Section I - General Information: AML Questionnaire
Section I - General Information: AML Questionnaire
Section I - General Information: AML Questionnaire
Date Established:
Country of Registration: Registration number:
Please state the exchange where you are listed (the major
exchange
is sufficient) and include your listed exchange
and symbols
Section II – Ownership & Management Information
(only for use when subject bank is not a public traded entity)
In the space provided below please list the ownership [Govt/Public/Private] and the percentage of Holding2
If any of the foregoing owners is a legal entity, please list the names of the shareholders of the legal entity 3, and their ownership
interest in the legal entity.
(Attach additional sheets if necessary).
3. Is the supervision carried out with special regard to the prevention of money laundering and combating
terrorist financing? Yes No
1
Please specify the type of entity, for example: a partnership or a company (public or private, etc,).
2
For purposes of this question, an “owner” is any person or legal entity that, directly or indirectly, owns, controls or has voting power of 25% or more of any class of
securities of your bank – please check cross references.
3
If the second tier shareholders are also Legal Entities, the third tier Shareholders’ Names, Ownership Interests and Nature of Ownership shall also be listed.
This exercise continues through the required number of iterations until the true beneficial owners are identified.
FIMBank plc reserves the right to request any additional information or documentation, as required. 1 of 5
AML Questionnaire
4. Are there any specific laws or regulations on Money Laundering prevention in your country? Yes No
Kindly provide us with a list of laws/regulations.
7. Does your country’s regulatory body require all credit institutions to have anti-money laundering and
know your customer procedures? Yes No
8. Do your regulations/directives require the recognition of the true identity of customers and the origin of
their funds? Yes No
If so, is your institution in compliance with AML and KYC rules? Yes No
9. Do you comply with the recommendations of the FATF or the European Union or with equal standards? Yes No
10. Do you have written anti-money laundering procedures and policies? If so, do they include at least: Yes No
10.1 the identification of the true identity, source of funds, economic activities and the nature
of anticipated transactional activities of all customers prior to establishing a business relationship? Yes No
a) Compliance Officer:
b) Designation:
c) MLRO:
d) Designation:
e) Full Address:
f) E-mail address:
g) Phone / Fax No:
h) Swift code:
10.4 staff training in terms of AML, which is carried out on a regular basis? Yes No
10.5 an employee training program to educate employees in the ways of preventing money laundering
transactions and to assist them in identifying suspicious transactions, which is carried out on a
regular basis? Yes No
11. If your answer to the previous question is ‘No’, do you plan to develop written policies? Yes No
12. Has your institution developed written policies documenting the processes that they have in place to
prevent, detect and report suspicious transactions? Yes No
FIMBank plc reserves the right to request any additional information or documentation, as required. 1 of 5
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AML Questionnaire
13. Does the AML compliance programme require the approval of your institution’s board or senior
committee thereof? Yes No
14. Is your customer identification program designed to obtain and verify information regarding your
customers’ true identity, source of funds, economic activities and the nature of anticipated transactional
activities? Yes No
15. Is there a formal risk assessment based on customers, services, products, and jurisdictions? Yes No
16. Is the risk assessment updated as and when new products or services are offered? Yes No
17. Are customers and counterparties assessed as high risk subject to enhanced due diligence procedures
in the context of KYC and ongoing reviews/monitoring? Yes No
18. Do the AML/CTF Policy and Procedures cover the identification and verification of all UBOs, i.e. natural
persons, who own greater than 10% of corporate customers at the time of account opening? Yes No
19. Do the AML/CTF Policy and Procedures cover the identification and verification of all controllers and
identification of all directors of corporate customers at the time of account opening? Yes No
20. Do the verification procedures above include the retaining of appropriately certified copies of official
identification documentation which includes address verification? Yes No
21. Do you have account opening procedures (customer acceptance policy) in place? Yes No
22. In addition to inspections by the government supervisors/regulators, do you have an internal audit
function or another independent third party such as an External Auditor, that assesses AML policies and
practices on a regular basis? Yes No
Please specify the name of the External Auditor if such a measure is in place.
