Anti-Money Laundering (AML) and Know Your Customer (KYC) Policy
- Not establishing business relationships with criminals and/or terrorists.
- Not processing transactions originating from criminal and/or terrorist activities.
- Not facilitating any transaction related to criminal and/or terrorist activities.
Verification procedures
If a customer's identification information changes or if their activity appears suspicious, the Store reserves the right to request updated documents from the customer, even if such documents were previously authenticated.
AML-KYC Policy Compliance Officer
- Collecting customer identity information.
- Updating and maintaining internal policies and procedures to generate, review, submit, and store all required reports in accordance with applicable laws and regulations.
- Monitoring and tracking transactions to analyze any significant deviations from customers' normal activity patterns.
- Establishing a record management system to store and retrieve documents, files, forms, and records.
- Regularly analyzing risk assessments.
Transaction monitoring
- Request that the Client provide additional information and documents.
- Suspend or close the Client's Account.
Record retention and information reporting
If no information is found, we will provide the appropriate response, retain documentation regarding the search performed, and log the name of the individual or company listed in the request within our risk-based procedures.
Customer identification and source of funds
- Name and any other name used.
- National ID, passport number, national identity card, residence card, driver's license number, or other identification number.
- Residency information (address and/or utility company customer number, details, etc.).
- Biometric verification.
- Other additional client information if necessary to meet the requirements of the risk-based approach.
- Company name.
- Information regarding the principal place of business.
- Contact information.
- Incorporation details (registration number, date of incorporation, etc.).
- Payment details and/or banking information.
- Relevant residency information (address details or utility customer data).
- Details of persons authorized to act on behalf of the company and authorization details.
- Biometric verification of the entity's administrator(s).
- Other additional client information if necessary to meet the requirements of our risk-based approach.
We will apply relevant risk-based measures to verify each client's identity and maintain the necessary records.
Risk assessment
In accordance with international requirements, La Tienda applies a risk-based approach to combat criminal activity. Consequently, measures designed to prevent money laundering and terrorist financing are proportionate to the identified risks, allowing resources to be allocated effectively. Resources are deployed based on priority, the higher the risk, the greater the attention.