Virtual Assets Red Flag Indicators
Virtual Assets Red Flag Indicators
Virtual Assets Red Flag Indicators
Virtual Assets
Red Flag Indicators
of Money Laundering and
Terrorist Financing
September 2020
The Financial Action Task Force (FATF) is an independent inter-governmental body that develops and promotes
policies to protect the global financial system against money laundering, terrorist financing and the financing of
proliferation of weapons of mass destruction. The FATF Recommendations are recognised as the global anti-money
laundering (AML) and counter-terrorist financing (CFT) standard.
This document and/or any map included herein are without prejudice to the status of or sovereignty over any
territory, to the delimitation of international frontiers and boundaries and to the name of any territory, city or area.
Citing reference:
FATF (2020), Money Laundering and Terrorist Financing Red Flag Indicators Associated with Virtual Assets,
FATF, Paris, France,
www.fatf-gafi.org/publications/fatfrecommendations/documents/Virtual-Assets-Red-Flag-Indicators.html
Conclusion 19
References 20
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Acronyms
AEC Anonymity enhanced cryptocurrency
KYC Know-your-customer
ML Money Laundering
TF Terrorist Financing
©FATF/OECD 2020
VIRTUAL ASSETS RED FLAG INDICATORS OF MONEY LAUNDERING AND TERRORIST FINANCING 3
Introduction
1. Virtual assets (VA) and related services have the potential to spur financial
innovation and efficiency, but their distinct features also create new opportunities for
money launderers, terrorist financiers, and other criminals to launder their proceeds
or finance their illicit activities. The ability to transact across borders rapidly not only
allows criminals to acquire, move, and store assets digitally often outside the
regulated financial system, but also to obfuscate the origin or destination of the funds
and make it harder for reporting entities to identify suspicious activity in a timely
manner. These factors add hurdles to the detection and investigation of criminal
activity by national authorities.
2. In October 2018, the Financial Action Task Force (FATF) updated its Standards
to clarify the application of the FATF Standards to VA activities and Virtual Asset
Service Providers (VASPs) in order to, among other things, assist jurisdictions in
mitigating the money laundering (ML) and terrorist financing (TF) risks associated
with VA activities and in protecting the integrity of the global financial system. In June
2019, the FATF adopted an Interpretative Note to Recommendation 15 to further
clarify the application of FATF requirements to VA activities or operations and VASPs,
including with respect to suspicious transaction reporting.
3. The FATF has prepared this brief report on ML/TF red flag indicators
associated with VAs to assist reporting entities, including financial institutions (FIs),
designated non-financial businesses and professions (DNFBPs), and VASPs; however,
they are categorised, in identifying and reporting potential ML and TF activity
involving VAs. This report should also facilitate reporting entities’ application of a
risk-based approach to their Customer Due Diligence (CDD) requirements, which
require knowing who their clients and the beneficial owners are, understanding the
nature and purpose of the business relationship, and understanding the source of
funds.
4. Operational agencies including Financial Intelligence Units (FIUs), law
enforcement authorities (LEAs), and prosecutors may find this report a useful
reference for analysing suspicious transaction reports (STRs) or improving detection,
investigation, and confiscation of VAs involved in misuse.
5. Financial, DNFBP, and VASP regulators, on the other hand, may find these
indicators useful when preparing STRs and monitoring for entities’ compliance with
AML/CFT controls. Where a reporting entity has information indicating the existence
of one or more indicators without logical business explanation, but fails to file an STR
despite a customer’s inconsistent explanation or fails to seek clarification on the
transaction, competent authorities may consider following up with the reporting
entity taking into account the latter’s business profile.
©FATF/OECD 2020
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11. While VAs are still not widely used by the public, their use has caught on
among criminals. The use of VAs for ML purposes first emerged over a decade ago,
but VAs are becoming increasingly mainstream for criminal activity more broadly.
This set of indicators demonstrates how red flags traditionally associated with
transactions involving more conventional means of payment remain relevant to
detecting potential illicit activity related to VAs.
