![]() Bio Green Wax Ltd Company number: 15814481 128 City Road, London, United Kingdom, EC1V 2NX · +44 20 7101 3847 biogreenwax.com Anti-Money Laundering Policy and ProceduresBGW-POL-04 · Version 1.0 · Effective 1 September 2026 Document control
1. Purpose and ScopeBio Green Wax Ltd (the "Company") trades physical commodities in high volumes, across borders, using letters of credit, documentary collections and open-account settlement. Trade of this kind is a recognised channel for laundering criminal proceeds, principally through over- and under-invoicing, phantom shipments, multiple invoicing and third-party settlement. This policy sets out how the Company protects itself against being used for that purpose. The principal money laundering offences under Part 7 of the Proceeds of Crime Act 2002 — concealing, arranging and acquiring criminal property, and failing to disclose a suspicion — apply to any business and to individuals personally. They are not limited to regulated financial institutions. Every person within scope of this policy can be prosecuted individually for a breach. This policy applies to all counterparties, whether customers, suppliers, agents or financiers, and to all methods of settlement. 2. Policy StatementThe Company will not enter into or continue a business relationship, and will not accept or make a payment, where it knows or suspects that the funds or goods represent the proceeds of crime or are connected to terrorist financing. The Company will identify and verify every counterparty before trading, will understand the ownership and control behind it, will settle only through routes consistent with the underlying trade, and will report suspicions to the appropriate authority in accordance with the law. 3. Roles and Responsibilities
The identity of the current MLRO is notified to all staff and recorded with this policy. In the MLRO's absence, reports are made to a director nominated by the Board. 4. Customer Due DiligenceDue diligence is completed and recorded before the Company enters into a business relationship or executes a transaction. The following is obtained for every corporate counterparty:
Enhanced due diligenceEnhanced measures apply, and the MLRO's written approval is required before trading, where the counterparty is established in a high-risk third country, where it is or is connected to a politically exposed person, where ownership is opaque or held through nominee arrangements, where the relationship is conducted entirely remotely with no verifiable premises, or where the transaction is unusually large or complex relative to the counterparty's profile. Enhanced measures include obtaining additional documentary evidence, establishing the source of funds and, where appropriate, the source of wealth, and applying closer ongoing monitoring. Ongoing monitoringCounterparty records are reviewed periodically according to risk, and immediately on any change of ownership, banking details, authorised signatories or trading pattern. Transactions are checked for consistency with what the Company knows about the counterparty; a material inconsistency is a red flag under section 6. 5. Payment and Settlement Controls
6. Trade-Based Money Laundering Red FlagsThe following indicators require escalation to the MLRO before the transaction proceeds:
The presence of a red flag does not by itself establish wrongdoing, but it must be resolved and the resolution recorded before the transaction proceeds. 7. Internal Reporting and Suspicious Activity ReportsAny person who knows or suspects, or has reasonable grounds to know or suspect, that a person is engaged in money laundering or terrorist financing must report it to the MLRO immediately and must not discuss it with the counterparty or with colleagues who do not need to know.
8. Facilitation of Tax EvasionUnder the Criminal Finances Act 2017 the Company commits an offence if a person associated with it criminally facilitates the evasion of tax, whether in the United Kingdom or overseas. The Company prohibits any person acting for it from assisting a counterparty to evade tax, including by issuing or accepting inaccurate documentation, misdescribing goods, misstating value or origin, or routing an invoice through a jurisdiction to disguise the substance of a trade. Any such request must be refused and reported to the MLRO. 9. Records and RetentionDue diligence records, transaction records, internal reports, external reports and the reasoning behind decisions are retained for at least five years from the end of the business relationship or the completion of the transaction, whichever is later, and longer where an investigation or other legal requirement applies. Records are held securely, are accessible to the MLRO, and are produced to law enforcement or a regulator on lawful request. 10. Training, Monitoring and ReviewAll directors, employees and contractors receive anti-money laundering training on joining and at least annually thereafter, covering the offences, the due diligence procedure, the red flags in section 6, the internal reporting route and the prohibition on tipping off. Records of training are retained by the MLRO. The MLRO monitors compliance, tests a sample of counterparty files and payment approvals at least annually, and reports to the Board on the operation of this policy, the number of internal and external reports made, and any weakness identified together with the action taken to correct it. A breach of this policy is a disciplinary matter and may amount to gross misconduct, as well as a criminal offence for which an individual may be prosecuted. This policy is reviewed at least annually, and sooner where a change in law or in the Company's business requires it. ApprovalThis policy has been approved by the Board of Directors of Bio Green Wax Ltd and takes effect from the date shown in the document control table. It remains in force until superseded by a later version. Board of Directors Bio Green Wax Ltd Effective 1 September 2026 ContactQuestions about this policy, and reports made under it, should be addressed to the Compliance Officer: Bio Green Wax LtdRegistered office: 128 City Road, London, United Kingdom, EC1V 2NX Company number: 15814481 +44 20 7101 3847 | ||||||||||||||||||||||||||||||
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Anti-Money Laundering Policy and Procedures
BGW-POL-04 · Version 1.0 · Effective 1 September 2026
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