AML/CFT: Implementing the Targeted Financial Sanctions Program

Overview

A relevant person should develop policies, procedures, systems, and controls to implement targeted financial sanctions (TFS) effectively. The relevant person must develop a comprehensive sanctions compliance program to comply with TFS measures and avoid sanctions evasion risk.

This Practice Note discusses the implementation of a comprehensive framework for complying with TFS.

Definitions

  • AML: Anti-money laundering.

  • Authorised person: Authorised firm or an authorised market institution.

  • Authorised firm: An authorised person who holds a licence to carry on one or more financial services in or from the DIFC and is not an authorised market institution.

  • Authorised market institution: An authorised person operating an exchange, a clearing house or an alternative trading system.

  • Beneficial owner: A beneficial owner includes the following:

    • In relation to a customer, means a natural person who ultimately owns or controls the customer or a natural person on whose behalf a transaction is conducted, or a business relationship is established.

    • In relation to a body corporate:

      • The natural persons who ultimately have a controlling ownership interest in the body corporate, whether legal or beneficial, direct or indirect.