2025-01-01
The Financial Follow-Up Unit of Palestine issued Decision No. (2025/2) to update the lists of High-Risk Countries (Black List) and Jurisdictions Under Increased Monitoring (Grey List) in alignment with FATF standards. The decision mandates financial institutions and specified non-financial businesses to apply targeted sanctions against North Korea and Iran, and enhanced due diligence measures for Myanmar, while updating the Grey List by adding Bolivia and the UK Virgin Islands and removing Croatia, Mali, and Mauritania. All regulated entities are required to integrate these country risk classifications into their self-assessments and risk-based procedures effective immediately upon circularization.
To all banks operating in Palestine Date: Tuesday, August 19, 2025
Attached is the decision issued by the Financial Follow-Up Unit No. (2025/2) regarding High-Risk Countries and Jurisdictions Under Increased Monitoring in accordance with the list issued by the Financial Action Task Force (FATF). Accordingly, the necessary legal measures are requested to implement the requirements of the aforementioned decision and the measures to be taken in this regard, with emphasis on the necessity to comply with the following:
Take into account concerns regarding deficiencies in Anti-Money Laundering and Combating the Financing of Terrorism (AML/CFT) systems in countries classified as "Grey List" (Jurisdictions Under Increased Monitoring), when conducting and updating the self-assessment of money laundering and terrorism financing risks.
Apply the Risk-Based Approach (RBA), such that the application of due diligence measures is proportional to (risk analysis results, nature of the financial transaction, currency risks, and country classification), with enhanced due diligence measures to be taken when high risks are identified.
Supervision Group Palestine Monetary Authority
Copy: Messrs/ Financial Follow-Up Unit, Respected
Ramallah & Al-Bireh Governorate - Palestine P.O. Box 452 Ramallah & Al-Bireh Governorate - Palestine P.O. Box info@pma.ps | Fax: +970 2 2415310 :Fax | Tel: +970 2 2415251 :Tel | Postal code: P6160675 :Postal Code
Issued by the Financial Follow-Up Unit Date: 19/06/2025
Based on the provisions of Law No. (39) of 2022 regarding the prevention of money laundering and the financing of terrorism and its amendments, particularly the provisions of Article (20) and paragraphs (3, 4) of Article (30), and based on the decision of the National Committee for Combating Money Laundering and Financing of Terrorism No. (8/J/2016) issued on 01/12/2016 regarding the delegation to the Financial Follow-Up Unit to publish the list of high-risk countries issued periodically by the Financial Action Task Force (FATF), and subsequently what was decided by the Group since 21/02/2020, until 13/06/2025, and in addition to the decision of the National Committee for Combating Money Laundering and Financing of Terrorism No. (T/2020/5) issued on 24/02/2020 regarding High-Risk Countries and Jurisdictions Under Increased Monitoring, and subsequently the Financial Follow-Up Unit Decision No. (2020/1) dated 25/02/2020 and subsequent decisions regarding lists of High-Risk Countries and Jurisdictions Under Increased Monitoring.
And based on the requirements of public interest, it is decided as follows:
All financial institutions, businesses, and specified non-financial professions in the State of Palestine must continue to implement the following procedures regarding high-risk countries:
| Country | Required Procedures Regarding Countries |
|---|---|
| - Democratic People's Republic of Korea (North Korea). | 1. Apply targeted financial sanctions in accordance with the provisions of Executive Decree No. (2022/14) regarding the implementation of Security Council resolutions. <br> 2. Pay special attention to commercial relations and transactions with those countries, including companies and financial institutions, and apply the following countermeasures: <br> a. Take enhanced due diligence measures on business relations and operations with those countries (as part of countermeasures), and in proportion to the risks arising therein, according to the details of Articles (26, 27) of National Committee Instructions No. (4) of 2022 regarding financial institutions, and Articles (24, 25) of National Committee Instructions No. (3) of 2022 regarding specified non-financial businesses and professions. <br> b. Apply the enhanced due diligence measures mentioned in paragraph (a) of this item when dealing with any entity acting on behalf of a natural or legal person, including companies or financial institutions operating in those countries. |
| - Islamic Republic of Iran (Iran). |
| Country | Required Procedures Regarding Countries |
|---|---|
| - Republic of the Union of Myanmar (Myanmar). | 1. Apply enhanced due diligence measures on business relations and operations with Myanmar, and in proportion to the risks arising in the country, according to the details of Articles (26, 27) of National Committee Instructions No. (4) of 2022 regarding financial institutions, and Articles (24, 25) of National Committee Instructions No. (3) of 2022 regarding specified non-financial businesses and professions. <br> 2. When applying enhanced due diligence measures, ensure that the flow of funds for humanitarian assistance and legitimate non-profit organization activities and financial transfers is not disrupted. <br> 3. Regarding earthquake relief efforts specifically, ensure that the implementation of AML/CFT requirements does not negatively or disproportionately affect non-profit organizations, and does not unjustifiably hinder the work of civil society and the provision of humanitarian assistance related to earthquake relief in Myanmar. |
Amend the list of Jurisdictions Under Increased Monitoring (Grey List) stipulated in Unit Decision No. (2025/1) by adding (Bolivia, Virgin Islands (UK)), and deleting (Croatia, Republic of Mali, Mauritania), so that the list becomes as in the table below, and take into account concerns regarding deficiencies in AML/CFT systems for these countries (according to the attachments to this decision) when conducting the self-assessment of money laundering and terrorism financing risks, including identifying, analyzing, and evaluating those risks.
