Anti Money Laundering/ Anti Terrorist Financing and Know your Customer Questionnaire - Compliance Department

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Page 1 of 7 30 th June 2015 Anti Money Laundering/ Anti Terrorist Financing and Know your Customer Questionnaire - Compliance Department Dear Sir/Madam, According to the statutory and regulatory requirements applicable to financial institutions in Sri Lanka and other international practices we are publishing below the profile of our Bank for information of the public, any other interested party or our correspondents/ counterparts relating to our AML and KYC policies. Please forward any inquiries on the below information or request for any additional information required to; Javana Atukorala Compliance Officer, PAN ASIA BANKING CORPORATION PLC, NO. 450 GALLE ROAD, COLOMBO 03 SRI LANKA. Telephone : +94 11 4348591 +94 11 4467777( Ext 6652) Email : Compliance@pabcbank.com

Page 2 of 7 ANTI MONEY LAUNDERING QUESTIONNAIRE Confidential te : If you answer NO to any question, additional information may be supplied at the end of the questionnaire 1.0 General Information (a) Legal name of Financial Institution (FI) Pan Asia Banking Corporation PLC (b) Legal Form & Registered. Public Limited Liability Company - Registration : PQ 48 (c) Head Office Address 450, Galle Road, Colombo 03, Sri Lanka (d) Registered Office Address As above (e) Your Web site www.pabcbank.com (f) Name and Address of your Regulatory Body Central Bank of Sri Lanka,Colombo-01, Sri Lanka (g) Banking License. License issued by Central Bank of Sri Lanka dated 15 th June 1995 (h) Web site of Regulatory body www.cbsl.lk (i) Do you have a physical presence? (j) Principal Activities General Banking Leasing / Hire Purchase Pawning ( Granting loans repayable within 12 months taking Gold & jewelry as security) Credit Cards Margin Trading

Page 3 of 7 2.0 Ownership Structure and Management Information (a) Is your Financial Institution publicly owned? (b) Is your Financial Institution listed on any stock exchange if State name of stock exchange Colombo Stock Exchange (CSE) (c) List of beneficial owners who control or have power to vote for 20% or more of any class of voting (add further rows if necessary) ne Name Nationality % of Capital (d) List of Top 10 shareholders Name Nationality/Incorporation Details % of Capital Mr. Kulappuarachchige Don Dammika Perera Sri Lankan 29.99 Bansei Securities Co.,Ltd Foreign Company 15.00 CHH Food (Pvt) Ltd Incorporated in Sri Lanka 9.85 Mr. Dharmar Chandra Coonghe Joseph Sri Lankan 5.89 Mr. Kulappuarachchige Don Harindra Perera Sri Lankan 5.27 Mr. Piak Juay TAY Foreigner 4.95 Mr. Kulappu Arachchige Don Anurada Perera Sri Lankan 4.34 Samurdhi Authority of Sri Lanka Incorporated in Sri Lanka 3.77 Seylan Bank PLC/W D N H Perera Incorporated in Sri Lanka 2.54 Sri Lanka Savings Bank Ltd Incorporated in Sri Lanka 2.33 N P Capital Ltd Incorporated in Sri Lanka 2.32 (e) Names of Directors and key / senior management personnel. Name Designation Nationality Mr. Wannakawattawaduge Don Nimal Hemasiri Perera Chairman Sri Lankan Mr. Ruwanpura Eshana Uvindra De Silva Dty. Chairman Sri Lankan Mr.Mohan Asoka Abeynaike Director Sri Lankan Mr. Mestiyage Don Saddhamangala Goonatilleke Director Sri Lankan Mr. Tharana Gangul Thoradeniya Director Sri Lankan Mr. Gogewatta Arachchige Rasika Dimuth Prasanna Director Sri Lankan Mr. Takashi Igarashi Director Japanese Mr.Toyohiko Murakami Director Japanese Mr.Jayantha S B Ranagamuwa Director Sri Lankan Mr.Amarasinghe Arachchige Wijepala Director Sri Lankan Mr. Handapangodage Nandasiri Jayaraja Chandrasekara Director Sri Lankan Mr. P L Dimantha N Senevirathne Director/ CEO Sri Lankan

