Privacy Policy
1. Introduction
1.1. AdamFxCapitals Ltd(hereinafter referred to as the ‘’Company’’) is registered by the Registrar of Companies for Saint Lucia, with registration number 2023-00587, having its registered office on Fortgate Offsore Investment and Legal Services Ltd., Ground Floor, The Sotheby Building, Rodney Bay, Gros-Islet, Saint Lucia.
2. Key Principle
(a) Take appropriate steps to protect the Company and its domain from any activities which involve money laundering and terrorist financing.
(b) The Company must maintain and implement written policies and procedures concerning combating money laundering, a system of internal controls to ensure ongoing compliance with applicable laws, which shall be reviewed and monitored by a designated person and to take appropriate action once suspicious activity is detected, through the reporting of such transactions in line with the guidelines set out by Global Anti- Money Laundering regulations.
(c) Comply with applicable anti-money laundering and terrorist financing laws and regulations as established by the Global Anti-Money Laundering guidelines.
(d) All Company business units shall follow the AML policies and procedures.
(e) Report all identified suspicious activities to the extent it can do so under all applicable foreign and domestic laws.
(f) Compliance with the Company’s AML policies will be monitored through internal audit and regulatory reviews of compliance with relevant anti-money laundering legislation and/or regulations.
(g) Retaining all customer-related documents for a period specified by the National Futures Association (NFA) United States.
(h) The Company does not offer services of opening anonymous accounts.
(i) Full cooperation with law enforcement and regulatory agencies to the extent it can do so under all applicable laws.
(j) Train staff on Know Your Customer and Anti-Money Laundering policies and new AML laws and regulations.
(k) The AML Compliance Committee is responsible for initiating Suspicious Activity Reports (“SARs”) or other required reporting to the appropriate law enforcement or regulatory agencies. Any contacts by law enforcement or regulatory agencies related to the Policy shall be directed to the AML Compliance Committee
The committee shall:
- Receive internal reports of (suspicions of) money laundering.
- Investigate reports of suspicious events.
- Make reports of relevant suspicious events to the relevant authorities.
- Ensure the adequacy of arrangements made for the awareness and training of staff and advisers.
- Report at least annually to the firm’s governing body on the operation and effectiveness of the firm’s systems and controls
- Monitor the day-to-day operation of anti-money laundering policies about: the development of new products; the taking on of new customers; and changes in the firm’s business profile.
3. Policy
Adam Capitals’s policy is to actively pursue the prevention of money laundering and any activity that facilitates money laundering or the funding of terrorist or criminal activities. AdamFxCapitals Ltd is committed to AML compliance by applicable law and requires its officers, employees, and appointed producers to adhere to these standards to prevent using its products and services for money laundering purposes.For the Policy, money laundering is generally defined as engaging in acts designed to conceal or disguise the true origins of criminally derived proceeds so that the unlawful proceeds appear to have been derived from legitimate origins or constitute legitimate assets.
For the Policy, money laundering is generally defined as engaging in acts designed to conceal or disguise the true origins of criminally derived proceeds so that the unlawful proceeds appear to have been derived from legitimate origins or constitute legitimate assets.
4. What is Money Laundering?
Money laundering activity includes:
- Acquiring, using, or possessing criminal property.
- Handling the proceeds of theft, fraud, and tax evasion.
- Being knowingly involved in any way with criminal or terrorist property.
- Entering arrangements to facilitate the laundering of criminal or terrorist property.
- Investing the proceeds of crimes in other financial products.
- Investing the proceeds of crimes through the acquisition of property/assets.
- Transferring criminal property.
The money laundering process follows three stages:
Placement Disposal of the initial proceeds derived from illegal activity e.g., into a bank account.
Layering: The money is moved through the system in a series of financial transactions to disguise the origin of the cash to give it the appearance of legitimacy.
- Integration Criminals are free to use the money as they choose once it has been removed from the system as apparently “clean” funds. No financial sector business is immune from the activities of criminals, and Firms should consider the money laundering risks posed by the products and services they offer.
5. What is Counter Terrorist Financing (CTF)?
Terrorist financing is the process of legitimate businesses and individuals that may provide funding to resource terrorist activities or organizations for ideological, political or other reasons. Firms must, therefore, ensure that:
- (i) customers are not terrorist organizations themselves, and
- (ii) they are not providing the means through which terrorist organizations are being funded.
Terrorist financing may not involve the proceeds of criminal conduct, but rather an attempt to conceal the origin or intended use of the funds, which will later be used for criminal purposes.
6. Risk Based Approach
The level of due diligence required when considering anti-money laundering procedures within the firm, it should take a risk-based approach. This means the amount of resources spent in conducting due diligence in any one relationship that is subject risk should be in proportion to the magnitude of the risk that is posed by that relationship
These can be broken down into the following areas
Customer Risk
Product Risk
Country Risk
7. Customer Identification Program
8. Notice to Customers
9. Know Your Customers
10. Source of Funds
11. Identification
12. Verification
If the identity is to be verified from documents, this should be based on: Either a government issued document which incorporates:
- The customer’s full name, and
- Their residential address
- Photographic Government issued documents or valid passport
- National identity card alternatively, this can be done by a non-photographic government issued document which incorporates the customer’s full name, supported by a second document, which incorporates:
- The customer’s full name, and
- Their residential address
13. Evidence of Address
For increased risk level products, in addition to obtaining the standard information detailed above, the following know your customer information should be obtained and recorded:
14. Monitoring and Reporting
Transaction based monitoring will occur within the appropriate business units of AdamFxCapitals Limited. Monitoring of specific transactions will include but is not limited to transactions aggregating $5,000 or more and those with respect to which AdamFxCapitals Limited has a reason to suspect suspicious activity. All reports will be documented.