{"id":441,"date":"2022-05-16T16:19:08","date_gmt":"2022-05-16T16:19:08","guid":{"rendered":"https:\/\/intuitivelegal.co.uk\/?post_type=knowledge-hub&p=441"},"modified":"2022-05-16T16:19:08","modified_gmt":"2022-05-16T16:19:08","slug":"client-due-diligence-part-two","status":"publish","type":"knowledge-hub","link":"https:\/\/intuitivelegal.co.uk\/knowledge-hub\/client-due-diligence-part-two\/","title":{"rendered":"Client Due Diligence – Part Two"},"content":{"rendered":"

The key purpose of undertaking client due diligence is to build an understanding of your clients background and circumstances, assess their risk profile and evaluate how this could affect your firm. In addition to the checks we have already discussed, you must also check and verify your clients financial circumstances \ud83d\udd0d<\/p>\n

Source of Funds relates to the money that is directly being used to finance a specific transaction\/s in which you are to be involved. In order to verify these funds, you must check where they have come from, how they have been accumulated and ensure that they are not the proceeds of crime. There are a number of ways in which you can do this, such as acquiring payslips, wills, audited financial accounts etc. Source of Wealth covers a much broader spectrum, and relates to the origin of the clients \u2018entire body of wealth\u2019. This can relate to all activities (business, economic and\/or commercial) that have contributed to the clients net worth. In a low or medium risk transaction, it will usually be sufficient to ask the client where they have accrued the wealth from and record the same, and undertake public searches to verify this information \ud83d\udcb0<\/p>\n

In transactions that you have identified to be high risk, R33 states that you must apply Enhanced Due Diligence (EDD) and ongoing monitoring in addition to the measures provided for in R28. This must also be carried out where the client (or their family or close acquaintance) is a Politically Exposed Person, the client or parties to the transactions are established in a high-risk third country, the client has provided stolen or false identification but you are proceeding, or the transaction is unusually large, complex, has an unusual pattern or appears to have no economic or legal purpose.<\/p>\n

Undertaking appropriate EDD can include;<\/p>\n