ARTICLE
14 November 2018

CySEC Circular On Dealings With Persons And Entities In Iran

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Elias Neocleous & Co LLC

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Elias Neocleous & Co LLC is the largest law firm in Cyprus and a leading firm in the South-East Mediterranean region, with a network of offices across Cyprus (Limassol, Nicosia, Paphos), Belgium (Brussels), Czech Republic (Prague), Romania (Budapest) and Ukraine (Kiev). A dynamic team of lawyers and legal experts deliver strategic legal solutions to clients operating in key industries across Europe, Asia, the Middle East, India, USA, South America, and China. The firm is renowned for its expertise and jurisdictional knowledge across a broad spectrum of practice areas, spanning all major transactional and market disciplines, while also managing the largest and most challenging cross-border assignments. It is a premier practice of choice for leading Cypriot banks and financial institutions, preeminent foreign commercial and development banks, multinational corporations, global technology firms, international law firms, private equity funds, credit agencies, and asset managers.
The Cyprus Securities and Exchange Commission (‘CySEC') has issued a circular (C284 dated 5 November 2018)
Cyprus Corporate/Commercial Law
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The Cyprus Securities and Exchange Commission ('CySEC') has issued a circular (C284 dated 5 November 2018) to entities it regulates drawing their attention to a notice issued by the USA authorities regarding dealings with individuals or entities in Iran and reminding them that both the EU Commission and the Financial Action Task Force designate Iran as a high-risk third country with strategic deficiencies in its anti-money laundering regime calling for enhanced due diligence measures.

Under article 64(1)(a) of the Prevention and Suppression of Money Laundering and Terrorist Financing Law of 2007, regulated entities must apply enhanced customer due diligence measures when dealing with natural persons or legal entities established in high-risk third countries, and CySEC expects that all regulated entities will take this into consideration when applying customer identification and due diligence procedures.

The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.

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