Amendment to Guidelines on Anti-Money Laundering (AML) Standards and Combating the Financing of Terrorism (CFT) /Obligations of Securities Market Intermediaries under the Prevention of Money-laundering Act, 2002 and Rules framed there under
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Anti money laundering group based policies required; intermediaries must strengthen CDD, register nonprofits, and file STRs when tip off risk. SEBI mandates group level AML/CFT policies using the statutory definition of group; tightens CDD to require reliable independent verification, authorization checks for persons acting on behalf of juridical clients, lowers beneficial ownership thresholds to 10% for non individuals and trusts, applies PEP norms to family and close relatives, requires nonprofit client registration on the NITI Aayog DARPAN portal with five year retention, directs filing of Suspicious Transaction Reports if further CDD would tip off the client, and requires pre launch ML/TF risk assessments and use of name screening technology.
Cases where this provision is explicitly mentioned in the judgment/order text; may not be exhaustive. To view the complete list of cases mentioning this section, Click here.
Provisions expressly mentioned in the judgment/order text.
Anti money laundering group based policies required; intermediaries must strengthen CDD, register nonprofits, and file STRs when tip off risk.
SEBI mandates group level AML/CFT policies using the statutory definition of group; tightens CDD to require reliable independent verification, authorization checks for persons acting on behalf of juridical clients, lowers beneficial ownership thresholds to 10% for non individuals and trusts, applies PEP norms to family and close relatives, requires nonprofit client registration on the NITI Aayog DARPAN portal with five year retention, directs filing of Suspicious Transaction Reports if further CDD would tip off the client, and requires pre launch ML/TF risk assessments and use of name screening technology.
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