Nova | Offshore Private E-Banking
Anti-Money Laundering Policy
We are certified by ACAMS, the world's largest membership organization of professionals dedicated to combating financial crime.
Our AML Policy follows AMSC standards. (※Association of Certified Anti-Money Laundering Specialists)
For more information on AML Policy, please click here: MoneyLaundering.com
Below are some important information regarding our AML policy.
Ⅰ General Concepts
Ⅰ-1. Risk-based approach .
Ⅰ-2. Financial institutions’ AML/CFT measures
(1) ML/FT risk control framework
(2) Involvement and understanding of the Board
Ⅰ-3. Roles of industry associations and central institutions
Ⅰ-4. Supervisory actions
Ⅱ Risk-Based Approach
Ⅱ-1. Risk-based approach
Ⅱ-2. Identification, assessment, and mitigation of risk
(1) Risk identification
(2) Risk assessment
(3) Risk mitigation .
(ⅰ) Risk mitigation measures
(ⅱ) Customer due diligence (CDD)
(ⅲ) Transaction monitoring and screening
(ⅳ)Record keeping
(ⅴ)Suspicious transaction reporting (STR)
(ⅵ) IT systems
(ⅶ)Data governanc
(4) Considerations when making cross-border transfers and similar transactions
(ⅰ)(Cross-border wire transfers and similar transactions
(ⅱ)Financing and extending credit involving trade-based finance
(5) FinTech
Ⅲ Evaluation and Review of the ML/FT Risk Control Framework and its Effectiveness
Ⅲ-1. Formulation, implementation, evaluation, and review of AML/CFT policies, procedures and programs (PDCA)
Ⅲ-2. Involvement and understanding of the Board
Ⅲ-3 The Board and control: three lines of defense
(1) First line of defense
(2) Second line of defense
(3) Third line of defense
Ⅲ-4. Group-wide risk control framework
Ⅲ-5. Human resource development
Ⅳ Monitoring and Public Private Partnership
Ⅳ-1. Monitoring by the Financial Services Agency
Ⅳ-2. Public private partnership and cooperation with relevant authorities