AML & Compliance Policy

THE PLUZ1 GmbH LTD. ("PLUZ1.CH") IS MONEY SERVICES BUSINESS AUTHORISED & REGULATED BY THE FINANCIAL CONDUCT AUTHORITY UNDER THE PAYMENT SERVICES REGULATION 2023 AND HER MAJESTY HAVE TO BE REMOVED THE BUSINESS IS IN SWITZERLAND OR IN THE UK.

WE COMPLY WITH GOVERNEMNT REGULATIONS AT ALL TIMES THROUGH OUR POLICY.

WE ARE SUBJECT TO THE FOLLOWING REGULATIONS AS A MONEY SERVICE BUSINESS:

REPORTING

We are required by law to report the following types of transactions to the authorities:

  • Suspicious Activity (SAR)

RECORD KEEPING

We are required to keep all client, transaction and corporate records for a minimum of 5 years.

ASCERTAINING IDENTITY

We are required to collect and verify your identification for remittances from 1000 chf and more.

THIRD PARTY DETERMINATION

If you are conducting a transaction on someone else's behalf, we are required to obtain information on the both parties: you and the person on whose behalf you are conducting the transaction.

COMPLIANCE PROGRAM

We are required to maintain a compliance program containing adequate policies and procedures in accordance with the regulated by ARIF Switzerland as a money service business:
https://arif.ch/en/

ADDITIONAL MEASURES WE TAKE TO PREVENT MONEY LAUNDERING AND TERRORIST FINANCING

WE TAKE THE FOLLOWING ADDITIONAL MEASURES TO PREVENT MONEY LAUNDERING AND TERRORIST FINANCING:

SCANNING AGAINST THE HM TREASURY WATCH LIST

It is our policy to check each transaction against the HM Treasury watch list. Any matched names are subject to further review by the compliance officer.

TRANSACTION MONITORING

We have adequate controls pertaining to the transaction activity at different stages of the life cycle of a transaction. These controls include:

  • Client Profiling
  • Risk Assessment
  • Client Identification Controls & Validations
  • Transaction Aggregation Thresholds
  • Government Reporting Controls & Validations
  • Possible Structuring Reporting
  • Enhanced Due Diligence Reporting