Belgazprombank
PREVENTION OF MONEY LAUNDERING, COUNTERACTION TO TERRORIST FINANCING AND PROLIFIRATION

Belgazprombank pays close attention to compliance with the legislation of the Republic of Belarus on prevention of money laundering, counteraction to terrorist financing and financing of spread of weapons of mass destruction (hereinafter – AML/CTF).

The Internal Control Rules in the sphere of prevention of money laundering, counteraction to terrorist financing and financing of spread of weapons of mass destruction (hereinafter referred to as the "Internal Control Rules") were developed within Belgazprombank and approved by the decision of its Management Board on 26.12.2016. The Internal Control Rules were subjected to changes and amendments by the decisions of the Management Board as of 26.12.2017 and 26.03.2018.

In accordance with the Internal Control Rules there is a system of internal control established in Belgazprombank to prevent the engagement of Belgazprombank in money laundering.

The AML/CTF internal control system is in place at all stages of financial transactions, taking into account the risk-based approach and provides for:

  • collection and examination of required data and documents in order to form the image on a client’s identity (identification), recording of the required data and documents into a client form, risk assessment of doing business with a client
  • procedures for establishment of relations with politically exposed persons and their associates, as well as increased attention to their transactions
  • monitoring of financial transactions at the stages of current and subsequent control in order to identify financial transactions connected with money laundering, terrorist financing and financing of spread of weapons of mass destruction
  • procedure for refusal of establishing relations with clients, the order of suspension and termination of relations with clients, as well as the procedure for refusal of performing suspicious financial transactions if there is sufficient evidence that the client's financial transactions are related to money laundering, terrorist financing and financing of spread of weapons of mass destruction
  • procedure for identification of individuals whose transactions are subject to measures on freezing and (or) blocking
  • freezing of funds and (or) blocking of financial transactions of individuals involved in terrorist activity

Belgazprombank:

  • refuses to carry out financial transactions of clients, as well as their representatives in case of their failure to submit documents (information) required for their identification in accordance with the legislation of the Republic of Belarus
  • neither opens nor maintains banking accounts for anonymous clients and clients with explicitly fictitious names or pseudonyms
  • does not serve individuals without their personal presence or presence of their representatives, except cases stipulated by the legislation of the Republic of Belarus

Belgazprombank does not establish nor maintains relationships with non-resident banks which do not have in the territories of the states where they are registered permanent governing bodies and are not members of a banking group (bank holding company).

Belgazprombank takes measures to prevent relations with non-resident banks whose accounts are used by banks which do not have in the territories of the states where they are registered permanent governing bodies and are not members of a banking group (bank holding company).


We hereby confirm that Belgazprombank:

  • strictly complies with the legislation of the Republic of Belarus in the sphere of AML/CFT
  • is not engaged in the activities that contribute to money laundering, terrorist financing and financing of spread of weapons of mass destruction
  • is not a «shell-bank», i.e. a financial institution which has no physical presence in any of the states, including the location specified in its statutory documents, and(or) which has no banking license issued by the authorized body of its location state, and(or) which does not have the staff comprising of at least one full-time employee
  • employs an officer responsible for the implementation of the measures in the sphere of AML/CFT
  • neither uses nor intends to use its correspondent accounts for performing transactions of clients which are «shell-banks»
  • consents to the provision of a copy of this notification to business partners and clients of the counterparty banks

There is a system of sanctions compliance developed and fully operative in Belgazprombank with the view of ensuring that Belgazprombank complies with restrictions and prohibitions set forth by international sanctions regimes.

Belgazprombank complies with restrictions and prohibitions set forth by international sanctions regimes having regard to the existing requirements established by the legislation of the Republic of Belarus.

AML/CTF Documents of Belgazprombank

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