🚨 AML Policy

Anti-Money Laundering & Counter-Terrorism Financing

TradeDear Technologies | 🇮🇳 PMLA 2002 & FIU-IND Compliant

Company: TradeDear Technologies

Contact: compliance@tradedear.com

Last Updated: June 15, 2026

Reporting Authority: Financial Intelligence Unit - India (FIU-IND)

⚠️ Zero Tolerance: TradeDear has ZERO TOLERANCE for money laundering, terrorist financing, or any illegal activities. Violators will be reported to law enforcement and accounts permanently banned.

1. Introduction

TradeDear Technologies is committed to preventing our platform from being used for money laundering, terrorist financing, or other illicit activities. This Anti-Money Laundering (AML) Policy establishes our framework for detecting and preventing financial crime.

Core Objectives:

  • Prevent money laundering and terrorist financing
  • Detect and report suspicious activities to FIU-IND
  • Maintain robust KYC and customer due diligence
  • Comply with Indian and international AML standards
  • Protect the integrity of the cryptocurrency ecosystem

This AML Policy complies with:

  • Prevention of Money Laundering Act, 2002 (PMLA)
  • Prevention of Money Laundering (Maintenance of Records) Rules, 2005
  • Prevention of Money Laundering (Reporting Entity) Rules, 2023
  • Unlawful Activities (Prevention) Act, 1967 (UAPA)
  • Financial Action Task Force (FATF) Recommendations
  • Information Technology Act, 2000
  • Digital Personal Data Protection Act, 2023

2.1 Reporting Authority

TradeDear reports all suspicious transactions and cash transactions to:

Financial Intelligence Unit - India (FIU-IND)
Directorate of Enforcement, Ministry of Finance
Website: https://fiuindia.gov.in

3. Risk Assessment

We conduct comprehensive risk assessments for:

3.1 Customer Risk Factors

Risk Level Characteristics Due Diligence
Low Risk Salaried employees, small traders, verified identity Simplified Due Diligence
Medium Risk Self-employed, moderate volumes, established history Standard Due Diligence
High Risk PEPs, cash-intensive businesses, high volumes, foreign nationals Enhanced Due Diligence (EDD)

3.2 Geographic Risk

High-Risk Jurisdictions (FATF Watchlist):

  • Countries with weak AML/CFT controls
  • Sanctioned countries (North Korea, Iran, Syria)
  • Jurisdictions associated with money laundering
  • Tax havens with insufficient transparency

Action: Users from high-risk countries face Enhanced Due Diligence or service denial.

3.3 Product/Service Risk

Higher Risk Activities:

  • Large cryptocurrency deposits from unknown sources
  • Peer-to-peer (P2P) trading with anonymous counterparties
  • Privacy coins (Monero, Zcash) - currently NOT supported
  • Mixing/tumbling services - strictly PROHIBITED

4. Transaction Monitoring

Our automated AML system monitors:

4.1 Real-Time Monitoring

  • Deposit Screening: All incoming crypto deposits analyzed for illicit origins
  • Withdrawal Screening: Destinations checked against sanctioned addresses
  • Trading Patterns: Unusual trading behavior (wash trading, layering)
  • Velocity Checks: Rapid movement of funds (potential layering)

4.2 Automated Alerts

Transactions triggering alerts are flagged for manual review:

  • Transactions exceeding ₹10 lakhs (CTR threshold)
  • Multiple transactions just below reporting thresholds (structuring)
  • Unusual patterns inconsistent with customer profile
  • Transactions involving high-risk countries or sanctioned entities
  • Rapid deposit and withdrawal (no trading activity)

4.3 Blockchain Analysis

We use blockchain analytics tools to:

  • Trace cryptocurrency transaction history
  • Identify connections to darknet markets, ransomware, scams
  • Detect mixing/tumbling service usage
  • Monitor for sanctioned wallet addresses

5. Suspicious & Cash Transaction Reporting

5.1 Suspicious Transaction Report (STR)

When we file STR with FIU-IND:

  • Transactions with no apparent economic purpose
  • Customer refuses to provide KYC documents
  • Suspected structuring (smurfing) to avoid reporting
  • Transactions linked to known criminal activity
  • Use of multiple accounts for layering
  • Crypto received from sanctioned addresses

Timeline: STR filed within 7 days of detecting suspicious activity

⚠️ Tipping Off Prohibition: Under PMLA Section 12, we are PROHIBITED from informing customers about STR filings. Penalty: Up to ₹5 lakh fine + imprisonment.

