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AML & KYC Policy


Anti-Money Laundering & Know Your Counterparty (KYC) Policy

Date of effect: 24.2.2022

Date of latest review: 1.1.2023

This policy confirms Victory Line’s commitment to prevent money laundering and the financing of terrorism in its business practices and transactions. Money laundering is the process of disguising the financial proceeds of crime to conceal their illegal origin. The financing of terrorism is any kind of financial support to those who attempt to encourage, plan or engage in terrorism.

Victory Line has established Know Your Counterparty (KYC) procedures to combat money laundering and the financing of terrorism. These procedures allow us to identify every organization that we deal with, to understand the legitimacy of our business relationships and to identify and react to unusual or suspicious activity.

The director is responsible for the development and implementation of this policy and relevant procedures, and Victory Line commits to review our KYC policy and procedure every year.

To support our KYC policy and procedures, Victory Line has developed a KYC form which we send to all our counterparties (this is our business partners: suppliers and customers) to collect relevant business information to identify risks of money-laundering. We require the form to be completed for all existing and new counterparties.

By collecting and reviewing the information in completed KYC forms, Victory Line commits to:

  • Establishing the identity of our counterparties
  • Checking that our counterparties are not considered high-risk (this means checking whether counterparties are based in FATF high-risk jurisdictions, named on government sponsored watchlists or international (UN) sanctions lists, or if they source from conflict-affected and high-risk areas (CAHRAs))
  • Maintaining an understanding of the nature and legitimacy of all our counterparties’ businesses
  • Maintaining KYC records for at least five years
  • Maintaining records of all single or linked cash (or cash-like) transactions above 10,000 EUR
  • Monitoring transactions for unusual or suspicious activity – this type of activity will cause the counterparty to be considered high-risk.

If counterparties are considered high-risk for any reason (for example named on a sanctions list or engaging in unusual activity) we may:

  • Cease trading with the counterparty
  • Identify the beneficial owners of the counterparty and check whether the beneficial owners are on any watchlists or sanctions list.
  • Make an on-site visit to the high-risk counterparty.
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Risk Disclosure:

Trading in financial instruments, including but not limited to stocks, commodities, forex, derivatives, and cryptocurrencies, involves substantial risks. The high degree of leverage in margin trading can work both for and against you, potentially leading to significant losses that exceed your initial investment. The prices of financial assets and cryptocurrencies are highly volatile and may be influenced by factors such as economic conditions, regulatory changes, political events, and market sentiment.

Victory Line Introduction Financial Services L.L.C strongly advises that you carefully consider your investment objectives, level of experience, and risk tolerance before engaging in any trading activity. Past performance is not indicative of future results, and there is no guarantee of profits. You should only trade with capital that you can afford to lose.

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Trading on margin, leverage, or speculative investments carries additional risks and may not be suitable for all investors. If necessary, seek independent financial or legal advice before making any investment decisions.

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