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Malaysia – (AMLA – Issue 2)

(AMLA - Issue 2)

In this newsletter, we explore the essential aspects of Anti-Money Laundering and Counter Financing of Terrorism (AML/CFT) compliance specifically tailored for company secretaries in Malaysia. The content delves into the applicability of these regulations, targeting individuals and firms involved in activities outlined in para 13 of the First Schedule of AMLA and para 3.3(i) in the BNM Policy Document.

Applicability

  • Applicable to all company secretaries, who whether in person or through a firm or company preparing or carry out the activities as listed in para 13 in the First Schedule of AMLA and para 3.3(i) in the BNM Policy Document

AML/CFT Requirement 

AML/CFT Requirements BNM Policy SSM Guidelines
Application of Risk-Based Approach
AML/CFT Compliance Programme
New Products and Business Practices
Customer Due Diligence (CDD)
Politically Exposed Persons (PEPs)
Reliance on Third Parties
Higher Risk Countries
Cash Threshold Report
Suspicious Transaction
Record Keeping
Management Information System
Targeted Financial Sanctions on TF, PF and other UN-Sanctions Regimes
Other Reporting Obligations

Stay tune for the upcoming newsletter, we will share with you more on Guidelines Relating To The Obligations Of Company Secretary As A Reporting Institution Under AMLA