FINANCIAL FOLLOW-UP UNIT State of Palestine – Al Bireh P.O.Box 3981 Tel: +970 22422551\2 Fax: +970 22422553 E-mail: info@ffu.ps State of Palestine – Al Bireh P.O.Box: 3981 Tel: +970 22422551\2 Fax: +970 22422553 www.ffu.ps
| No. | Country Name | No. | Country Name |
|---|---|---|---|
| 1 | Algeria | 13 | Monaco |
| 2 | Angola | 14 | Republic of Mozambique |
| 3 | Bolivia | 15 | Republic of Namibia |
| 4 | Bulgaria | 16 | Federal Democratic Republic of Nepal (Nepal) |
| 5 | Burkina Faso | 17 | Republic of Nigeria |
| 6 | Cameroon | 18 | Republic of South Africa |
| 7 | Côte d'Ivoire (Ivory Coast) | 19 | Republic of South Sudan |
| 8 | Democratic Republic of the Congo | 20 | Syrian Arab Republic (Syria) |
| 9 | Republic of Haiti | 21 | Venezuela |
| 10 | Republic of Kenya | 22 | Vietnam |
| 11 | Lao People's Democratic Republic (Laos) | 23 | Virgin Islands (UK) |
| 12 | Republic of Lebanon | 24 | Republic of Yemen (Yemen) |
All financial institutions, businesses, and specified non-financial professions must implement the provisions of this decision, and it shall be effective from the date of its circularization.
Director of the Financial Follow-Up Unit Dr. Firas Marar
Attachment: Concerns regarding deficiencies in Anti-Money Laundering and Combating the Financing of Terrorism (AML/CFT) systems.
FINANCIAL FOLLOW-UP UNIT State of Palestine – Al Bireh P.O.Box 3981 Tel: +970 22422551\2 Fax: +970 22422553 E-mail: info@ffu.ps State of Palestine – Al Bireh P.O.Box: 3981 Tel: +970 22422551\2 Fax: +970 22422553 www.ffu.ps
This section explains how to access concerns regarding the AML/CFT and Counter-Proliferation Financing (CPF) systems of countries listed on the Grey List, as well as all other countries undergoing mutual evaluation by the FATF or regional bodies. These concerns can be accessed via the mutual evaluation reports related to those countries and the subsequent follow-up reports.
Mutual evaluation reports and follow-up reports on the FATF website or the MENAFATF website contain all deficiencies and key conclusions regarding the AML/CFT systems of countries listed on the Increased Monitoring list and all other countries that underwent assessment. The following evidence can be obtained:
a. Access to Mutual Evaluation Reports in English (All Countries):
b. Access to Mutual Evaluation Reports in Arabic (For countries subject to MENAFATF assessment):
Countries listed on the Grey List have made a high-level political commitment to address strategic deficiencies in their AML/CFT systems, and these countries are still fulfilling their commitments to address remaining deficiencies.
