Extra Value is committed to meet regulatory demands and adhere to AML/CTF Policy to current legislation requirements. Extra Value may have additional policies and procedures designed to comply with legislation, regulations and any other policies.
‘MONEY LAUNDERING’ MEANS:
Extra Value is obliged to report to the Financial Intelligence Unit in the event of suspicion of money laundering or terrorist financing.
Extra Value is committed to identify and assess any money laundering or terrorist financing risks as well as to mitigate these risks to an acceptable level. As part of the risk assessment, we monitor and review the operations of customers.
Extra Value takes steps to identify our customers and check whether they are who they say they are.
Extra Value is prohibited from transacting with individuals, companies, and countries that are on prescribed Sanctions lists. Extra Value will, therefore, screen against the United Nations, European Union, UK Treasury and US Office of Foreign Assets Control (OFAC) sanctions lists in all jurisdictions in which we operate.
Extra Value will retain documents related to the identification information which serve the basis for identification and verifications of persons, and the documents serving as the basis for the establishment of a business relationship as well as certain other documents and information as per AML laws and regulations no less than five years after termination of the business relationship.