AML/KYC Policy
Last updated: December 20, 2025
Note: This AML/KYC Policy incorporates our Swap service provider's anti-money laundering and know-your-customer procedures. It governs compliance for our exchange services.
This document gives an overview of the standards of the "Know Your Customer" and "Anti-Money Laundering" policies, thereby setting our practices for the prevention of money-laundering activities while dealing with our users.
The objective of AML/KYC Policy is to prevent the Services from being used, intentionally or unintentionally, by criminal elements for money-laundering activities. The Policy also mandates making reasonable efforts to determine the true identity and beneficial ownership of accounts, source of funds, the nature of customer's business, the reasonableness of operations in the account in relation to the customer's business, etc., which in turn helps our Swap service provider to manage its risks prudently.
Our AML/KYC Policy, procedures, and internal controls are designed to ensure compliance with all applicable regulations and rules and will be reviewed and updated on a regular basis to ensure appropriate policies, procedures, and internal controls are in place, to account for both changes in regulations and changes in our business.
1. CUSTOMER IDENTIFICATION PROCEDURE
1.1 Identification
In case a transaction is spotted by our Swap service provider's risk scoring system as suspicious, the transaction will be put on hold, and our Swap service provider will collect the following information from the customers, if applicable, from any person, entity, or organization:
- The full name;
- Date of birth (for an individual);
- The address, which will be residential and business street address (for an individual) or a principal place of business, local office, or other physical location (for a person other than an individual);
- For an individual, a valid government-issued identification, evidencing nationality or residence and bearing a photograph or a similar safeguard, such as a driver's license or passport; and for a person other than an individual, documents showing the existence of the entity, such as certified articles of incorporation, a government-issued business license, a partnership agreement or a trust instrument.
1.2 Customers Who Provide Misleading Information
After providing the information, the customer must ensure that the information is true, complete, and timely updated. If there are any grounds for believing that any of the information customer provided is incorrect, false, outdated, or incomplete, our Swap service provider reserve the right to send the customer a notice to demand correction and, as the case may be, blacklist the existing account and terminate all or part of the services our Swap service provider provide for the said customer.
1.3 Verifying Information
Based on the risk, and to the extent reasonable and practicable, our Swap service provider will proceed with the verification to the extent that our Swap service provider have collected all information needed in order to know the true identity of our customers by using risk-based procedures to verify and document the accuracy of the information our Swap service provider get about our customers. Our Swap service provider have appointed a Third-Party service provider, namely Sum & Substance Ltd, which entirely complies with our Privacy Policy in respect to processing the personal information of our customers. Sum & Substance Ltd will analyze the information our Swap service provider obtain to determine (1) whether the information is sufficient to form a reasonable belief that our Swap service provider know the true identity of the customer (e.g., whether the information is logical or contains inconsistencies); (2) whether the documents provided by the customers are valid and do not appear in the Specially Designated Nationals and Blocked Persons List or any other lists of sanctioned individuals.
Our Swap service provider will verify the information within a reasonable time, depending on the nature of the account and risk level of transactions. Our Swap service provider may refuse to complete a transaction before our Swap service provider have verified the information, or in some instances, when our Swap service provider need more time, our Swap service provider may, pending verification, suspend transactions under suspicion.
1.4 Lack of Verification
When our Swap service provider cannot form a reasonable belief that our Swap service provider know the true identity of a customer, our Swap service provider will request additional information.
1.5 Notice to Customers
Our Swap service provider provide notice to customers that their transactions may be subject to AML/KYC checks. This information is stated in full detail in our Terms of Use, and each customer is obliged to get acquainted with these Terms before initiating transactions.
2. AML COMPLIANCE OFFICER
The AML Compliance Officer is the person, duly authorized by our Swap service provider, whose responsibility is to implement and effectively monitor the application and enforcement of the AML/KYC policy as outlined in this document. The AML Compliance Officer is obliged to oversee and conduct effective monitoring of all aspects of our Swap service provider's anti-money laundering and counter-terrorist financing. Any suspicious behavior or activities should be reported to the AML Compliance Officer.
Communication with the AML Compliance Officer in regards to this Policy will be provided if needed.
3. MONITORING OF TRANSACTIONS
Ongoing monitoring is an essential element of effective KYC procedures. Our Swap service provider have an understanding of the normal and reasonable activity of the customer, ensuring that our Swap service provider have the means of identifying transactions that fall outside the regular pattern of activity.
4. RISK MANAGEMENT
Our Swap service provider have put in place appropriate procedures to ensure the effective implementation of KYC guidelines. The implementation procedure covers proper management oversight, systems and controls, segregation of duties, training, and other related matters. From time to time, our Swap service provider's security team will carry on the necessary quality checks and file audits to ensure that the KYC policies and procedures are adhered to. From time to time, our Swap service provider's security team shall update senior management about issues arising during the customer acquisition process.
5. COLLABORATION WITH LAW ENFORCEMENT AGENCIES
If necessary, our Swap service provider may request the necessary and accurate information about the sender and the required information about the recipient when transferring virtual assets and provide it to the relevant authorities upon official request.