Using AML/CTF prevention terms precisely makes communication with the SBS and the UIF-Peru easier, and strengthens regulatory compliance.
The system
- SPLAFT — Money Laundering and Terrorist Financing Prevention System. It is the set of policies and procedures that the obligated entity must implement while managing its risks.
- Risk-based approach — The principle of allocating more controls where the risk is greater, instead of applying the same measures to all counterparties.
Authorities
- SBS — Superintendency of Banking, Insurance and Private Pension Funds. It issues the regulation and supervises.
- UIF-Peru — Financial Intelligence Unit, part of the SBS. It receives and analyzes STRs.
- GAFILAT — Financial Action Task Force of Latin America, which evaluates the country against FATF standards.
Roles and obligations
- Obligated entity — An individual with a business or a legal entity that carries out any of the activities listed in article 2 of the regulation.
- Compliance Officer — Responsible for the SPLAFT. Since Resolution 2351-2023, the position may be held on a non-exclusive basis, while still supervising the system.
- Due diligence — The customer knowledge process. It has three levels: simplified, standard and enhanced, depending on the risk.
- Ultimate beneficial owner — The individual who ultimately owns or controls the customer.
- PEP — Politically Exposed Person. Requires enhanced due diligence because of their risk profile.
- ROS (STR) — Suspicious Transaction Report filed with the UIF-Peru. It is confidential: disclosing it to the customer is prohibited.
- Transaction register — Mandatory record of transactions that exceed the thresholds set by the regulation.
- Red flag — A pattern of behavior that, without being proof of a crime, requires the transaction to be analyzed in greater detail.
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