Page 4 of 7 3.0 Information on Laws / Regulations relating to the Country where you are located (a) Is money laundering an offence in the country you are located? (b) Are there regulations and / or laws in place in the country you are located, covering Anti Money Laundering and counter Terrorist Financing? (c) Do the laws and regulations in the country prohibit conducting business with Shell Banks?(Banks without physical presence in any jurisdiction) (d) Do your financial institution provide banking services only to other banks/financial institutions with a Physical presence (e) Do the laws and regulations prohibit the opening / conducting anonymous or numbered accounts? (the name of the account holder is not readily available) % 4.0 General AML Policies, Practices & Procedures 4.1 Regulatory Information (a) Is the Anti Money Laundering compliance policies and procedures approved by the Board of Directors? (If no please state by whom ) (b) Does the Financial Institution have a legal and regulatory compliance program that includes a designated Compliance officer who is responsible for cocoordinating and supervising the AML framework? (c) Has the Financial Institution developed written policies approved by the Board of Directors for the processes that you have in place to detect, prevent and report suspicious transactions? (d) Does your financial Institution adhere to the Anti Money Laundering and prevention of terrorist financing requirements developed by the Financial Action Task Force or such similar authority in your country? (e) Has your Financial Institution been reviewed by any government authority for compliance with Anti - Money laundering laws and regulations in the last five years. If state the name of the government authority. Central Bank of Sri Lanka (f) Does the Financial Institution have policies covering Politically Exposed Persons (PEPs) their family members and close associate? (g) Does the Financial Institution have a record retention procedure in relation to the applicable law? If please state the period. Six (06) Years (h) Are the Financial Institution s Anti-Money Laundering policies and practices being applied to all branches and subsidiaries in the home country and in locations outside of that jurisdiction? (i) In addition to inspection by the government supervisor /regulators, does the FI client have an internal audit function or other independent third party that assess AML policies and practices on a regular basis? (j) Does the FI employ third party to carry out some of functions of the Financial Institution (k) If the answer to question in above (j) is yes, does the FI provide AML training

Page 5 of 7 to relevant third parties that includes (1) Identification and reporting of transactions that must be reported to government authorities (2) examples of different forms of money laundering involve the FI s products and services (3) internal policies to prevent money laundering AML Training not provided for 3 rd parties if employed for non-banking functions. 4.2 Risk assessment (a) Does the Financial Institution have a risk based assessment of the customer base and their transactions? (b) Does the financial institution determine appropriate level of enhanced due diligence necessary for those categories of customers and transactions that the institution has reasons to believe pose a heightened risk of illicit activities at or through the Financial Institution 4.3 Know Your Customer / Customer Due Diligence (a) Do you conduct customer Due Diligence on your customers before transacting any business with them? (These procedures involve the verification of the legitimacy of a customer and his business through identification and queries.) (b) Does the Financial Institution have a process in place to collect information regarding its customer s business activities / source of income? (c) Does the financial Institution assess its customers that are Financial Institutions of their Anti Money Laundering policies? (d) Does the financial institution have procedures to review and, where appropriate, update customer information relating to High Risk Customers? (e) Does the Financial Institution complete Risk Based assessment to understand the normal and expected range of transactions of its customers? 4.4 Reporting of Suspicious Transactions (a) Does the Financial Institution have policies and procedures for the identification and reporting of transactions that are required to be reported to the Authorities? (b) Where cash transaction reporting is mandatory does the financial institution have procedures to identify transactions structured to avoid such reporting obligations? (c) Does the financial institution screen customers and transactions against list of persons, entities or countries issued by the government/ regulatory/ competent authorities? ( This is deemed high Risk where special attentions is needed to prior to completing such transactions) (d) Does the Financial Institution have policies to reasonably ensure that it only operates with correspond Banks that process valid licenses to operate in their country of origin? (e) Does the Financial Institution have a monitoring program for unusual and potential suspicious activity that cover transfer of funds and monitory instruments such as traveler s cheques, money orders, drafts etc.,

Page 6 of 7 4.5 Monitoring Transactions (a) Do your procedures requires that transactions conducted by customers be monitored by the relevant account officer/manager/executive banker in order to detect any out pattern activities on the accounts? (b) Has your institution established any software to assist in the above mentioned monitoring of transactions? 4.6 Staff Training Anti Money Laundering (a) Does the financial Institution provide AML training to its employees that cover among others the following aspects? (i) Identification and reporting transactions that should be reported to the authorities (ii) Examples of different forms of activities of Money Laundering involving the products and services of the financial institution (iii) The institutions policies to prevent money laundering (Internal Policies & Procedures) (iv) This program conducted on a regular Basis (b) Does the Financial institution retain records of its training programs and records of attendance and the training material used? (c) Does the Financial Institution communicates new Anti Money Laundering related Laws and regulations or changes to those existing to relevant employees? For additional information (please indicate the question to which the information relates)

Page 7 of 7 On behalf of Pan Asia Banking Corporation PLC, confirm that I am authorized to complete and sign this document and attest that the above information is accurate, complete and correct and contains no false or misleading statements, reflective of our Financial Institution s Anti Money Laundering and Know your Customer policies, procedures and programs. Name Designation Javana Atukorala Senior Manager Compliance Phone Numbers 094 114 348 591 / 094 114 467 777 Fax 094 112 301 843 E mail Signature Date 30/06/2015 tes compliance@pabcbank.com For the purpose of this questionnaire, physical presence refers to a place of business located at a permanent address in a country in which the bank is authorized and licensed to conduct banking operations and activities. This also encompasses arenas where the bank employs individuals full time and maintains operating records related to banking activities, where the bank is subject to inspection by their respective banking/government authorities that granted the bank its license to operate in the first place. Questions that refer to the Financial Institution shall be considered by including all domestic and overseas branches, subsidiaries and affiliates in addition to the Head Office.