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AMLC Reminder on Registration Certificates

This circular from the Deputy Governor of the Bangko Sentral ng Pilipinas reminds all financial institutions of an advisory from the Anti-Money Laundering Council regarding customer due diligence requirements for designated non-financial businesses and professions. The advisory states that when dealing with juridical persons considered DNFBPs under the Anti-Money Laundering Act, financial institutions must require presentation of a Provisional Certificate of Registration or Certificate of Registration issued by the AMLC as part of customer due diligence. Failure of DNFBPs to provide these documents or other required information may be grounds for enhanced due diligence or re-evaluating the business relationship. Covered entities are advised to comply with due

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0% found this document useful (0 votes)
143 views3 pages

AMLC Reminder on Registration Certificates

This circular from the Deputy Governor of the Bangko Sentral ng Pilipinas reminds all financial institutions of an advisory from the Anti-Money Laundering Council regarding customer due diligence requirements for designated non-financial businesses and professions. The advisory states that when dealing with juridical persons considered DNFBPs under the Anti-Money Laundering Act, financial institutions must require presentation of a Provisional Certificate of Registration or Certificate of Registration issued by the AMLC as part of customer due diligence. Failure of DNFBPs to provide these documents or other required information may be grounds for enhanced due diligence or re-evaluating the business relationship. Covered entities are advised to comply with due

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GilbertGalope
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© © All Rights Reserved
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EIANOKO SENTNAL NO PILIPINAS

OFFICE OF THE DEPUW GOVERNOR


FINANCIAL SUPERVISION SECTOR

crRcurAR TETTER NO. Ct- 2019 - 043

To : All BSP-Supervised Financial Institutions (BSFls|

Subject : Anti-Money Laundering Council (AMLCI Resolution No. 81 dated 9 May


2019 - Reminder on the Presentation of Certificate of Registration lssued
by the AMLC to Designated Non-Financial Businesses and Professions
(DNFBPs| as part of Customer Due Diligence (CDDI

This is to disseminate to all BSFIs the advisory {copy attached} approved by the
AMLC, in its Resolution No. 81 dated 9 May 2019. The advisory reminds all covered
persons dealing with customers which are juridical persons, who are considered as
DNFBPs1 under the Anti-Money Laundering Act {AMLA), as amended, to require the
presentataon of Provisional Certificate of Registration (PCOR) and/or Certificate of
Registration (COR) issued by the AMLC as part of CDD measures prescribed under
Chapter Vl, Rule 18, Section 3.5(bX1) of the 2018 lmplementing Rules and Regulations of
the AMLA, as amended.

As provided in the advisory, failure, refusal or negligence by the DNFBPs to


provide the PCOR or COR, as well as other information and documents required under
the 2018 lRRs, may be considered as grounds to conduct enhanced due diligence
measures and/or re-evaluate the business relationship.

For guidance and strict compliance.

6ff [Link]
eputy Governor

11 June 2oL9

Att: a/s

' As enumerated in the advisory

A. Mabini St., Malate 1004 Manila, Philippines. Trunkline (63217O877O1. UR[: [Link],ph . e-mail: bspmail@[Link]
. Republic of the Philippines
ANTI-MONFT LAU NDERING COUNCIT

Remlnder for Covered Persons to requlre the presentation of the Certificate of


Reglstration (CORI wlth thd AMLC for Designated Non-Flnanclal Businesses and
Professlons (DNFBPs| as part of Customer Due Dlligence (CDDI measures

The Anti-Money Laundering Council (AMLC) reminds covered persons dealing


with customers which are juridical persons, who are Designated Non-Financial
Businesses and Professions (DNFBPs), to require the presentation of the Provisional
Certificate of Registration (PCOR) and/or Certificate of Registration (CORI with the
AMLC as part of the Customer Due Diligence (CDD) measures prescribed under
Chapter Vl, Rule 18, Section 3.5(bXU of the 2018 lmplementing Rules and Regulations
(lRRs) of the Anti-Money Laundering Act (AMLAI, as amended. under the AMLA, ai
amended, the following DNFBPs are considered covered persons:

1. Jewelry dealers in precious metals, who, as a business, trade in precious


etals;

2. Jewelry dealers in precious stones, who, as a business, trade in precious


stones;

3. company service providers which, as a business, provide any of the


following services to third parties:
a. Acting as a formation agent of juridical persons;
b. Acting as (or arranging for another person to act as) a director or
corporate secretary of a company, a partner of a partnership, or a
similar position in relation to other juridical persons;
c. Providing a registered office, business address or accommodation,
correspondence or administrative address for a company, a
partnership or any other legal person or arrangement; and
d. Acting as (or arranging for another person to act as) a nominee
shareholder for another person;

4. Persons who provide any of the following services:


a. Managing of client money, securities or other assets;
b. Management of bank, savings or securities accounts;
c. organization of contributions for the creation, operation or
management of companies; and
d. creation, operation or management of juridicar persons or
arrangements, and buying and selling business entities; and

casinos, including internet and ship-based casinos, with respect to their


casino cash transactions related to their gaming operations.
Juridical persons. including law firms and accounting firms, which perform anv
of the activities enumerated in item nos. 3 and 4 above. are deemed covered persons
under the AMIA. Also, Philippine Offshore Gaming Operators (POGOs) are considered
as casinos under item no. 5 above.

Failure, refusal or negligence by the aforesaid DNFBPs to supply the pCOR or


COR, as. well as the other information and documents required under the 2O1g lRRs,
may be considered as grounds to conduct enhanced due diligence measures and/or
re-evaluate the business relationship.

Covered persons are advised that failure to comply with the requirements of
the 2018 lRRs shall be subject to applicable sanctions under Rule V of the Rule on the
lmposition of Administrative Sanctions under Republic Act No. 9160, as amended.

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