AML / CTF and KYC Policy
Anti-Money Laundering Policy.
NewLine warns users against attempting to use the service for money laundering, terrorist financing, illegal activities of any kind, as well as from using the service to purchase prohibited goods and services.
Money laundering is the concealment of an illegal source of funds by converting them into cash or investments that look legitimate.
To prevent operations of an illegal nature, the Service establishes certain requirements for all Ads created by the User:
1. In the created Announcement, the Sender and the recipient of the Payment must be the same person. Transfers to third parties are strictly prohibited.
2. All contact details specified by the User in the Announcement, as well as other personal data transmitted by the User to the Service, must be up-to-date and completely reliable.
3. It is strictly forbidden to create Advertisements by the User using anonymous proxy servers or any other anonymous connections to the Internet.
This Anti-Money Laundering Policy (hereinafter referred to as the “AML Policy”) describes the rules that NewLine adheres to:
1. do not do business with known criminals and/or terrorists;
2. not to process transactions that are the result of known criminal and/or terrorist activities;
3. not facilitate any transactions associated with known criminal and/or terrorist activities;
4. has the right to restrict or prohibit the use of all or part of the services for citizens of such countries as Afghanistan, Bosnia and Herzegovina, USA, Democratic People’s Republic of Korea, Democratic Republic of the Congo, Eritrea, Ethiopia, Guyana, Iran, Iraq, Lao People’s Democratic Republic, Libya, Somalia, South Sudan, Sri Lanka, Sudan, Syria, Trinidad and Tobago, Tunisia, Uganda, Vanuatu.
The NewLine service establishes its own verification procedures within the anti-money laundering standards – Know Your Customer (KYC) policy.
Also, the NewLine Service may request a second document to identify the User: a bank statement or a utility bill not older than 3 months, which indicates the full name of the User and his actual place of residence, the service also has the right to request photo / video verification of the client, if there are suspicions in the dishonesty of the information provided.
NewLine verifies the authenticity of documents and information provided by Users and reserves the right to receive additional information about Users who have been identified as dangerous or suspicious.
If the User’s identification information has been changed or their activities appear suspicious, then NewLine has the right to request updated documents from the User, even if they have been authenticated in the past.
Responsible for AML Policy Compliance
The AML Policy Compliance Officer is a NewLine employee who is responsible for ensuring compliance with the AML Policy, as follows:
– collection of identification information of Users and its transfer to the responsible agent for the processing of personal data;
– creating and updating internal policies and procedures for writing, reviewing, submitting and storing all reports required by existing laws and regulations;
-monitoring of transactions and analysis of any significant deviations from the normal activities of Users;
– implementation of a records management system for storing and retrieving documents, files, forms and journals;
-Regularly updated risk assessment.
The AML Compliance Officer has the right to interact with law enforcement agencies that are involved in the prevention of money laundering, terrorist financing and other illegal activities.
Monitoring of the User’s transactions and analysis of the received data is also a tool for risk assessment and detection of suspicious transactions. If money laundering is suspected, NewLine Service reserves the right to:
1. report suspicious transactions to the appropriate law enforcement authorities;
2. ask the User to provide any additional information and documents;
3. suspend or terminate the User’s account;
4. suspend the exchange and freeze assets until the circumstances are clarified;
5. return the funds to the user by canceling the exchange procedure, according to the user agreement;
6. risk assessment.
In accordance with international requirements, the NewLine Service applies a risk-based approach to combat money laundering and terrorist financing. Thus, measures to prevent the legalization of funds and the financing of terrorism are commensurate with the identified risks.