1 While a number of red flag indicators could apply to both instances of ML and TF, e.g. fundraising activities, financing of foreign
terrorist fighters (FTFs), and purchase of weapons (e.g. on the darknet) using VAs, readers are encouraged to read in connection
with the Confidential FATF Report on Detecting Terrorist Financing: Relevant Risk Indicators (June 2016) (restricted access to
FATF Members).
©FATF/OECD 2020
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12. Similar to the above section, the red flags below illustrate how the misuse of
VAs for ML/TF purposes could be identified through irregular, unusual, or
uncommon patterns of transactions.
2 Over-the-counter trading refers to securities that are traded for companies that are not listed on a formal exchange, and via a
broker-dealer network.
©FATF/OECD 2020
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13. This set of indicators draws from the inherent characteristics and
vulnerabilities associated with the underlying technology of VAs. The various
technological features below increase anonymity and add hurdles to the detection of
criminal activity by LEAs. These factors make VAs attractive to criminals looking to
disguise or store their funds. Nevertheless, the mere presence of these features in an
activity does not automatically suggest an illicit transaction. For example, the use of
a hardware or paper wallet may be legitimate as a way to secure VAs against thefts.
Again, the presence of these indicators should be considered in the context of other
characteristics about the customer and relationship, or a logical business explanation.
Transactions by a customer involving more than one type of VA, despite
additional transaction fees, and especially those VAs that provide higher
anonymity, such as anonymity-enhanced cryptocurrency (AEC) or privacy
coins.
Moving a VA that operates on a public, transparent blockchain, such as Bitcoin,
to a centralised exchange and then immediately trading it for an AEC or
privacy coin.
Customers that operate as an unregistered/unlicensed VASP on peer-to-peer
(P2P) exchange websites, particularly when there are concerns that the
customers handle huge amount of VA transfers on its customer’s behalf, and
charge higher fees to its customer than transmission services offered by other
exchanges. Use of bank accounts to facilitate these P2P transactions.
Abnormal transactional activity (level and volume) of VAs cashed out at
exchanges from P2P platform-associated wallets with no logical business
explanation.
VAs transferred to or from wallets that show previous patterns of activity
associated with the use of VASPs that operate mixing or tumbling services or
P2P platforms.
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14. This set of indicators is relevant to the profile and unusual behaviour of either
the sender or the recipient of the illicit transactions.
©FATF/OECD 2020
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Profile
A customer provides identification or account credentials (e.g. a non-standard
IP address, or flash cookies) shared by another account.
Discrepancies arise between IP addresses associated with the customer’s
profile and the IP addresses from which transactions are being initiated.
A customer’s VA address appears on public forums associated with illegal
activity.
A customer is known via publicly available information to law enforcement
due to previous criminal association.
Case Study 9. Customer profile does not match with regular high-value
VA trading
A VASP (exchanger) and an FI (payment institute) filed STRs with the
FIU concerning a high value of VA trading that began when the account
at the exchanger was opened. Specifically, the account holder had been
carrying out various VA buying and selling transactions for over
EUR 180 000 – which did not match the profile of the account holder
(including occupation and salary).
Analysis found that the VAs were subsequently used for (i) transactions
on a darknet market; (ii) online betting; (iii) transactions with VASPs
that did not have adequate AML/CFT controls or that were under
previous ML investigations involving millions of dollars; (iv) operations
on platforms that offered peer-to-peer transactions of VAs; and (v)
“mixing”. The account holder had also made use of a variety of different
means (e.g. money transfer, online banking, and prepaid cards) to move
a consistent amount of funds out of his account in the same time frame.
The funds received by the account holder appeared to come from a
network of individuals who bought VAs (Bitcoin) in cash and were
located in different jurisdictions in Asia and Europe (including Italy),
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both via money transfer and the banking system. He also received funds
on his prepaid cards from subjects in Africa and the Middle East, who in
turn collected funds from fellow citizens residing in Italy and abroad.
These funds were then used for cross-border transfers and online
gambling, and were withdrawn in cash from ATMs in Italy.
Source: Italy
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converting VAs into fiat currency, to customers for a fee. The defendants
also conducted business in the US but at no time registered with the
Financial Crimes Enforcement Network (FinCEN).
