying on the statements of the site.
Sellers on both sites should measure the actual interval between the date of sale and the date of receipt of money into the account for the last few billing periods. If the interval exceeds 30 days, this is a direct basis for contacting the site's support with a reference to the executed FAS warning, and in the absence of a response, for a complaint to the antimonopoly service itself, since the site already has a formal obligation to the agency.