AML Policy
OPTV TVANTI MONEY LAUNDERING (“AML”)
AND COUNTER TERRORIST FINANCING (“CTF”)
POLICY
Money laundering is defined as the process where the identity of the proceeds of crime is so disguised that it gives an impression of legitimate income. Criminals specifically target financial services firms through which they attempt to launder criminal proceeds without the firms’ knowledge or suspicion.
In response to the scale and effect of money laundering, the European Union has passed Directives designed to combat money laundering and terrorism. These Directives, together with regulations, rules and industry guidance, form the cornerstone of our AML/CTF obligations and outline the offenses and penalties for failing to comply.
Whilst OPTV is currently unregulated and does not fall within the scope of the AML/CTF obligations, the senior management have implemented systems and procedures that meet the standards set forth by the European Union. This decision reflects the senior management’s desire to prevent money laundering and not be used by criminals to launder proceeds of crime.
ANTI-MONEY LAUNDERING (AML) POLICY:
The OPTV TVAML Policy is designed to prevent money laundering by meeting the European standards on combating money laundering and terrorism financing, including the need to have adequate systems and controls in place to mitigate the risk of the firm being used to facilitate financial crime. This AML Policy sets out the minimum standards which must be complied with and includes:
Appointing a Money Laundering Reporting
Officer (MLRO) who has a sufficient level of
seniority and independence, and who has
responsibility for oversight of compliance
with the relevant legislation, regulations,
rules and industry guidance;
Establishing and maintaining a Risk-Based
Approach (RBA) to the assessment and
management of money laundering and terrorist
financing risks faced by the firm;
Establishing and maintaining risk-based
Customer Due Diligence (CDD),
identification, verification and Know Your
Customer (KYC) procedures, including
enhanced due diligence for customers
presenting a higher risk, such as
Politically Exposed Persons (PEPs);
Establishing and maintaining risk-based
systems and procedures for the monitoring of
on-going customer activity;
Establishing procedures for reporting
suspicious activity internally and to the
relevant law enforcement authorities as
appropriate;
Maintaining appropriate records for the
minimum prescribed periods;
Providing training for and raising awareness
among all relevant employees.
SANCTIONS POLICY:
OPTV is prohibited from transacting with individuals, companies and countries that are on prescribed sanctions lists. OPTV will therefore screen against United Nations, European Union, UK Treasury and US Office of Foreign Assets Control (OFAC) sanctions lists in all jurisdictions in which we operate.