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FC-1.8.1

The customer due diligence measures outlined under Section FC-1.2 must be carried out in the normal way on the respondent bank. Islamic bank licensees which intend to act as correspondent banks must gather sufficient information (e.g. through a questionnaire) about their respondent banks to understand the nature of the respondent's business. Factors to consider to provide assurance that satisfactory measures are in place at the respondent bank include:

(a) Information about the respondent bank's ownership structure and management;
(b) Major business activities of the respondent and its location (i.e. whether it is located in a FATF compliant jurisdiction) as well as the location of its parent (where applicable);
(c) Where the customers of the respondent bank are located;
(d) The respondent's AML/CFT controls;
(e) The purpose for which the account will be opened;
(f) Confirmation that the respondent bank has verified the identity of any third party entities that will have direct access to the correspondent banking services without reference to the respondent bank (e.g. in the case of "payable through" accounts);
(g) The extent to which the respondent bank performs ongoing due diligence on customers with direct access to the account, and the condition of bank regulation and supervision in the respondent's country (e.g. from published FATF reports). Banks should take into account the country where the respondent bank is located and whether that country abides by the FATF 40+ 9 Recommendations when establishing correspondent relationships with foreign banks. Banks should obtain where possible copies of the relevant laws and regulations concerning AML/CFT and satisfy themselves that respondent banks have effective customer due diligence measures consistent with the FATF 40+ 9 Recommendations;
(h) Confirmation that the respondent bank is able to provide relevant customer identification data on request to the correspondent bank; and
(i) Whether the respondent bank been subject to a money laundering or terrorist financing investigation.