* This policy of Globalsmartce inc (hereinafter
referred to as the “Company”) to prohibit and actively pursue
the prevention of money laundering and any activity that
facilitates money laundering or the funding of terrorist or
criminal activities. Company requires its officers, employees
and affiliates to adhere to these standards in preventing the
use of Company’s Services for money laundering purposes.
* Generally, money laundering occurs in three stages. Cash
first enters the financial system at the “placement” stage,
where the cash generated from criminal activities is converted
into monetary instruments, such as money orders or traveler’s
checks, or deposited into accounts at financial institutions.
At the “layering” stage, the funds are transferred or moved
into other accounts or other financial institutions to further
separate the money from its criminal origin. At the
“integration” stage, the funds are reintroduced into the
economy and used to purchase legitimate assets or to fund
other criminal activities or legitimate businesses. 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.
* Client guarantees a legal origin, legal ownership and
availability at Client of the actual right to use of the money
transferred by Client to Client’s Account.
* For the purposes of this 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.
* Each employee of Company, whose duties are associated with
the provision of products and services of Company and who
directly or indirectly deals with Client of Company, is
expected to know the requirements of the applicable laws and
regulations which affect Client’s job responsibilities, and it
shall be the affirmative duty of such employee to carry out
these responsibilities at all times in a manner that complies
with the requirements of the relevant laws and regulations.
* To ensure that this general policy is carried out,
management of Company has established and maintains an ongoing
program for the purpose of assuring compliance with the
relevant laws and regulations and the prevention of money
laundering. This program seeks to coordinate the specific
regulatory requirements throughout the group within a
consolidated framework in order to effectively manage the
group’s risk of exposure to money laundering and terrorist
financing across all business units, functions, and legal
entities.
* All new employees shall receive anti-money laundering
training as part of the mandatory new-hire training program.
All applicable employees are also required to complete AML and
KYC training annually. Participation in additional targeted
training programs is required for all employees with day to
day AML and KYC responsibilities.
* All identification documentation and services records shall
be kept for the minimum period of time required by local
law
* Each of the Company’s affiliates is required to comply with
AML and KYC policies.