Source: United States
16. This set of indicators emphasises how criminals, when moving their illicit
funds, have taken advantage of the varying stages of implementation by jurisdictions
on the revised FATF Standards on VAs and VASPs.3 Based on cases reported by
jurisdictions, criminals have exploited the gaps in AML/CFT regimes on VAs and
VASPs by moving their illicit funds to VASPs domiciled or operated in jurisdictions
with non-existent or minimal AML/CFT regulations on VAs and VASPs. These
jurisdictions may not have a registration/licensing regime, or have not extended STR
requirements to cover VAs and VASPs, or may not have otherwise introduced the full
spectrum of preventive measures as required by the FATF Standards. While this
report does not seek to identify a list of “high risk” jurisdictions, reporting entities are
invited to take into account the following indictors when considering geographical
risks. These risks are associated with source, destination, and transit jurisdictions of
a transaction. They are also relevant to risks associated with the originator of a
transaction and the beneficiary of funds that may be linked to a high-risk jurisdiction.
In addition, they may be applicable to the customer’s nationality, residence, or place
of business.
Customer’s funds originate from, or are sent to, an exchange that is not
registered in the jurisdiction where either the customer or exchange is located.
Customer utilises a VA exchange or foreign-located MVTS in a high-risk
jurisdiction lacking, or known to have inadequate, AML/CFT regulations for
VA entities, including inadequate CDD or KYC measures.
Customer sends funds to VASPs operating in jurisdictions that have no VA
regulation, or have not implemented AML/CFT controls.
Customer sets up offices in or moves offices to jurisdictions that have no
regulation or have not implemented regulations governing VAs, or sets up new
offices in jurisdictions where there is no clear business rationale to do so.
3 In July 2020, the FATF published a 12-Month Review of The Revised FATF Standards on Virtual Assets and Virtual Asset Service
Providers. Section 2 of the Report covers the progress of implementation of the revised Standards since June 2019.
©FATF/OECD 2020
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Conclusion
17. This Report is drawn from extensive input by FATF Members across the global
network, and seeks to provide a practical tool for both the public and private sectors
in identifying, detecting, and ultimately preventing criminal, ML, and TF activities
involving VAs.
18. The indicators included in this Report are specific to the inherent
characteristics and vulnerabilities associated with VAs. They are neither exhaustive
nor applicable in every situation. The indicators are often just one of many elements
contributing to a bigger overall picture of potential ML or TF risk and it is important
that the indicators (or any single indicator) not be viewed in isolation. They should
be contextualised with information obtained from relevant authorities.
19. A risk-based approach implemented with a regular and dynamic two-way
dialogue between the public and private sectors would no doubt enhance the
effectiveness of this Report. Competent authorities are therefore encouraged to
disseminate this Report to reporting entities, and to conduct engagement and
awareness-raising sessions with them to promote their understanding of this Report.
20. While the indicators identified are constantly evolving, they are best used
when applying other contextual information from domestic law enforcement and
public sources. Competent authorities may also provide private sectors with the
indicators and information most relevant for that jurisdiction. For example, using the
information in this Report to prepare their own advisories to relevant reporting
entities. However, this Report should not be intended for use as a regulatory tool for
compliance and examination purposes, or as a checklist when supervising private
sector institutions as not all indicators are applicable to all jurisdictions or all
institutions.
©FATF/OECD 2020
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References
FATF (June 2014), FATF Report Virtual Currencies Key Definitions and Potential AML/CFT
Risks
FATF (June 2019), FATF Guidance for a Risk-Based Approach to Virtual Assets and Virtual
Asset Service Providers
FATF (June 2020), 12-month Review of Revised FATF Standards – Virtual Assets and VASPs
©FATF/OECD 2020
www.fatf-gafi.org
September 2020
The FATF has prepared this brief report on red flag indicators associated with
virtual assets to assist reporting entities, including financial institutions, designated
non-financial businesses and professions, and virtual asset service providers, in
identifying and reporting potential money laundering and terrorist financing activity
involving virtual assets.