23. Is your monitoring program designed to facilitate the identification of suspicious transactional
activities? Yes No
24. Does your institution maintain records on customer identification, account files and correspondence
for a specific period of time and cooperate with local authorities so as to permit investigation of suspicious
activities as well as provide, if necessary, evidence for prosecution of criminal behavior? Yes No
25. Have you implemented a process aimed at assessing your compliance with international anti-money
laundering and anti-terrorist financing policies, regulations, legislation and/or sanction lists issued by
relevant international or regional organisations? Yes No
26. Does your institution have policies or practices for the identification and reporting of transactions that
are required to be reported to the authorities? Yes No
FIMBank plc reserves the right to request any additional information or documentation, as required. 3 of 5
AML Questionnaire
27. Where cash transaction reporting is mandatory, does your institution have procedures to identify
transactions structured to avoid such obligations? Yes No
28. Does your institution screen customers and transactions against lists of persons, entities or countries
issued by government/competent authorities? Yes No
29. Does your institution have policies to reasonably ensure that it only operates with correspondent banks
that possess licenses to operate in their countries of origin? Yes No
30. Does your institution adhere to the Wolfsberg Transparency Principles and the appropriate usage of the
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SWIFT MT 202/202COV and MT 205/205COV message formats? Yes No
31. Are your policies and directives applicable for all branches and subsidiaries, both in the home country
and in locations outside the home country, at least as a minimum standard? Yes No
32. Does your institution have policies covering relationships with politically exposed persons consistent
with industry best practices ? Yes No
33. Does your institution retain records of its training sessions including attendance records and relevant
training materials used? Yes No
34. Does your institution communicate new AML related laws or changes to existing AML related policies or
practices to relevant employees? Yes No
35. Does your institution employ third parties to carry out some of the functions of the FI? Yes No
36. If the answer to question 35 is ‘Yes’, does your institution provide AML training to relevant third parties
that includes:
37. Has a USA Patriot Act Certification (as well for Correspondent Banks) been provided by your good
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institution? Yes No
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38. Do you provide any banking services to “shell” banks? Yes No
If ‘Yes’, please provide details.
39. Has your institution ever had any regulatory or criminal enforcement actions resulting from violations
of anti money laundering laws or regulations? Yes No
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The four payment message standards to be observed are: i) FIs should not omit, delete, or alter information in payment messages or orders for the purpose of avoiding
detection of that information by any other FI in the payment process; ii) FIs should not use any particular payment message for the purpose of avoiding detection of
information by any other FI in the payment process; iii) Subject to applicable laws, FIs should cooperate as fully as practicable with other FIs in the payment process
when requesting to provide information about the parties involved; and (iv) FIs should strongly encourage their correspondent banks to observe these principles.
Source: http://www.wolfsberg-principles.com/pdf/standards/Wolfsberg_NYCH_Statement_on_Payment_Message_Standards_(2007).pdf
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Please state the issuing date and the internet source if available.
6
A shell bank in generally defined as an entity that does not mantain a physical presence.
FIMBank plc reserves the right to request any additional information or documentation, as required. 4 of 5
AML Questionnaire
Telephone:
E-mail:
Secondary Contact:
Designation:
Telephone:
Fax number:
E-mail:
Website:
Swift Address:
We declare that none of the Directors, Shareholders or Beneficial Owners of the Bank are identified or associated with any Politically
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Exposed Persons (PEP).
We agree to provide FIMBank plc on request within a reasonable time, any KYC documentation for customers whose payments pass
through FIMBank plc.
We agree not to offer the correspondent service provided by FIMBank plc to other sub-respondents (“nesting”).
We declare that our internal controls are adequate and effective in the prevention of Money Laundering and Financing of Terrorism.
The undersigned, based on his/her best knowledge and belief, certifies the above referenced questions were answered considering
the existing internal controls of the subject financial institutions, and further present an accurate representation of the existing state of
the institution’s anti-money laundering and anti-terrorist financing internal controls and financial services activities.
Completed by:
Designation:
Date:
Signature
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If yes, please provide details
FIMBank plc reserves the right to request any additional information or documentation, as required. 5 of 5