Anti-money Laundering Policy


This Policy represents the basic standards of Anti-Money Laundering policy of, TGL Precision Cut LLP. Jaipur. This policy is in effective and copies of this Policy will be distributed to all suppliers and all relevant employees must be thoroughly familiar with and make use of the material contained in this Policy.

Definitions & Procedures

Money Laundering

Money laundering is a generic term used to describe any process that conceals the origin or derivation of the proceeds of crime so that the proceeds appear to be derived from a legitimate source.

Money laundering is sometimes wrongly regarded as an activity that is associated only with organized crime and drug trafficking. It is not. It occurs whenever any person deals with another person’s direct or indirect benefit from crime

Money laundering is a crime that is most often associated with banking and money remittance services. Whilst banks are often an essential part of successful laundering schemes, the financial and related services that Licensees offer are also vulnerable to abuse by money launderers.

Additional Due Diligence measuresfor financial institutions

We are undertaking following additional due diligence measures while establishing and maintaining correspondent relationships:

  • Obtaining sufficient information about a respondent company to avoid any relationships with “shell-banks”;
  • Determining from publicly available sources of information the reputation of a respondent company including whether it has been subject to a money laundering or terrorist financing investigation or other regulatory action;
  • Assessing the respondent institution’s anti-money laundering and terrorist financing controls on a periodic basis.

Goals and objectives

The main purpose of the Policy is to establish the essential standards designed to prevent the money laundering activities. Other objectives pursued by this Policy are as follows:

  • We a re Promoting a “Know Your Customer” policy as a cornerstone principle for the business ethics and practices;
  • Conducting self-assessments of compliance with AML policy and procedures.

Adherence to this policy is absolutely fundamental for ensuring fully comply with applicable antimony laundering legislation.

The company will not have any relationship with any shell banks. The company is committed to examining its anti-money laundering strategies, goals and objectives on an ongoing basis and maintaining an effective AML Policy.

Monitoring and reporting of suspicious transactions/activity

All personnel must be diligent in monitoring for any unusual and potentially suspicious transactions/activity basing on the relevant criteria applicable in the national or international jurisdiction. The reporting of suspicious transactions/activity must comply with the international laws/regulations

Record keeping

Records shall be kept of all documents obtained for the purpose of identification and all transaction data as well as other information related to money laundering matters in accordance with the applicable anti-money laundering laws/regulations of the country; All records must be kept for at least 6 years;

Training

Training on anti-money laundering will be provided to those new employees who work directly with customers and to those employees who work in other areas that may be exposed to money laundering and terrorist financing threats which includes;

Identification and reporting of transactions that must be reported to government authorities, examples of different forms of money laundering and internal policies to prevent money laundering against targeted foreign countries and shall cooperate fully with government agencies, selfregulatory organizations and law enforcement officials.

Grievance Mechanism: -


TGL Precision Cut LLP. has established this grievance procedure to hear concerns about circumstances in the supply chain involving diamonds/coloured gemstones from conflict-affected and high-risk areas.

Mr. Hemant Srivastava is responsible for implementing and reviewing this procedure. Concerns can be raised by interested parties via email or telephone to:

Mr. Hemant Srivastava (Mobile No. +91 92896 73591)

Email: - hemant@tglprecisioncut.com

On receiving a complaint, we will aim to:

  • Get an accurate report of the complaint.
  • Explain our complaint procedure.
  • Find out how the complainant would like it addressed/ resolved.
  • Assess the eligibility of the complaint and, where applicable, decide who should handle it internally. In cases where we are unable to address the complaint internally (e.g. where our company is too far removed from the origin of the issue raised in the complaint) , we may redirect it to a more appropriate entity or institution, such as the relevant supplier or industry body.
  • Where the issue can be handled internally, seek further information where possible and appropriate.
  • Identify any actions we should take including hearing from all parties concerned, and monitoring the situation.
  • Advise the complainant of our decisions or outcomes.
  • Keep records on complaints received and the internal process followed, for at least five years.
  • This policy is endorsed by Partner of this company.

    Effective Date: - 01.10.2024