5.2 Cash Transaction Report (CTR)

Mandatory reporting for:

  • All cash transactions (or equivalent crypto) above ₹10 lakhs
  • Multiple linked transactions totaling above ₹10 lakhs in a month
  • All suspicious transactions (regardless of amount)

Timeline: CTR filed within 15 days of end of month

5.3 Non-Profit Organization Transaction Report (NTR)

Any transactions involving registered NGOs/charities above ₹10 lakhs

6. Red Flags & Warning Signs

🚩 Common Red Flags

Customer Behavior:

  • Reluctance to provide identity or source of funds documentation
  • Providing false or inconsistent information
  • Using multiple accounts or IDs
  • Requests unusual level of privacy/secrecy
  • Sudden change in trading patterns or volumes
  • Appears to be acting on behalf of an undisclosed third party

Transaction Patterns:

  • Structuring: Multiple transactions just below ₹10 lakh threshold
  • Rapid Movement: Deposit → Trade → Withdraw within hours (no accumulation)
  • Round Trip: Buy crypto on TradeDear, sell on another platform immediately
  • Layering: Complex series of transactions to obscure origin
  • No Economic Rationale: Transactions making no financial sense

Geographic Indicators:

  • Transactions involving sanctioned countries (North Korea, Iran, Syria)
  • Use of VPN/Tor to hide location
  • IP address inconsistent with stated residence
  • Transactions routed through multiple jurisdictions

Cryptocurrency Specific:

  • Deposits from known darknet marketplaces
  • Funds passing through mixing/tumbling services
  • Wallet addresses on OFAC SDN list
  • Ransomware-related wallet addresses
  • Addresses linked to Ponzi schemes or investment scams

7. Sanctions Screening

All customers and transactions are screened against:

7.1 International Sanctions Lists

  • OFAC SDN List: US Office of Foreign Assets Control Specially Designated Nationals
  • UN Security Council: Consolidated sanctions list
  • EU Sanctions List: European Union restrictive measures
  • FATF High-Risk Jurisdictions: Countries with weak AML/CFT controls

7.2 Domestic Watchlists

  • UAPA Schedule 4 (Banned Organizations)
  • NIA Most Wanted List
  • Enforcement Directorate watchlist
  • State law enforcement databases (where accessible)

7.3 Cryptocurrency-Specific

  • Chainalysis sanctions oracle
  • Elliptic sanctioned wallet addresses
  • TRM Labs high-risk addresses
⚠️ Immediate Action on Match: Any sanctions match results in:
  • Immediate account freeze
  • Transaction blocking
  • Mandatory STR filing with FIU-IND
  • Report to Enforcement Directorate
  • Permanent account termination

8. Politically Exposed Persons (PEPs)

Definition: Individuals holding prominent public functions (current or former):

  • Senior government officials
  • Members of Parliament/Legislative Assemblies
  • Supreme Court/High Court judges
  • Senior military/police officers
  • Heads of state-owned enterprises
  • Leaders of major political parties
  • Family members and close associates of above

PEP Due Diligence:

  • Enhanced KYC verification
  • Source of wealth declaration mandatory
  • Senior management approval required
  • Ongoing enhanced monitoring
  • Annual KYC refresh (vs 3 years for low-risk)

9. Employee Training & Awareness

Our AML compliance program includes:

  • Mandatory Training: All employees complete AML training within 30 days of joining
  • Annual Refresher: Yearly AML compliance updates
  • Role-Specific Training: Enhanced training for compliance, customer support, and operations teams
  • Red Flag Recognition: Training on identifying suspicious activities
  • Reporting Procedures: Internal escalation and STR filing processes

10. Record Keeping

As per PMLA requirements, we maintain:

  • KYC Records: 5 years after account closure
  • Transaction Records: 5 years from transaction date
  • STR/CTR Reports: 5 years
  • Internal Investigation Reports: 5 years
  • Correspondence: 5 years

11. Consequences of Non-Compliance

For Users:

  • Account suspension or permanent ban
  • Funds freezing pending investigation
  • STR filing with FIU-IND
  • Report to law enforcement
  • Legal action for money laundering (PMLA penalties: up to ₹10 lakh + 7 years imprisonment)

For TradeDear (if non-compliant):

  • Penalties: ₹10,000 per day of non-compliance
  • Criminal liability for directors/officers
  • Business license revocation
  • Reputational damage

12. Customer Cooperation

All users must:

  • Provide accurate KYC information
  • Respond to additional verification requests within 7 days
  • Declare source of funds when requested
  • Update KYC information when circumstances change
  • Cooperate with investigations

Failure to cooperate may result in account suspension.

13. Contact Information

📧 AML Compliance Team

Chief Compliance Officer: compliance@tradedear.com

AML Officer: aml@tradedear.com

Report Suspicious Activity: report@tradedear.com

General Support: support@tradedear.com

24/7 Fraud Hotline: compliance@tradedear.com

14. Policy Review

This AML Policy is reviewed and updated:

  • Annually (or more frequently if needed)
  • Upon changes in Indian or international AML regulations
  • After significant money laundering incidents
  • Following internal audits or regulatory examinations
📄 Document Information:
Version: 2.0
Last Updated: June 15, 2026
Next Review: June 15, 2027
Compliance: PMLA 2002, UAPA 1967, FIU-IND Reporting
Approved by: Board of Directors, TradeDear Technologies