The items below outline the key pillars that those countries are working to address or have addressed, which depend on specific deficiencies identified according to mutual evaluation reports and follow-up reports, which must be taken into account whether negative or positive:
| Country | Key Pillars |
|---|---|
| Algeria | (Statement from October 2024) <br> In October 2024, Algeria made a high-level political commitment to work with the FATF and MENAFATF to strengthen the effectiveness of its AML/CFT regime. Since the adoption of its mutual evaluation report (MER) in May 2023, Algeria has made progress on many of the MER’s recommended actions including by more effectively pursuing money laundering investigations and prosecutions. Algeria will continue to work with FATF to implement its action plan by: (1) improving risk-based supervision, especially for higher risk sectors, including through the adoption of new procedures, risk assessments, supervision manuals and guidelines, as well as undertaking inspections and applying effective, proportionate and dissuasive sanctions; (2) developing an effective framework for basic and beneficial ownership information; (3) enhancing its regime for suspicious transaction reports; (4) establishing an effective legal and institutional framework for targeted financial sanctions for terrorism financing; and (5) implementing a risk-based approach to oversight of non-profit organisations, without disrupting or discouraging legitimate activity. |
| Angola | In October 2024, Angola made a high-level political commitment to work with the FATF and ESAAMLG to strengthen the effectiveness of its AML/CFT regime. Angola should continue to work with the FATF to implement its FATF action plan by: (1) enhancing its understanding of ML/TF risks; (2) improving risk-based supervision of non-financial banking entities and DNFBPs; (3) ensuring competent authorities have adequate, accurate and timely access to beneficial ownership information and that breaches to obligations are adequately addressed; (4) demonstrating an increase in ML investigations and prosecutions; (5) demonstrating the ability to identify, investigate and prosecute TF; and (6) demonstrating an effective process to implement targeted financial sanctions without delay. |
| Bolivia | In June 2025, Bolivia made a high-level political commitment to work with the FATF and GAFILAT to strengthen the effectiveness of its AML/CFT regime. Since the adoption of its MER in December 2023, Bolivia has made significant progress on the MER’s recommended actions including enhancing its ML/TF risk understanding; enhancing the production and dissemination of operational and strategic financial intelligence; strengthening the seizure and forfeiture of criminal proceeds; increasing capacity to investigate TF offences; and improving |
| Country | Key Pillars |
|---|---|
| its process to implement targeted financial sanctions on TF and PF. Bolivia will continue to work with the FATF to implement its FATF action plan by: (1) ensuring relevant special investigative techniques can be used in ML investigations; (2) implementing risk-based supervision of real estate agents, lawyers, accountants and DPMS; (3) ensuring that beneficial ownership information is accurate and up-to-date and breaches to obligations are sanctioned; (4) increasing ML investigations and prosecutions. | |
| Bulgaria | Since October 2023, when Bulgaria made a high-level political commitment to work with the FATF and MONEYVAL to strengthen the effectiveness of its AML/CFT regime, Bulgaria has taken steps towards improving its AML/CFT regime, including by providing guidance and training on ML/TF risk understanding and STR reporting to postal money operators, currency exchange providers and real estate agents, addressing technical compliance issues in relation to its TF offence and ensuring the ability to conduct parallel financial investigations in all terrorism investigations. Bulgaria should continue to work on implementing its action plan to address its strategic deficiencies, including by: (1) addressing the remaining technical compliance deficiencies; (2) improving investigations and prosecutions of different types of money laundering in line with risks, including high-scale corruption and organised crime; (3) addressing gaps in the PF TFS frameworks; and (4) demonstrating initial implementation of risk-based monitoring of NPOs to prevent abuse for TF purposes. |
| Burkina Faso | In February 2021, Burkina Faso made a high-level political commitment to work with the FATF and GIABA to strengthen the effectiveness of its AML/CFT regime. At its June 2025 Plenary, the FATF made the initial determination that Burkina Faso has substantially completed its action plan and warrants an on-site assessment to verify that the implementation of the AML/CFT reforms has begun and is being sustained, and that the necessary political commitment remains in place to sustain implementation in the future. <br> Burkina Faso has made key reforms, including by: (1) adopting follow-up mechanisms for monitoring actions in the national strategy; (2) seeking MLA and other forms of international cooperation in line with its risk profile; (3) strengthening resource capacities of all AML/CFT supervisory authorities and implementing risk based supervision of FIs and DNFBPs; (4) maintaining comprehensive and up-to-date basic and beneficial ownership information and strengthening the system of sanctions for violations of transparency obligations; (5) increasing the diversity of suspicious transactions reporting; (6) enhancing the FIU’s human resources through additional hiring, training and budget; (7) conduct training for LEAs, prosecutors and other relevant authorities; (8) demonstrating that authorities are pursuing confiscation as a policy objective; (9) enhancing capacity and support for LEAs and prosecutorial authorities involved in combating TF, in line with the National TF Strategy; and (10) implementing effective targeted financial sanctions regimes related to terrorist financing and proliferation financing as well as risk-based monitoring and supervision of NPOs. |