We want you to be able to safely do your banking every day. To ensure this, we need up-to-date and accurate information on our customers. We are required by law to regularly check the data of our customers. This is stated in the Prevention of Money Laundering and Financing of Terrorism Act (Wwft).
For non-profit organisations (NPOs), we can request specific information and documents. We are happy to explain more about this.
Dutch and international law requires us to regularly assess our customers. We look out for possible money laundering, terrorist financing, violations of (international) sanctions and other indicators of financial crime. Banks and other financial institutions need to report unusual transactions to the Financial Intelligence Unit (FIU). We can ensure that the information we request is in proportion to any risks.
ABN AMRO evaluates whether the NPO might be involved in money laundering or financing terrorism. We also consider the consequences if such a crime happens. While doing this, we remember our role in providing access to the financial system and try to prevent financial exclusion.
The bank assesses clients in the following cases:
ABN AMRO has to comply with international (and Dutch) legislation on AML, CFT and sanctions. To do this, we need certain information from our clients.
Clients need to communicate with the bank in Dutch or English.
Clients can submit a complaint about services provided by the bank.
The documents that the bank requires can differ between organisations, the list below is indicative.
For new organisations not all of these documents might be present. On case-by-case basis we can request certain documents. For example half-yearly numbers, budgets, structure of the administration.
Risk factors that might be present in the not-for-profit sector include:
Are one or more of the above risk factors present? This doesn't have to mean that an NPO is engaged in financial crime. However for each of these risk factors the bank might need to ask more questions. We do this to assess the likelihood of money laundering or financing of terrorism.
The risk assessment in its entirety gives an indication of the risk level. We don't just sum up the individual answers. We also look at the coherence and logic between the different risk factors.
Newly-established foundations usually can't provide the same documents as older foundations.
For new foundations the following points are especially important:
The links below provide more information (in Dutch) about the board and structures.
Via the links below, you can find more information (in Dutch) about funding.
Different guidelines and legislation concern anti-money laundering, terrorist financing and (international) sanctions. Please find a list below:
These are country lists where external organisations (FATF, EU) have assessed risks by country.
You can also take a look at ECNL's non-profit banking tool . This shows the conditions for opening and managing bank accounts for non-profits in different countries.